|
COMMISSION NOTICE on the definition of relevant market
for the purposes of Community competition law (97/C
372/03)
(Text with EEA relevance)
I. INTRODUCTION
1. The purpose of this notice is to provide guidance as
to how the Commission applies the concept of relevant
product and geographic market in its ongoing enforcement
of Community competition law, in particular the
application of Council Regulation No 17 and (EEC) No
4064/89, their equivalents in other sectoral
applications such as transport, coal and steel, and
agriculture, and the relevant provisions of the EEA
Agreement (1). Throughout this notice, references to
Articles 85 and 86 of the Treaty and to merger control
are to be understood as referring to the equivalent
provisions in the EEA Agreement and the ECSC Treaty.
2. Market definition is a tool to identify and define
the boundaries of competition between firms. It serves
to establish the framework within which competition
policy is applied by the Commission. The main purpose of
market definition is to identify in a systematic way the
competitive constraints that the undertakings involved
(2) face. The objective of defining a market in both its
product and geographic dimension is to identify those
actual competitors of the undertakings involved that are
capable of constraining those undertakings' behaviour
and of preventing them from behaving independently of
effective competitive pressure. It is from this
perspective that the market definition makes it possible
inter alia to calculate market shares that would convey
meaningful information regarding market power for the
purposes of assessing dominance or for the purposes of
applying Article 85.
3. It follows from point 2 that the concept of 'relevant
market` is different from other definitions of market
often used in other contexts. For instance, companies
often use the term 'market` to refer to the area where
it sells its products or to refer broadly to the
industry or sector where it belongs.
4. The definition of the relevant market in both its
product and its geographic dimensions often has a
decisive influence on the assessment of a competition
case. By rendering public the procedures which the
Commission follows when considering market definition
and by indicating the criteria and evidence on which it
relies to reach a decision, the Commission expects to
increase the transparency of its policy and
decision-making in the area of competition policy.
5. Increased transparency will also result in companies
and their advisers being able to better anticipate the
possibility that the Commission may raise competition
concerns in an individual case. Companies could,
therefore, take such a possibility into account in their
own internal decision-making when contemplating, for
instance, acquisitions, the creation of joint ventures,
or the establishment of certain agreements. It is also
intended that companies should be in a better position
to understand what sort of information the Commission
considers relevant for the purposes of market
definition.
6. The Commission's interpretation of 'relevant market`
is without prejudice to the interpretation which may be
given by the Court of Justice or the Court of First
Instance of the European Communities.
II.
DEFINITION OF RELEVANT MARKET
Definition of relevant product market and relevant
geographic market
7. The Regulations based on Article 85 and 86 of the
Treaty, in particular in section 6 of Form A/B with
respect to Regulation No 17, as well as in section 6 of
Form CO with respect to Regulation (EEC) No 4064/89 on
the control of concentrations having a Community
dimension have laid down the following definitions,
'Relevant product markets` are defined as follows:
'A relevant product market comprises all those products
and/or services which are regarded as interchangeable or
substitutable by the consumer, by reason of the products'
characteristics, their prices and their intended use`.
8. 'Relevant geographic markets` are defined as follows:
'The relevant geographic market comprises the area in
which the undertakings concerned are involved in the
supply and demand of products or services, in which the
conditions of competition are sufficiently homogeneous
and which can be distinguished from neighbouring areas
because the conditions of competition are appreciably
different in those area`.
9. The relevant market within which to assess a given
competition issue is therefore established by the
combination of the product and geographic markets. The
Commission interprets the definitions in paragraphs 7 an
8 (which reflect the case-law of the Court of Justice
and the Court of First Instance as well as its own
decision-making practice) according to the orientations
defined in this notice.
Concept of relevant market and objectives of Community
competition policy
10. The concept of relevant market is closely related to
the objectives pursued under Community competition
policy. For example, under the Community's merger
control, the objective in controlling structural changes
in the supply of a product/service is to prevent the
creation or reinforcement of a dominant position as a
result of which effective competition would be
significantly impeded in a substantial part of the
common market. Under the Community's competition rules,
a dominant position is such that a firm or group of
firms would be in a position to behave to an appreciable
extent independently of its competitors, customers and
ultimately of its consumers (3). Such a position would
usually arise when a firm or group of firms accounted
for a large share of the supply in any given market,
provided that other factors analysed in the assessment (such
as entry barriers, customers' capacity to react, etc.)
point in the same direction.
