AVOIDING ANTITRUST CONCERNS WHEN CONDUCTING SURVEYS
Associations often find it useful to conduct surveys related to
their industries and the products and services provided by
their members. While this information is useful and may
promote competition, great care must be taken to avoid
raising antitrust concerns when conducting these types
of surveys. If competitively sensitive information,
including data regarding capacity, prices, rates, credit terms,
revenues, future sales or marketing strategies, or customer
or supplier lists is collected, particular care must be taken.
Further, the more concentrated an industry and the higher
the barriers to entry into the industry the more likely data
will have anticompetitive effects.
Fortunately, in 1996 the U.S. Department of Justice and the
Federal Trade Commission published a “safe harbor” for
information exchanges. Provided that the following three
conditions are satisfied, the federal antitrust enforcement
agencies have vowed not to challenge a survey “absent
extraordinary circumstances”:
the survey is managed by a third-party (e.g., a purchaser,
government agency, health care consultant, academic
institution, or trade association);
the information provided by survey participants is based
on data more than 3 months old; and
there are at least five providers reporting data upon which
each disseminated statistic is based, no individual provider’s
data represents more than 25 percent on a weighted basis
of that statistic, and any information disseminated is sufficiently
aggregated such that it would not allow recipients to identify
the prices charged or compensation paid by any
particular provider.”
These rules are designed to ensure that the data exchange does
not lead to discussions or coordination of prices or costs.
If your association conducts surveys it is important not only
to follow these safe harbor guidelines but also to have a periodic
antitrust audit and an association antitrust policy that is known
and understood by senior staff, officers and directors.
Return To:
Antitrust Audits: Do you need one? How to get started