With imminent leadership changes at the Federal Trade Commission and the Antitrust Division of the U.S. Department of Justice, now is the perfect time to craft a wish list of resolutions for the new administrations. Partner James Fredricks explains why they should consider:
- Providing a presumptive safe harbor for information sharing.
- Restoring or replacing competitor collaboration guidelines.
- Simplifying the mergers and acquisitions safe harbor for antitrust offenses.