11. The same approach is followed by the Commission in
its application of Article 86 of the Treaty to firms
that enjoy a single or collective dominant position.
Within the meaning of Regulation No 17, the Commission
has the power to investigate and bring to an end abuses
of such a dominant position, which must also be defined
by reference to the relevant market. Markets may also
need to be defined in the application of Article 85 of
the Treaty, in particular, in determining whether an
appreciable restriction of competition exists or in
establishing if the condition pursuant to Article 85 (3)
(b) for an exemption from the application of Article 85
(1) is met.
12. The criteria for defining the relevant market are
applied generally for the analysis of certain types of
behaviour in the market and for the analysis of
structural changes in the supply of products. This
methodology, though, might lead to different results
depending on the nature of the competition issue being
examined. For instance, the scope of the geographic
market might be different when analysing a concentration,
where the analysis is essentially prospective, from an
analysis of past behaviour. The different time horizon
considered in each case might lead to the result that
different geographic markets are defined for the same
products depending on whether the Commission is
examining a change in the structure of supply, such as a
concentration or a cooperative joint venture, or
examining issues relating to certain past behaviour.
Basic principles for market definition
Competitive
constraints
13. Firms are subject to three main sources or
competitive constraints: demand substitutability, supply
substitutability and potential competition. From an
economic point of view, for the definition of the
relevant market, demand substitution constitutes the
most immediate and effective disciplinary force on the
suppliers of a given product, in particular in relation
to their pricing decisions. A firm or a group of firms
cannot have a significant impact on the prevailing
conditions of sale, such as prices, if its customers are
in a position to switch easily to available substitute
products or to suppliers located elsewhere. Basically,
the exercise of market definition consists in
identifying the effective alternative sources of supply
for the customers of the undertakings involved, in terms
both of products/services and of geographic location of
suppliers.
14. The competitive constraints arising from supply side
substitutability other then those described in
paragraphs 20 to 23 and from potential competition are
in general less immediate and in any case require an
analysis of additional factors. As a result such
constraints are taken into account at the assessment
stage of competition analysis.
Demand substitution
15. The assessment of demand substitution entails a
determination of the range of products which are viewed
as substitutes by the consumer. One way of making this
determination can be viewed as a speculative experiment,
postulating a hypothetical small, lasting change in
relative prices and evaluating the likely reactions of
customers to that increase. The exercise of market
definition focuses on prices for operational and
practical purposes, and more precisely on demand
substitution arising from small, permanent changes in
relative prices. This concept can provide clear
indications as to the evidence that is relevant in
defining markets.
16. Conceptually, this approach means that, starting
from the type of products that the undertakings involved
sell and the area in which they sell them, additional
products and areas will be included in, or excluded from,
the market definition depending on whether competition
from these other products and areas affect or restrain
sufficiently the pricing of the parties' products in the
short term.
17. The question to be answered is whether the parties'
customers would switch to readily available substitutes
or to suppliers located elsewhere in response to a
hypothetical small (in the range 5 % to 10 %) but
permanent relative price increase in the products and
areas being considered. If substitution were enough to
make the price increase unprofitable because of the
resulting loss of sales, additional substitutes and
areas are included in the relevant market. This would be
done until the set of products and geographical areas is
such that small, permanent increases in relative prices
would be profitable. The equivalent analysis is
applicable in cases concerning the concentraiton of
buying power, where the starting point would then be the
supplier and the price test serves to identify the
alternative distribution channels or outlets for the
supplier's products. In the application of these
principles, careful account should be taken of certain
particular situations as described within paragraphs 56
and 58.
18. A practical example of this test can be provided by
its application to a merger of, for instance, soft-drink
bottlers. An issue to examine in such a case would be to
decide whether different flavours of soft drinks belong
to the same market. In practice, the question to address
would be whether consumers of flavour A would switch to
other flavours when confronted with a permanent price
increase of 5 % to 10 % for flavour A. If a sufficient
number of consumers would switch to, say, flavour B, to
such an extent that the price increase for flavour A
would not be profitable owing to the resulting loss of
sales, then the market would comprise at least flavours
A and B. The process would have to be extended in
addition to other available flavours until a set of
products is identified for which a price rise would not
induce a sufficient substitution in demand.
