|Department of Justice’s Revised Merger Remedies Manual Reflects Preference for Divestitures||September 23, 2020||Austin A.B. Ownbey||Antitrust Alert|
|Antitrust Leadership Changes With Biden Administration||January 21, 2021||Austin A.B. Ownbey||Antitrust Alert|
|Court of Appeals Affirms Divestiture from a Consummated Merger in First-of-Its-Kind Private Antitrust Challenge||February 26, 2021||Lisa C. Wood, Austin A.B. Ownbey||Antitrust Alert|
|UPDATE: Antitrust Leadership Changes||March 9, 2021||Austin A.B. Ownbey||Antitrust Alert|
|Lina Khan Confirmed as FTC Commissioner and Appointed as Chair||June 17, 2021||Austin A.B. Ownbey||Antitrust Alert|
|What Are Interlocking Directorates and Section 8?||June 25, 2021||Austin A.B. Ownbey||Antitrust Alert|
|Jonathan Kanter, Another Big Tech Critic, Nominated to Head Up the Department of Justice’s Antitrust Division||July 23, 2021||Austin A.B. Ownbey||Antitrust Alert|
|A "PATH" to Substantial Tax Savings: Qualified Small Business Stock||June 10, 2016||Nicola Lemay, Earl W. Mellott|
|FBAR: 2015 Reports Due by June 30, 2016||June 14, 2016||Christopher "Kip" Cawley, Nicola Lemay|
|Important Dates and Reminders for Investment Advisers, Exempt Reporting Advisers, Commodity Trading Advisors and Commodity Pool Operators||February 2, 2017||Jeffrey D. Collins, Meredith A. Haviland, Robert G. Sawyer|
Transmitting information to us by e-mail unilaterally does not establish an attorney-client relationship or impose an obligation on either the law firm or even the receiving lawyer to keep the transmitted information confidential. By clicking "OK," you acknowledge that we have no obligation to maintain the confidentiality of any information you submit to us unless we already represent you or unless we have agreed to receive limited confidential material/information from you as a prospective client. Thus, if you are not a client or someone we have agreed to consider as a prospective client, information you submit to us by e-mail may be disclosed to others or used against you.
If you would like to discuss becoming a client, please contact one of our attorneys to arrange for a meeting or telephone conference. If you wish to disclose confidential information to a lawyer in the firm before an attorney-client relationship is established, the protections that the law firm will provide to such information from a prospective client should be discussed before such information is submitted. Thank you for your interest in Foley Hoag.