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2. Criminal Sections. Seven Field Offices
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1. 1 Antitrust Division Criminal Enforcement ProgramPresentation on Antitrust Violations & Prosecutions Michelle Pionkowski
Trial Attorney U.S. Department of Justice, Antitrust Division
Philadelphia Office
Direct Dial: (215) 597-7568
Michelle.Pionkowski@usdoj.gov
American Apparel & Footwear Association
Government Contract Committee Spring Meeting
March 24, 2006
2. 2 Seven Field Offices & One D.C. Section:
• Atlanta • Chicago
• Cleveland • Dallas
• NCES • New York
• Philadelphia • San Francisco
3. 3 Sherman Antitrust Act(1890) Every contract, combination, or conspiracy in restraint of trade is declared to be illegal.
4. 4 What We Investigate & Prosecute 15 U.S.C. § 1: “Every contract, combination . . ., or conspiracy, in restraint of trade or commerce . . .” is declared to be illegal.”
5. 5 United States v. Topco Assoc.(U.S. Supreme Court 1972) “Antitrust laws in general and the Sherman Act in particular are the Magna Carta of free enterprise. They are as important to the preservation of economic freedom and our free enterprise system as the Bill of Rights is to the protection of our fundamental personal freedoms.”
6. 6 Antitrust Enforcement Criminal Enforcement
Merger Review
Monopolies and Other Civil Violations
7. 7 Criminal Enforcement Punishment
Restitution for Victims
Return to Competitive Markets
8. 8 Agreements Among Competitors To:
Fix Prices
Rig Bids
Allocate Markets (Customer/Territories)
Allocate Sales Volumes/Restrict Output
9. 9 Related Crimes:
Mail & Wire Fraud - 18 U.S.C. § 1341, 1343
Attempts To Fix Prices
Conspiracy To Commit Mail Or Wire Fraud -
18 U.S.C. §§ 371, 1349
False Statements To Government Agency -
18 U.S.C. § 1001
Bribery - 18 U.S.C. §§ 201, 666
10. 10 What We Investigate & Prosecute Related Crimes:
Conspiracy To Defraud U.S. - 18 U.S.C. § 371
Money Laundering - 18 U.S.C. §§ 1956, 1957
Aiding & Abetting - 18 U.S.C. § 2
Tax Offenses - 26 U.S.C. §§ 7201, 7206
11. 11 What We Investigate & Prosecute Crimes Threatening Integrity Of Investigations
Perjury and False Declarations To Grand Jury –
18 U.S.C. §§ 1621, 1623
Obstruction Of Justice - 18 U.S.C. §§ 1503, 1505, 1510, 1512, 1519
False Statements - 18 U.S.C. § 1001
Criminal Contempt - 18 U.S.C. §§ 401, 402
12. 12 Price Fixing Contrary to what it sounds like, price fixing does not only mean that people have agreed to specific prices, or agreed to always charge the same exact price
Price fixing is an agreement or understanding between two or more persons to tamper with price competition
13. 13 Forms of Price-Fixing Agreements among competitors to:
Charge the same price
Raise prices
Eliminate discounts
Establish a minimum price
Establish a standard pricing formula
14. 14 Price Fixing Price Fixing is illegal
Even if the parties to the agreement did not eliminate all forms of competition among themselves; or
If some parties cheated on the agreement; or
Even if the agreement was not as successful as the members intended
15. 15 Price Fixing Like any criminal conspiracy, it is the agreement to act together that is the crime
Whether the agreement is actually carried out or whether it succeeds or fails does not matter
16. 16 Price Fixing There does not need to be a formal, express or written agreement among the co-conspirators
Evidence need only show that co-conspirators came to a mutual understanding to accomplish a common and unlawful goal (“meeting of the minds”)
17. 17 Price-Fixing is Per Se Illegal Illegal in and of itself because of its inhibiting effect on competition and lack of any redeeming virtue
Illegal without elaborate inquiry into the precise harm caused by or the business excuse for the conduct
18. 18 Bid Rigging Any agreement between competitors concerning who will bid, what the bids will be, or who will be the low bidder.