19. Generally, and in particular for the analysis of
merger cases, the price to take into account will be the
prevailing market price. This may not be the case where
the prevailing price has been determined in the absence
of sufficient competition. In particular for the
investigation of abuses of dominant positions, the fact
that the prevailing price might already have been
substantially increased will be taken into account.
Supply substitution
20. Supply-side substitutability may also be taken into
account when defining markets in those situaitons in
which its effects are equivalent to those of demand
substitution in terms of effectiveness and immediacy.
This means that suppliers are able to switch production
to the relevant products and market them in the short
term (4) without incurring significant additional costs
or risks in response to small and permanent changes in
relative prices. When these conditions are met, the
additional production that is put on the market will
have a disciplinary effect on the competitive behaviour
of the companies involved. Such an impact in terms of
effectiveness and immediacy is equivalent to the demand
substitution effect.
21. These situations typically arise when companies
market a wide range of qualities or grades of one
product; even if, for a given final customer or group of
consumers, the different qualities are not substitutable,
the different qualities will be grouped into one product
market, provided that most of the suppliers are able to
offer and sell the various qualities immediately and
without the significant increases in costs described
above. In such cases, the relevant product market will
encompass all products that are substitutable in demand
and supply, and the current sales of those products will
be aggregated so as to give the total value or volume of
the market. The same reasoning may lead to group
different geographic areas.
22. A practical example of the approach to supply-side
substitutability when defining product markets is to be
found in the case of paper. Paer is usually supplied in
a range of different qualities, from standard writing
paper to high quality papers to be used, for instance,
to publish art books. From a demand point of view,
different qualities of paper cannot be used for any
given use, i.e. an art book or a high quality
publication cannot be based on lower quality papers.
However, paper plants are prepared to manufacture the
different qualities, and production can be adjusted with
negligible costs and in a short time-frame. In the
absence of particular difficulties in distribution,
paper manufacturers are able therefore, to compete for
orders of the various qualities, in particular if orders
are placed with sufficient lead time to allow for
modification of production plans. Under such
circumstances, the Commission would not define a
separate market for each quality of paper and its
respective use. The various qualities of paper are
included in the relevant market, and their sales added
up to estimate total market galue and volume.
23. When supply-side substitutability would entail the
need to adjust significantly existing tangible and
intangible assets, additional investments, strategic
decisions or time delays, it will not be considered at
the stage of market definition. Examples where
supply-side substitution did not induce the Commission
to enlarge the market are offered in the area of
consumer products, in particular for branded beverages.
Although bottling plants may in principle bottle
different beverages, there are costs and lead times
involved (in terms of advertising, product testing and
distribution) before the products can actually be sold.
In these cases, the effects of supply-side
substitutability and other forms of potential
competition would then be examined at a later stage.
Potential competition
24. The third source of competitive constraint,
potential competition, is not taken into account when
defining markets, since the conditions under which
potential competition will actually represent an
effective competitive constraint depend on the analysis
of specific factors and circumstances related to the
conditions of entry. If required, this analysis is only
carried out at a subsequent stage, in general once the
position of the companies involved in the relevant
market has already been ascertained, and when such
position gives rise to concerns from a competition point
of view.
III. EVIDENCE RELIED ON TO DEFINE RELEVANT MARKETS
The process of defining the relevant market in practice
Product dimension
25. There is a range of evidence permitting an
assessment of the extent to which substitution would
take place. In individual cases, certain types of
evidence will be determinant, depending very much on the
characteristics and specificity of the industry and
products or services that are being examined. The same
type of evidence may be of no importance in other cases.
In most cases, a decision will have to be based on the
consideration of a number of criteria and different
items of evidence. The Commission follows an open
approach to empirical evidence, aimed at making an
effective use of all available information which may be
relevant in individual cases. The Commission does not
follow a rigid hierarchy of different sources of
information or types of evidence.
