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Delivering his 10th annual CEDA address yesterday, Chair of the Australian Competition and Consumer Commission (ACCC), Rod Sims, announced the ACCC’s compliance and enforcement priorities for 2021. These priorities highlight the areas in which the ACCC will focus its litigation and enforcement activity over the next 12 months, some of which will continue the ACCC’s work from 2020.
Key areas of note are:
During 2020, the ACCC granted a number of authorisations allowing competitors to coordinate their behaviour to enable the supply of essential goods and services, distribution of consumer and business relief and to ensure commercial viability and competition between businesses in post-pandemic markets.
The authorisations granted in 2020 will cease by 30 September 2021, subject to any revisions to the ACCC’s current plans.
The ACCC’s competition enforcement activities remain active, with the ACCC having commenced a number of criminal cartel prosecution cases in a number of different sectors which are expected to proceed to trial during 2021. In addition, the ACCC has noted it has a ‘full slate of investigations’ and expects to commence 2 – 3 new civil or criminal cartel cases this year and in future years.
Despite some recent court losses, the ACCC will continue to pursue cases it believes to be in the public interest. We expect the ACCC will actively monitor conduct which potentially results in significant consumer detriment and will not hesitate to commence court proceedings where such detriment is found to exist. A recent example involved Telstra’s supply of mobile phone services to over 100 indigenous consumers.
Mr Sims also noted that acquisitions in the Australian banking sector which is ‘dominated by four major banks’ will be closely monitored, including those involving fintech start-ups such as NAB’s proposed acquisition of neobank, 86400, in respect of which the ACCC has recently commenced a public review.
As the current commercial arrangements come to end in December 2022, the ACCC will prioritise the establishment of a regulatory framework for the multi-technology NBN network to ensure the efficient utilisation of the significant public investment made in the network. The views of industry and other stakeholders will play a key role in the development of any future regulatory framework developed by the ACCC.
The ACCC’s 2021 enforcement priorities reflect the breadth of the ACCC’s activity, with a number of new and refined priorities. In 2021, the ACCC will focus, in particular, on:
Mr Sims also noted that the ACCC will continue to advocate for law reform in areas where it considers reform is necessary. Some of the areas he identified were:
The Chair noted, “Our current regime is not meeting that objective in relation to stand-alone monopoly infrastructure. Given the economic damage to the businesses using such infrastructure, this is not consistent with the objective of efficiency and is an unnecessary drag on the economy.”
In this context, the ACCC will explore options for reform with a view to ‘rebalance’ the national merger laws with an increased focus on the preservation and promotion of competition for the ultimate benefit of consumers.
We recommend that businesses, particularly those dealing in the ACCC’s focus areas, get well-acquainted with the ACCC's priorities for the year and prepare for increased scrutiny. As the ACCC continues to push for record high penalties for both consumer and competition law contraventions, businesses operating in Australia should proactively review their own business practices and tackle compliance issues head on. Businesses should ensure effective compliance programs are in place and seek legal advice where necessary to get on the front foot of addressing the ACCC’s concerns.
Regional Head of Practice – Competition, Regulation and Trade, Australia, Sydney
The contents of this publication are for reference purposes only and may not be current as at the date of accessing this publication. They do not constitute legal advice and should not be relied upon as such. Specific legal advice about your specific circumstances should always be sought separately before taking any action based on this publication.
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