19. 19 Forms of Bid Rigging Agreements among competitors to:
Divide projects or contracts
Rotate projects or contracts
Submit intentionally high bids or refrain from bidding altogether in return for a payoff or the promise of a future project or contract
20. 20 Things That Make You Go Hmmm(Indicators of Collusion) Bid Patterns Over Time
Clues in Bid Documents
Non-Competitive Pricing
Vendor Comments
Sham Bidders
21. 21 United States v. Atlantic Disposal Bid Documents
1. Few Bidders
2. Atlantic Disposal Always Won
3. Common Typeface
4. Common Mathematical Errors
5. Subcontracts to Losing Bidders
6. Sham Bidder
22. 22 Bid Rigging at WorkBoston Globe, November 3, 1991 The average price per pound of ocean perch sold by New England fish processors to the Dept. of Defense rose and fell in line with the power of the cartel.
23. 23 WHEN Might Collusion Occur? Few Sellers/Friendly Competitors
Restrictive Specifications
Standardized (Commodity) Product
Repetitive Purchases
International Trade
24. 24 HOW Do Antitrust Conspiracies Work? Opportunity to Scheme
Means to Divide Illegal Overcharge
Method of Communication
Mechanism to Monitor the Agreement
25. 25 Why? Very Effective Way to Overcharge (make a lot of money)
Very Difficult to Detect and/or Convict
Conspirators “Justify” Overcharges
Modest Penalties (Not anymore!)
26. 26 The Cost of Collusion Conspiracies are Lengthy
Often Spread to Other Goods and Services
The Result is that Victims are Overcharged and Defrauded
27. 27 Subcontracting to Losing Bidders
28. 28 Subcontracting to Losing Bidders
29. 29 Complementary Bids Bandages
Year 1 Frass $10.00
Brenner $13.00
Year 2 Frass $12.00
Brenner $15.00
Year 3 Frass $14.00
Brenner $17.00 Medical Boxes
Brenner $10.00
Frass $13.00
Brenner $12.00
Frass $15.00
Brenner $14.00
Frass $17.00
30. 30 Rotation of Bids Men’s Outdoor Gloves
Firm A $10.00
Firm B $12.00
Firm C $13.00
Firm D $14.00
Men’s Dress Gloves
Firm C $10.00
Firm D $12.00
Firm A $13.00
Firm B $14.00
Women’s Outdoor Gloves
Firm B $10.00
Firm C $12.00
Firm D $13.00
Firm A $14.00
Women’s Dress Gloves
Firm D $10.00
Firm A $12.00
Firm B $13.00
Firm C $14.00
31. 31 Forms ofAllocation Agreements Agreements among competitors to:
Allocate customers
Allocate territories
Allocate sales volumes
Allocate production volumes
Allocate market shares
Allocate market growth
32. 32 Where are these cartelconspiracies operating? Everywhere
Our investigations have uncovered meetings of international cartels in well over 100 cities in more than 35 countries
Domestic illegal antitrust conspiracies have been prosecuted in virtually every judicial district in the United States
34. 34 Who Are CommonCo-Conspirators? Corporate Executives
Intelligent
Confident
Wealthy
Powerful
Profit Driven
35. 35
36. 36 “They [the customers] are not my friends. You’re my friend. I wanna be closer to [my competitor] than I am to any customer. ‘Cause you can make us . . . money.” -Terry Wilson, ADM Vice President--Serving a 33 month prison sentence
37. 37 “If no one talks, everyone walks.” “We can hang together, or hang separately.”