26. The process of defining relevant markets may be
summarized as follows: on the basis of the preliminary
information available or information submitted by the
undertakings involved, the Commission will usually be in
a position to broadly establish the possible relevant
markets within which, for instance, a concentration or a
restriction of competition has to be assessed. In
general, and for all practical purposes when handling
individual cases, the question will usually be to decide
on a few alternative possible relevant markets. For
instance, with respect to the product market, the issue
will often be to establish whether product A and product
B belong or do not belong to the same product market. it
is often the case that the inclusion of product B would
be enough to remove any competition concerns.
27. In such situations it is not necessary to consider
whether the market includes additional products, or to
reach a definitive conclusion on the precise product
market. If under the conceivable alternative market
definitions the operation in question does not raise
competition concerns, the question of market definition
will be left open, reducing thereby the burden on
companies to supply information.
Geographic dimension
28. The Commission's approach to geographic market
definition might be summarized as follows: it will take
a preliminary view of the scope of the geographic market
on the basis of broad indications as to the distribution
of market shares between the parties and their
competitors, as well as a preliminary analysis of
pricing and price differences at national and Community
or EEA level. This initial view is used basically as a
working hypothesis to focus the Commission's enquiries
for the purposes of arriving at a precise geographic
market definition.
29. The reasons behind any particular configuration of
prices and market shares need to be explored. Companies
might enjoy high market shares in their domestic markets
just because of the weight of the past, and conversely,
a homogeneous presence of companies throughout the EEA
might be consistent with national or regional geographic
markets. The initial working hypothesis will therefore
be checked against an analysis of demand characteristics
(importance of national or local preferences, current
patterns of purchases of customers, product
differentiation/brands, other) in order to establish
whether companies in different areas do indeed
constitute a real alternative source of supply for
consumers. The theoretical experiment is again based on
substitution arising from changes in relative prices,
and the question to answer is again whether the
customers of the parties would switch their orders to
companies located elsewhere in the short term and at a
negligible cost.
30. If necessary, a further check on supply factors will
be carried out to ensure that those companies located in
differing areas do not face impediments in developing
their sales on competitive terms throughout the whole
geographic market. This analysis will include an
examination of requirements for a local presence in
order to sell in that area the conditions of access to
distribution channels, costs associated with setting up
a distribution network, and the presence or absence of
regulatory barriers arising from public procurement,
price regulations, quotas and tariffs limiting trade or
production, technical standards, monopolies, freedom of
establishment, requirements for administrative
authorizations, packaging regulations, etc. In short,
the Commission will identify possible obstacles and
barriers isolating companies located in a given area
from the competitive pressure of companies located
outside that area, so as to determine the precise degree
of market interpenetration at national, European or
global level.
31. The actual pattern and evolution of trade flows
offers useful supplementary indications as to the
economic importance of each demand or supply factor
mentioned above, and the extent to which they may or may
not constitute actual barriers creating different
geographic markets. The analysis of trade flows will
generally address the question of transport costs and
the extent to which these may hinder trade between
different areas, having regard to plant location, costs
of production and relative price levels.
Market
integration in the Community
32. Finally, the Commission also takes into account the
continuing process of market integration, in particular
in the Community, when defining geographic markets,
especially in the area of concentrations and structural
joint ventures. The measures adopted and implemented in
the internal market programme to remove barriers to
trade and further integrate the Community markets cannot
be ignored when assessing the effects on competition of
a concentration or a structural joint venture. A
situation where national markets have been artifically
isolated from each other because of the existence of
legislative barriers that have now been removed will
generally lead to a cautious assessment of past evidence
regarding prices, market shares or trade patterns. A
process of market integration that would, in the short
term, lead to wider geographic markets may therefore be
taken into consideration when defining the geographic
market for the purposes of assessing concentrations and
joint ventures.
The
process of gathering evidence
33. When a precise market definition is deemed necessary,
the Commission will often contact the main customers and
the main companies in the industry to enquire into their
views about the boudaries of product and geographic
markets and to obtain the necessary factual evidence to
reach a conclusion. The Commission might also contact
the relevant professional associations, and companies
active in upstream markets, so as to be able to define,
in so far as necessary, separate product and geographic
markets, for different levels of production or
distribution of the products/services in question. It
might also request additional information to the
undertakings involved.
