AAI Urges DOJ and FTC to Support Cert Petition and Reject “Market-Power Screen” for Resale Price Maintenance (RPM) Agreements

Dec 21 2010
Commentaries

In a letter to DOJ Antitrust Chief Varney and FTC Chairman Leibowitz, AAI requested that the agencies weigh in on the certiorari petition in PSKS, Inc. v. Leegin Creative Leather Products, Inc. to make clear that a prima facie violation of the rule of reason in an RPM case does not require a strict definition of the relevant market nor proof of market power.
 

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