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FOR THE DISTRICT OF COLUMBIA
PLAINTIFF UNITED STATES’ Plaintiff United States of America (“United States”) submits this short memorandum summarizing the procedures regarding the Court’s entry of the proposed Final Judgment. This proposed Final Judgment would settle this case pursuant to the Antitrust Procedures and Penalties Act, 15 U.S.C. § 16(b)-(h) (the “APPA”), which applies to civil antitrust cases brought and settled by the United States. 1. Today, the United States has filed a Complaint, Stipulation and Order, proposed Final Judgment, and a Competitive Impact Statement related to the proposed Final Judgment. The parties have agreed that the Court may enter the proposed Final Judgment following compliance with the APPA. 2. The APPA requires that the proposed Final Judgment and Competitive Impact Statement be published in the Federal Register and in certain newspapers at least sixty (60) days prior to entry of the proposed Final Judgment. The notice will inform members of the public that they may submit comments about the proposed Final Judgment to the United States Department of Justice, Antitrust Division (see 15 U.S.C. § 16(b)-(c)). 3. During the 60-day period, the United States will consider, and at the close of that period respond to, any comments that it has received, and it will publish the comments and the United States’ responses in the Federal Register. 4. After the expiration of the 60-day period, the United States will file with the Court the comments and the United States’ responses, and it may ask the Court to enter the proposed Final Judgment (unless the United States has decided to withdraw its consent to entry of the Final Judgment, as permitted by paragraph 2 of the Stipulation and Order, see 15 U.S.C. § 16(d)). 5. If the United States requests that the Court enter the proposed Final Judgment after compliance with the APPA, 15 U.S.C. § 16(e)-(f), then the Court may enter the Final Judgment without a hearing, provided that it concludes that the Final Judgment is in the public interest.
FOR THE DISTRICT OF COLUMBIA
CERTIFICATE OF SERVICE I, Yvette F. Tarlov, hereby certify that on January 18, 2010, I caused a copy of the Plaintiff’s Explanation of Consent Decree Procedures to be served upon defendants Comcast Corporation, General Electric Co., and NBC Universal, Inc. by mailing the documents electronically to the duly authorized legal representatives of defendants as follows: Counsel for Defendant Comcast Corporation: Arthur J. Burke, Esquire Joe Sims, Esquire Counsel for Defendants General Electric Co. and NBC Universal, Inc.: Deborah L. Feinstein, Esquire
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