34. Where appropriate, the Commission will address
written requests for information to the market players
mentioned above. These requests will usually include
questions relating to the perceptions of companies about
reactions to hypothetical price increases and their
views of the boundaries of the relevant market. They
will also ask for provision of the factual information
the Commission deems necessary to reach a conclusion on
the extent of the relevant market. The Commission might
also discuss with marketing directors or other officers
of those companies to gain a better understanding on how
negotiations between suppliers and customers take place
and better understand issues relating to the definition
of the relevant market. Where appropriate, they might
also carry out visits or inspections to the premises of
the parties, their customers and/or their competitors,
in order to better understand how products are
manufactured and sold.
35. The type of evidence relevant to reach a conclusion
as to the product market can be categorized as follows:
Evidence to define markets - product dimension
36. An analysis of the product characteristics and its
intended use allows the Commission, as a first step, to
limit the field of investigation of possible substitutes.
However, product characteristics and intended use are
insufficient to show whether two products are demand
substitutes. Functional interchangeability or similarity
in characteristics may not, in themselves, provide
sufficient criteria, because the responsiveness of
customers to relative price changes may be determinded
by other considerations as well. For example, there may
be different competitive contraints in the original
equipment market for car components and in spare parts,
thereby leading to a separate delineation of two
relevant markets. Conversely, differences in product
characteristics are not in themselves sufficient to
exclude demand substitutability, since this will depend
to a large extent on how customers value different
characteristics.
37. The type of evidence the Commission considers
relevant to assess whether two products are demand
substitutes can be categorized as follows:
38. Evidence of substitution in the recent past. In
certain cases, it is possible to analyse evidence
relating to recent past events or shocks in the market
that offer actual examples of substituion between two
products. When available, this sort of information will
normally be fundamental for market definition. If there
have been changes in relative prices in the past (all
else being equal), the reactions in terms of quantities
demanded will be determinant in establishing
substitutability. Launches of new products in the past
can also offer useful information, when it is possible
to precisely analyse which products have lost sales to
the new product.
39. There are a number of quantitative tests that have
specifically been designed for the purpose of
delineating markets. These tests consist of various
econometric and statistical approaches estimates of
elasticities and cross-price elasticities (5) for the
demand of a product, tests based on similarity of price
movements over time, the analysis of causality between
price series and similarity of price levels and/or their
convergence. The Commission takes into account the
available quantitative evidence capable of withstanding
rigorous scrutiny for the purposes of establishing
patterns of substitution in the past.
40. Views of customers and competitors. The Commission
often contacts the main customers and competitors of the
companies involved in its enquiries, to gather their
views on the boundaries of the product market as well as
most of the factual information it requires to reach a
conclusion on the scope of the market. Reasoned answers
of customers and competitors as to what would happen if
relative prices for the candidate products were to
increase in the candidate geographic area by a small
amount (for instance of 5 % to 10 %) are taken into
account when they are sufficiently backed by factual
evidence.
41. Consumer preferences. In the case of consumer goods,
it may be difficult for the Commission to gather the
direct views of end consumers about substitute products.
Marketing studies that companies have commissioned in
the past and that are used by companies in their own
decision-making as to pricing of their products and/or
marketing actions may provide useful information for the
Commission's delineation of the relevant market.
Consumer surveys on usage patterns and attitudes, data
from consumer's purchasing patterns, the views expressed
by retailers and more generally, market research studies
submitted by the parties and their competitors are taken
into account to establish whether an economically
significant proportion of consumers consider two
products as substitutable, also taking into account the
importance of brands for the products in question. The
methodology followed in consumer surveys carried out ad
hoc by the undertakings involved or their competitors
for the purposes of a merger procedure or a procedure
pursuant to Regulation No 17 will usually be scrutinized
with utmost care. Unlike pre-existing studies, they have
not been prepared in the normal course of business for
the adoption of business decisions.
42. Barriers and costs associated with switching demand
to potential substitutes. There are a number of barriers
and costs that might prevent the Commission from
considering two prima facie demand substitutes as
belonging to one single product market. It is not
possible to provide an exhaustive list of all the
possible barriers to substitution and of switching costs.
