*Hi colleagues:*

*Below are finding from law firm:*


*RIPE NCC qualifies as an association of undertakings in the sense of EU
competition law. In view of its activities, such as the allocation and
registration of Internet number resources, RIPE NCC itself may also be
regarded as an undertaking under EU competition law. The same applies to
the other four regional Internet registries (RIRs). It follows that RIPE
NCC is obliged to act in line with EU competition law: *



   - *as an association of undertakings, it must comply with Article 101(1)
   of the Treaty on the Functioning of the European Union (TFEU), which
   prohibits decisions by associations of undertakings which may affect trade
   between Member States and which have as their object or effect the
   prevention, restriction or distortion of competition within the internal
   market of the European Union. This is also known as the cartel prohibition;*
   - *as an undertaking, it must comply with Article 101(1) TFEU, which
   also prohibits agreements between undertakings which may affect trade
   between Member States and which have as their object or effect the
   prevention, restriction or distortion of competition within the internal
   market of the European Union;*
   - *as an undertaking, it must also comply with Article 102 TFEU, which
   prohibits the abuse of a dominant position within the internal market of
   the European Union.*



*As regards the applicability of this Article 102 TFEU to RIPE NCC, it is
important to note that the current standard service agreement of RIPE NCC,
as well as the proposed new model, in conjunction with the RIR Governance
Document, grants RIPE NCC complete territorial exclusivity to allocate and
register Internet number resources in its own service area. Consequently,
RIPE NCC holds a monopoly in its service area and should therefore be
considered subject to the prohibition of abuse of a dominant position as
set out in Article 102 TFEU.*



*We have been advised by Loyens & Loeff that several restrictions in the
current and the proposed service agreement of RIPE NCC and the RIR
Governance Document may raise concerns under EU competition law, and could
be contrary to the cartel prohibition and/or the prohibition of abuse of
dominance.*



*Firstly, the allocation of exclusive territorial service areas to each of
the five RIRs could possibly be interpreted as a market sharing agreement.
In general, market sharing agreements are considered to constitute serious
hard core infringements of the cartel prohibition. These types of
agreements only very rarely escape the applicability of the cartel
prohibition, and usually do not qualify for an exemption from this
prohibition.*



*In addition, the current and the proposed service agreement of RIPE NCC
excludes the portability of rights to number resources. The fact that these
rights are not portable is likely to restrict potential competitors of RIPE
NCC (both existing RIRs as well as companies desirous to become RIRs) to
offer their services to users in RIPE NCC’s service area. Therefore, to the
extent that the current and proposed regime does not allow for number
portability, this could be regarded as a decision of an association of
undertakings which is contrary to the cartel prohibition, as well as an
abuse of RIPE NCC’s dominant position in its service area.*



*The consequences of an infringement of the cartel prohibition or of an
abuse of a dominant position can be extremely severe. Perhaps most
importantly:*



   - *the European Commission may impose very high fines, which may go up
   to 10% of the worldwide annual group turnover;*
   - *parties that have suffered damages as a result of the infringement of
   EU competition law, may ask for compensation of these damages in civil
   court proceedings.*



***



We hope the above is helpful. Happy to discuss.




--
Kind regards.
Lu
-----
To unsubscribe from this mailing list or change your subscription options, 
please visit: https://mailman.ripe.net/mailman3/lists/ripe-list.ripe.net/
As we have migrated to Mailman 3, you will need to create an account with the 
email matching your subscription before you can change your settings. 
More details at: https://www.ripe.net/membership/mail/mailman-3-migration/

Reply via email to