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Stipulation

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Stipulations - Miscellaneous
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UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA



UNITED STATES OF AMERICA
c/o Department of Justice
Washington, D.C. 20530,
                                         Plaintiff,

        v.

BRIAN L. ROBERTS         
c/o Comcast Corporation        
1 Comcast Center         
Philadelphia, PA 19103-2838       

                                        Defendants.


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Case No. 1:11-cv-02240
Assigned To: Kollar-Kotelly, Colleen
Assign. Date: 12/16/2011
Description: Antitrust



STIPULATION

It is stipulated by and between the undersigned parties, by their respective attorneys, that:

  1. the parties consent that the Court may file and enter a Final Judgment in the form attached to this Stipulation, on the Court's own motion or on the motion of any party at any time, and without further notice to any party or other proceedings, if Plaintiff has not withdrawn its consent, which it may do at any time before the entry of judgment by serving notice of its withdrawal on Defendant Brian L. Roberts and filing that notice with the Court;
  2. Defendant Brian L. Roberts waives any objection to venue or jurisdiction for purposes of this Final Judgment and authorizes Michael N. Sohn of Davis Polk & Wardwell LLP to accept service of all process in this matter on his behalf;
  3. in the event Plaintiff withdraws its consent or if the proposed Final Judgment is not entered pursuant to this Stipulation, this Stipulation shall be of no effect whatever and the making of this Stipulation shall be without prejudice to any party in this or any other proceeding; and
  4. the entry of the Final Judgment in accordance with this Stipulation settles, discharges, and releases any and all claims of Plaintiff, the United States, for civil penalties pursuant to Section 7A(g)(1) of the Clayton Act, 15 U.S.C. § 18a(g)(1), against Defendant for failure to comply with Section 7A of the Clayton Act, 15 U.S.C. § 18a, in connection with Defendant's acquisitions of voting securities of Comcast Corporation from 2007 through 2009.
FOR THE DEFENDANT:

Brian L. Roberts



By:

Dated:

_ /s/ Michael N. Sohn
Michael N. Sohn
D.C. Bar # 90407
Davis Polk & Wardwell LLP
901 15th Street, N.W.
Washington, DC 20005
Counsel for Defendant Brian L. Roberts

September 28, 2011

FOR THE PLAINTIFF:

Dated:

December 16, 2011

/s/ Sharis A. Pozen______________
Sharis A. Pozen
D.C. Bar No. 446732
Acting Assistant Attorney General
Department of Justice
Antitrust Division
Washington, D.C. 20530
(202) 514-2401

/s/ Richard Feinstein                   
Richard Feinstein
D.C. Bar No. 324848
Director
Bureau of Competition
Federal Trade Commission
Washington, D.C. 20580
(202) 326-2151
 

/s/ Marian Bruno                        
Marian Bruno
D.C. Bar No. 414126
Deputy Director


/s/ Roberta S. Baruch                  
Roberta S. Baruch
D.C. Bar No. 269266
Deputy Assistant Director


/s/ Kenneth A. Libby                  
Kenneth A. Libby
Attorney
(202) 326-2694

Updated April 18, 2023