White & Case (Washington)

Daniel Rosenthal

White & Case (Washington)
Lawyer (Associate)

Daniel Rosenthal is an associate at White & Case, in the Global Antitrust/Competition Practice. Daniel’s primary areas of focus include government merger investigations, antitrust counselling, and advising clients on global cross-border transactions with multiple merger clearance requirements. Daniel has experience representing clients in all phases of merger clearance before the Federal Trade Commission and Department of Justice, as well as before federal courts in litigated challenges by the government. He has assisted clients in a broad range of industries, including healthcare, pharmaceuticals, biotechnology, manufacturing, petroleum, solid waste, transportation, automobile components, semiconductors, software, hardware, chemicals, energy, entertainment, and retail sales. Daniel also regularly counsels clients on issues relating to the Hart-Scott-Rodino Antitrust Improvements Act of 1976 (HSR Act) as well as international merger notification requirements.

Auteurs associés

White & Case (Washington)
White & Case (Washington)
White & Case (Washington)
White & Case (Washington)
White & Case (Washington)

Articles

152 Bulletin

Daniel Rosenthal, Rebecca H. Farrington, Mark J. Gidley, George L. Paul, Regina Loureiro The US DoJ and US FTC temporarily suspend grants of early termination of waiting period in merger reviews under the Hart-Scott-Rodino Act

19

The Federal Trade Commission ("FTC") and Department of Justice ("DOJ") announced today that they are temporarily suspending any grants of early termination under the Hart-Scott-Rodino Act ("HSR Act"). The HSR Act is the federal premerger notification program, which requires parties to notify (...)

Mark J. Gidley, George L. Paul, Rebecca H. Farrington, Martin M. Toto, Noah A. Brumfield, Daniel Rosenthal, Nicholas Putz The US FTC announces annual changes to HSR thresholds for merger notification

133

On February 1, 2021, the Federal Trade Commission (FTC) announced the annual changes to the Hart-Scott-Rodino (HSR) Act notification thresholds. The FTC is required by law to revise the jurisdictional thresholds annually, based on the change in gross national product. Accordingly, the 2021 (...)

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