|
Erica E. Greulich
specializes in empirical microeconomics. She has analyzed the
antitrust implications of mergers and acquisitions in a variety of
industries. |
DOJ Decides Not to Challenge the
XM-Sirius Merger
The Department of Justice's (DOJ's) recent decision to
close its investigation of the proposed XM-Sirius merger
centered on issues of market definition and efficiencies. XM
and Sirius are the only two companies licensed by the
Federal Communications Commission (FCC) to provide satellite
radio services in the United States. Nonetheless, DOJ found
the merger, which is still pending before the FCC, is
unlikely to lessen competition.
Critics describe the transaction as a merger to monopoly
in the market for satellite radio providers. They argue that
satellite radio's extensive programming, national scale,
superior sound, and freedom from commercials place it in its
own market. Merger proponents argue that satellite radio
competes with other music delivery services, such as
terrestrial radio, MP3 players, podcasts and music-to-cell
phone providers. DOJ agreed that these services would
continue to restrain satellite radio prices to competitive
levels and thus rejected the critics' narrow definition of
the market.
Some critics believe that DOJ should have blocked the
XM-Sirius merger based on a unilateral effects theory. Such
a theory would argue that XM and Sirius products are each
other's closest substitutes; hence the merger would
eliminate competition and enable the firm to raise prices
post-merger. The Federal Trade Commission (FTC) lost a
recent challenge, based on a unilateral effects theory and a
narrow market definition, to the Whole Foods-Wild Oats
merger. Critics suggest that the Whole Foods decision made
DOJ reluctant to argue a unilateral effects theory in the
XM-Sirius merger and may continue to make DOJ wary of such
theories in future mergers.
DOJ's statement, however, implies a belief that a viable
unilateral effects theory did not apply to this merger. XM
and Sirius programs are not the closest substitutes for
enough customers to make a post-merger price increase
profitable. For example, for a customer interested in
baseball games on XM, the closest substitute would likely be
baseball games on terrestrial radio, not Sirius, which does
not have baseball. DOJ also found that the merger likely
would lead to significant efficiencies, and that the
likelihood of significant technological change in the near
future made anticompetitive effects from the merger even
less likely.
Additional Articles in Spring 2008 Issue of
Economists Ink
Digital Television May Stimulate Video Competition
Granting Preliminary Injunctions to Branded Pharmaceutical Suppliers to Stop Generic Entry
EI News and Notes
|