These barriers or obstacles might have a wide range of
origins, and in its decisions, the Commission has been
confronted with regulatory barriers or other forms of
State intervention, constraints arising in downstream
markets, need to incur specific capital investment or
loss in current output in order to switch to alternative
inputs, the location of customers, specific investment
in production process, learning and human capital
investment, retooling costs or other investments,
uncertainty about quality and reputation of unknown
suppliers, and others.
43. Different categories of customers and price
discrimination. The extent of the product market might
be narrowed in the presence of distinct groups of
customers. A distinct group of customers for the
relevant product may constitute a narrower, distinct
market when such ha group could be subject to price
discrimination. This will usually be the case when two
conditions are met: (a) it is possible to identify
clearly which group an individual customer belongs to at
the moment of selling the relevant products to him, and
(b) trade among customers or arbitrage by third parties
should not be feasible.
Evidence for defining markets - geographic dimension
44. The type of evidence the Commission considers
relevant to reach a conclusion as to the geographic
market can be categorized as follows:
45. Past evidence of diversion of orders to other areas.
In certain cases, evidence on changes in prices between
different areas and consequent reactions by customers
might be available. Generally, the same quantitative
tests used for product market definition might as well
be used in geographic market definition, bearing in mind
that international comparisons of prices might be more
complex due to a number of factors such as exchange rate
movements, taxation and product differentiation.
46. Basic demand characteristics. The nature of demand
for the relevant product may in itself determine the
scope of the geographical market. Factors such as
national preferences or preferences for national brands,
language, culture and life style, and the need for a
local presence have a strong potential to limit the
geographic scope of competition.
47. Views of customers and competitors. Where
appropriate, the Commission will contact the main
customers and competitors of the parties in its
enquiries, to gather their views on the boundaries of
the geographic market as well as most of the factual
information it requires to reach a conclusion on the
scope of the market when they are sufficiently backed by
factual evidence.
48. Current geographic pattern of purchases. An
examination of the customers' current geographic pattern
of purchases provides useful evidence as to the possible
scope of the geographic market. When customers purchase
from companies located anywhere in the Community or the
EEA on similar terms, or they procure their supplies
through effective tendering procedures in which
companies from anywhere in the Community or the EEA
submit bids, usually the geographic market will be
considered to be Community-wide.
49. Trade flows/pattern of shipments. When the number of
customers is so large that it is not possible to obtain
through them a clear picture of geographic purchasing
patterns, information on trade flows might be used
alternatively, provided that the trade statistics are
available with a sufficient degree of detail for the
relevant products. Trade flows, and above all, the
rationale behind trade flows provide useful insights and
information for the purpose of establishing the scope of
the geographic market but are not in themselves
conclusive.
50. Barriers and switching costs associated to divert
orders to companies located in other areas. The absence
of trans-border purchases or trade flows, for instance,
does not necessarily mean that the market is at most
national in scope. Still, barriers isolating the
national market have to identified before it is
concluded that the relevant geographic market in such a
case is national. Perhaps the clearest obstacle for a
customer to divert its orders to other areas is the
impact of transport costs and transport restrictions
arising from legislation or from the nature of the
relevant products. The impact of transport costs will
usually limit the scope of the geographic market for
bulky, low-value products, bearing in mind that a
transport disadvantage might also be compensated by a
comparative advantage in other costs (labour costs or
raw materials). Access to distribution in a given area,
regulatory barriers still existing in certain sectors,
quotas and custom tariffs might also constitute barriers
isolating a geographic area from the competitive
pressure of companies located outside that area.
Significant switching costs in procuring supplies from
companies located in other countries constitute
additional sources of such barriers.
51. On the basis of the evidence gathered, the
Commission will then define a geographic market that
could range from a local dimension to a global one, and
there are examples of both local and global markets in
past decisions of the Commission.
52. The paragraphs above describe the different factors
which might be relevant to define markets. This does not
imply that in each individual case it will be necessary
to obtain evidence and assess each of these factors.
