Effective April 3, 2019, the jurisdictional thresholds for the Hart-Scott-Rodino Antitrust Improvements Act of 1976, as amended (the “HSR Act”), will increase. Pursuant to statutory amendments made in 2000, the thresholds are annually adjusted based on changes in gross national product. One key effect of this year’s indexing is that transactions will only be reportable if the Size of Transaction exceeds $90 million. This is a small increase over last year’s $84.4 million threshold.
Key revised thresholds are as follows:
Original Threshold
|
2019 Threshold
|
$50 million Size of Transaction Test
|
$90 million
|
$200 million Size of Transaction Test
|
$359.9 million
|
$10 million Size of Person Test
|
$18 million
|
$100 million Size of Person Test
|
$180 million
|
In addition, while the HSR filing fee amounts themselves have not changed, the thresholds upon which the filing fees are based have increased as follows:
Filing Fee
|
Original Filing Fee Threshold
|
2019 Filing Fee Threshold
|
$45,000
|
Transactions valued at more than $50 million but less than $100 million
|
Transactions valued at more than $90 million but less than $180 million
|
$125,000
|
Transactions valued at $100 million or more
but less than $500 million
|
Transactions valued at $180 million or more but less than $899.8 million
|
$280,000
|
Transactions valued at $500 million or more
|
Transactions valued at $899.8 million or more
|
Determining the HSR value of a transaction (and, ultimately, whether a transaction is reportable), requires a nuanced analysis of multiple factors.
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