While the economy continues to grow on a global scale, large companies seeking to stay competitive must look to international markets as a means of expansion and trade. As international mergers become a more common means of accomplishing these goals, an increasing number of countries are adopting competition laws. Unfortunately, the laws of different countries and regions can, and do, come into conflict. This paper examines the merger control laws of both the United States and the European Union, why these laws sometimes conflict, and provides suggestions for possible solutions for minimizing future conflicts. Part II reviews the relevant merger laws of the United States and the European Union. Part III looks at the conflicting nature of U...
The U.S. and EU merger control regimes are two sets of merger systems that have the greatest impact ...
From an economic perspective, globalization is dismantling national barriers to entry and is transfo...
Present work is aimed at analysis of the trans-national merger control from the position of the busi...
While the economy continues to grow on a global scale, large companies seeking to stay competitive m...
In this paper, we analyse the scope for conflict between national merger control agencies that asser...
The objective of this paper is to discuss and compare the role that different constituencies play in...
The objective of this paper is to discuss and compare the role that different constituencies play in...
A Review of European Merger Control: Legal and Economic Analyses on Multinational Enterprises, Volu...
"In this paper, we analyse the scope for conflict between national merger control agencies which ass...
There has been a significant increase in the merger of conglomerates and multi-national companies wo...
'In this paper, we analyse the scope for conflict between national merger control agencies which ass...
There has been a significant increase in the merger of conglomerates and multi-national companies wo...
Summary In more then one occasion a proposed transatlantic merger was cleared in one jurisdiction an...
Summary In more then one occasion a proposed transatlantic merger was cleared in one jurisdiction an...
A comparison of merger control in the EU and the USA focusing on efficiency defence and failing comp...
The U.S. and EU merger control regimes are two sets of merger systems that have the greatest impact ...
From an economic perspective, globalization is dismantling national barriers to entry and is transfo...
Present work is aimed at analysis of the trans-national merger control from the position of the busi...
While the economy continues to grow on a global scale, large companies seeking to stay competitive m...
In this paper, we analyse the scope for conflict between national merger control agencies that asser...
The objective of this paper is to discuss and compare the role that different constituencies play in...
The objective of this paper is to discuss and compare the role that different constituencies play in...
A Review of European Merger Control: Legal and Economic Analyses on Multinational Enterprises, Volu...
"In this paper, we analyse the scope for conflict between national merger control agencies which ass...
There has been a significant increase in the merger of conglomerates and multi-national companies wo...
'In this paper, we analyse the scope for conflict between national merger control agencies which ass...
There has been a significant increase in the merger of conglomerates and multi-national companies wo...
Summary In more then one occasion a proposed transatlantic merger was cleared in one jurisdiction an...
Summary In more then one occasion a proposed transatlantic merger was cleared in one jurisdiction an...
A comparison of merger control in the EU and the USA focusing on efficiency defence and failing comp...
The U.S. and EU merger control regimes are two sets of merger systems that have the greatest impact ...
From an economic perspective, globalization is dismantling national barriers to entry and is transfo...
Present work is aimed at analysis of the trans-national merger control from the position of the busi...