Often in practice the evidence provided by a susbset of
these factors will be sufficient to reach a conclusion,
as shown in the past decisional practice of the
Commission.
IV.
CALCULATION OF MARKET SHARE
53. The definition of the relevant market in both its
product and geograhic dimensions allows the
identification the suppliers and the customers/consumers
active on that market. On that basis, a total market
size and market shares for each supplier can be
calculated on the basis of their sales of the relevant
products in the relevant area. In practice, the total
market size and market shares are often available from
market sources, i.e. companies' estimates, studies
commissioned from industry consultants and/or trade
associations. When this is not the case, or when
available estimates are not reliable, the Commission
will usually ask each supplier in the relevant market to
provide its own sales in order to calculate total market
size and market shares.
54. If sales are usually the reference to calculate
market shares, there are nevertheless other indications
that, depending on the specific products or industry in
question, can offer useful information such as, in
particular, capacity, the number of players in bidding
markets, units of fleet as in aerospace, or the reserves
held in the case of sectors such as mining.
55. As a rule of thumb, both volume sales and value
sales provide useful information. In cases of
differentiated products, sales in value and their
associated market share will usually be considered to
better reflect the relative position and strength of
each supplier.
V. ADDITIONAL
CONSIDERATIONS
56. There are certain areas where the application of the
principles above has to be undertaken with care. This is
the case when considering primary and secondary markets,
in particular, when the behaviour of undertakings at a
point in time has to be analysed pursuant to Article 86.
The method of defining markets in these cases is the
same, i.e. assessing the responses of customers based on
their purchasing decisions to relative price changes,
but taking into account as well, constraints on
substitution imposed by conditions in the connected
markets. A narrow definition of market for secondary
products, for instance, spare parts, may result when
compatibility with the primary product is important.
Problems of finding compatible secondary products
together with the existence of high prices and a long
lifetime of the primary products may render relative
price increases of secondary products profitable. A
different market definition may result if significant
substitution between secondary products is possible or
if the characteristics of the primary products make
quick and direct consumer responses to relative price
increases of the secondary products feasible.
57. In certain cases, the existence of chains of
substitution might lead to the definition of a relevant
market where products or areas at the extreme of the
market are not directly substitutable. An example might
be provided by the geographic dimension of a product
with significant transport costs. In such cases,
deliveries from a given plant are limited to a certain
area around each plant by the impact of transport costs.
In principle, such an area could constitute the relevant
geographic market. However, if the distribution of
plants is such that there are considerable overlaps
between the areas around different plants, it is
possible that the pricing of those products will be
constrained by a chain substitution effect, and lead to
the definition of a broader geographic market. The same
reasoning may apply if product B is a demand substitute
for products A and C. Even if products A and C are not
direct demand substitutes, they might be found to be in
the same relevant product market since their respective
pricing might be constrained by substitution to B.
58. From a practical perspective, the concept of chains
of substitution has to be corroborated by actual
evidence, for instance related to price interdependence
at the extremes of the chains of substitution, in order
to lead to an extension of the relevant market in an
individual case. Price levels at the extremes of the
chains would have to be of the same magnitude as well.
(1) The focus of assessment in State aid cases is the
aid recipient and the industry/sector concerned rather
than identification of competitive constraints faced by
the aid recipient. When consideration of market power
and therefore of the relevant market are raised in any
particular case, elements of the approach outlined here
might serve as a basis for the assessment of State aid
cases.
(2) For the purposes of this notice, the undertakings
involved will be, in the case of a concentration, the
parties to the concentration; in investigations within
the meaning of Article 86 of the Treaty, the undertaking
being investigated or the complainants; for
investigations within the meaning of Article 85, the
parties to the Agreement.
(3) Definition given by the Court of Justice in its
judgment of 13 February 1979 in Case 85/76, Hoffmann-La
Roche [1979] ECR 461, and confirmed in subsequent
judgments.
(4) That is such a period that does not entail a
significant adjustment of existing tangible and
intangible assets (see paragraph 23).
(5) Own-price elasticity of demand for product X is a
measure of the responsiveness of demand for X to
percentage change in its own price. Cross-prise
elasticity between products X and Y is the
responsiveness of demand for product X to percentage
change in the price of product Y.
|