38. 38 Cornerstones of EffectiveAnti-Cartel Enforcement Severe sanctions against companies and executives who participate in the illegal activity
Fear of detection
Clear enforcement policies
39. 39 Threat of Severe Sanctions Maximum Criminal Penalties for offenses committed on or after June 2004:
Individuals: 10 years in jail & $1 million fine
Corporations: $100 million fine
Alternative Fine: Double the gain or double the loss caused by the illegal activity
40. 40 Threat of Severe Sanctions Obstruction of Justice Penalties:
Perjury: 5 years in jail & $250,000 fine
False Statements: 5 years in jail & $250,000 fine
Document Destruction: 20 years in jail & $250,000 fine
Witness Tampering: 20 years in jail & $250,000 fine
Bribery: 15 years in jail & greater of $250,000 or three times the amount of the bribe
41. 41 How Investigations Get Started Spin-offs from Existing Fraud Cases
Anonymous Complaints
Amnesty
Purchasing Agents
Proactive Contract Review
42. 42 Most Effective Investigative Tool - Division’s 1993 Corporate Leniency Policy
No Criminal Prosecution For Self Reporting
All Cooperating Directors, Officers, Employees Of Qualifying Corporation Also Receive Amnesty
Company Must Cooperate Throughout Investigation
Company Must Not Be “The” Ringleader
Company Must Terminate Conduct Promptly and Effectively Upon Discovery
Company Must Pay Restitution To Victims
BUT -- Only The First To Qualify Gets It
Strict Confidentiality Policy
43. 43 Benefits Of Corporate Leniency Policy Detection Of Cartels That Otherwise Would Remain Undetected
Prosecution Of Co-Conspirators
Opportunity For Covert Operations
Access To Documents Regardless Of Location
Access To Witnesses Regardless Of Nationality
44. 44 Corporate Leniency Policy Obligation To Cooperate Throughout Investigation
Hammer – Violate Amnesty Agreement = Removal From Program
Subject To Prosecution
All Evidence Provided May Be Used Against Company
45. 45 Leniency Program’s Value Major Role In Cracking International Cartels
Last Nine Years – Over $2.5 Billion In Fines
Not So Much Absolution For The Guilty As It Is The Anti-Cartel Enforcer’s Most Potent Weapon
Allows Prosecution Of Co-Conspirators
46. 46 Evidence Of Leniency Program’s Value Vitamins
F. Hoffmann-La Roche - $500 Million
BASF $225 Million
DRAM
Infineon $160 Million
Hynix $185 Million
Samsung $300 Million
Graphite Electrodes
UCAR $110 Million
SGL $135 Million
Mitsubishi $134 Million
Fine Arts Auctions
Sotheby’s $ 45 Million
47. 47 Amnesty For Cooperating Executives
Could Be The Program’s Biggest Reward
Graphite Electrodes -Amnesty Executives = No Prosecution; UCAR Executives = 17 Months; 9 Months; & Indicted Fugitive
Vitamins - Amnesty Executives = No Prosecution; Six Hoffmann-La Roche and BASF Executives Jailed In US
Fine Arts Auctions - Amnesty Executives = No Prosecution; Sotheby’s Chairman = One Year In Jail
48. 48 Use Of Alternative Fine Statute To Obtain Corporate Fines That Deter(FY 1997) FY 86 - 91 Average Fine Total - $27 Million
FY 97 - $205 Million
FY 99 – Over $1.1 Billion (Highest)
FY 04 - Over $350 Million (2nd Highest)
FY 05 - Over $338 Million (3rd Highest)
Nine Years Ago Largest Fine - $2 Million
Today - Nine Defendants $100+ Million
51 Defendants - $10+ Million
49. 49 Significant Jail Sentences Against Culpable Corporate Executives (FY 2000) FY 97 - Average Jail Sentence - 4 Months
FY 00 – Average Jail Sentence – 10 Months
FY 05 - Average Jail Sentence – 24 Months
Longest Sentences In Division Prosecutions
August 2001 - 4 Years
November 2001 - 63 Months
January 2002 - 10 Years
May 2005 – Over 11 Years
50. 50 Antitrust Division Criminal Enforcement Program Michelle Pionkowski
Trial Attorney U.S. Department of Justice, Antitrust Division
Philadelphia Office
Direct Dial: (215) 597-7568
Michelle.Pionkowski@usdoj.gov
51. 51
We’ll End With A Scene From A Recent Cartel Meeting
52. 52