Skip to content

Menu

LexBlog, Inc. logo
NetworkSub-MenuBrowse by SubjectBrowse by PublisherJoin the NetworkGet StartedSubscribeSupportContact
Search
Close

Coronavirus Sparks Changes to Premerger Notification Process at the FTC

By Leo Caseria, Robert Magielnicki, Malika Levarlet & Bevin Newman on March 16, 2020
Email this postTweet this postLike this postShare this post on LinkedIn

In response to COVID-19, the FTC’s Premerger Notification Office (PNO) just announced several changes for all Hart-Scott-Rodino (HSR) filings going forward.  While these changes have been described as temporary, no specific end date has been identified.

  1. Hard copy HSR filings will no longer be accepted, until further notice
  2. No HSR filings whatsoever may be submitted on Monday, March 16.
  3. Starting at 8:30 a.m. on Tuesday, March 17, HSR filings must be submitted through a new, temporary e-filing system.  That system is not yet operational.  It will require parties to upload documents to a secure FTP site.
  4. While this temporary e-filing system is in place, early termination will not be granted for any filing.

Coronavirus; HSR filings

The Sheppard Mullin team will continue to monitor the situation and provide additional updates as they become available.  PNO intends to release additional guidance on the temporary e-filing system and new operating procedures soon.

Whether the new FTP filing solution will be operational by Tuesday and whether filings can be made as easily as in the past remains to be seen.  For deals requiring an HSR filing, we recommend parties build in extra time to complete the HSR filing.  Get your legal team involved earlier than normal.  If a merger agreement sets a deadline for filing HSR forms, again consider building in extra days or even weeks to account for uncertainty with the new system.

For deals with substantive antitrust issues, it may well be the case that the antitrust agencies are no longer holding external in-person meetings, so any meetings or presentations will need to be by phone or videoconference. In some instances, it is possible the agencies may delay such meetings until the situation has stabilized.

For more legal insights visit our Coronavirus (COVID-19) page.

Photo of Leo Caseria Leo Caseria

Leo Caseria is Co-Chair of both the firm’s Antitrust and Competition Practice Group and Governmental Practice and a partner in the Washington, D.C. and Los Angeles offices.

Read more about Leo CaseriaEmail
Photo of Robert Magielnicki Robert Magielnicki

Robert Magielnicki is Of Counsel in the Antitrust and Competition Practice Group.

Read more about Robert MagielnickiEmail
Photo of Malika Levarlet Malika Levarlet

Malika Levarlet is special counsel in the Corporate Practice Group in the firm’s Washington, D.C. office.

Read more about Malika LevarletEmail
Photo of Bevin Newman Bevin Newman

Bevin Newman is a partner in the Antitrust and Competition Practice Group in the firm’s Washington, D.C. office.

Read more about Bevin NewmanEmail
  • Posted in:
    Antitrust, Competition and Trade
  • Blog:
    Antitrust Law Blog
  • Organization:
    Sheppard, Mullin, Richter & Hampton LLP
  • Article: View Original Source

Call us at 1-800-913-0988 or email sales@lexblog.com.

Facebook LinkedIn Twitter RSS
The Library at LexBlog
  • About LexBlog
  • The Field We Built
  • Library at LexBlog
  • Our Beliefs
  • Our Team
  • Contact LexBlog
  • Disclaimer
  • Editorial Policy
  • Terms of Service
  • Get Started
  • Publishing Solutions
  • Compass
  • Submit a Request
  • Support Center
  • System Status
Copyright © 2026, LexBlog, Inc. All Rights Reserved.
Law blog design & platform by LexBlog LexBlog Logo