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Predation

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enhance market power through predatory acts ... 2. Cartel theory incentive to cheat ... PW world price (competitive) PDom domestic, cartelized price ... – PowerPoint PPT presentation

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Title: Predation


1
Predation
  • Monopolization Predatory Behavior
  • Predatory Pricing Economic Theory
  • Legal Treatment of Alleged Predation

2
Monopolization Predatory Behavior
  • Object
  • enhance market power through predatory acts
  • convince rivals to exit market, not enter or
    compete
  • once clear, exploit market power

3
Means of Predation
  • classic form predatory price cutting
  • impose losses on rivals until they "cry uncle"
  • modern extension raising rivals costs
  • exclusion
  • exclusive contracts to deny essential facilities
  • upstream integration
  • monopolize inputs to raise cost to downstream
    competitors
  • advertising (allegedly) to raise entry costs
  • "frivolous" legal challenges
  • old but notable sabotage/espionage
  • doubly illegal but part of some A-T cases

4
Recent Cases of Alleged Predation
  • Classic American Airlines Fare Wars
  • Entry followed by price cuts on specific routes
  • A common feature of modern airline markets
  • not limited to American Airlines
  • Q were fare cuts limited to affected routes or
    was did they extend to other routes
  • Also Matsushita vs. Zenith (1986)
  • novel claim predation was collusive

5
Recent Cases of Alleged Predation
  • Raising Rivals Costs
  • Airline Computer Reservation Systems
  • United American developed CRS that favored
    their flights over independents
  • DOJ claimed this was upstream integration into an
    input market (CRSs) designed to preserve/expand
    market power

6
Recent Cases of Alleged Predation
  • Sabotage
  • 1 billion verdict in UST-Conwood (2003)
  • case involved UST agents removing Conwood
    displays at tobacco retailers
  • Sun Microsystems vs. Microsoft (ongoing)
  • Sun owns Java licenses it to developers
  • Java is/was a perceived threat to Windows OS
  • MS development tools allegedly "pollute" Java
    code so it bombs on non Windows platforms

7
Predatory Price Cutting
  • Forms Intent
  • impose losses on firms
  • as long as you stay you will make losses, so
    leave or
  • merge or be doomed to making losses
  • "discipline" rivals in a cartel
  • "grim strategy" in pricing games
  • make rival think you will resort to huge
    punishment if rival does not cooperate

8
Economics of Predatory Pricing
  • Elements
  • pricing below cost with intent to gain market
    power
  • pricing designed to impose losses on rivals
  • must ascertain costs which costs are relevant?
  • common claim costs of rival (incorrect)
  • to distinguish between normal competitive
    behavior P lt AVC may be predatory
  • "Areeda-Turner rule" endorsed by current S. Court
    Justice Beyer (in prior case)
  • But still must distinguish between predation
    promotion (free giveaways are common entry
    schemes)

9
Economics of Predatory Pricing
  • Problems with the Strategy
  • Predator is generally larger than the rival
  • ? costs incurred exceed costs imposed
  • easier to manage with locally targeted cuts, but
    disparity presumably remains
  • rival's optimal strategy might be to shut down
    temporarily and not incur any operating losses

10
Economics of Predatory Pricing
  • Problems with the Strategy (cont'd)
  • Suppose aim is to induce firm to exit
  • Exit likely if assets are highly mobile
  • target firm sees losses in widgets so switches to
    making gadgets
  • But if assets are mobile, easy entry occurs when
    the predator increases price
  • Conclude asset mobility is a wash for predator

11
Economics of Predatory Pricing
  • Problems with the Strategy (cont'd)
  • Suppose assets are highly immobile
  • P lt AVC ? rational rival shuts down
  • Immobility ? assets can't be shifted elsewhere
  • Problem assets remain in the market available
    to restart production when predator raises price

12
Economics of Predatory Pricing
  • Potential Remedies for Predators
  • Develop a reputation for irrationality
  • Make rivals fear predator s.t. they believe
    predator will cut P even if it is not in own best
    interest
  • ? lower likelihood of entry
  • ? greater likelihood that merger offers accepted
  • OK, but basing theories on irrationality
    hypotheses is not good economics

13
Legal Treatment of Predatory Pricing
  • Predation often alleged and accepted by courts
  • Economist's skepticism has altered court's
    practice in recent years
  • Two Prong Test
  • 1) What is likelihood that predation could be
    profitable?
  • 2) Apply Areeda-Turner only if (1) is found
    likely
  • Failure to establish that predation could be
    profitable (item 1) has stopped recent cases when
    in past court would have been confused

14
Matsushita v Zenith (1986)
  • Fairly typical case of alleged predation...
  • Typical in that economists think the allegation
    of predatory pricing was a howler
  • Atypical in that
  • Alleged predation was collusive
  • Court accepted the expert economists claim that
    the alleged predation would have led to
    significant losses that could not be recouped

15
M v Z Zeniths Claims
  • Main Allegation
  • 7 Japanese TV manufacturers engaged in collusive
    predation
  • Specific Claims
  • 1. Over a 10 year period, prices were about 60
    of costs, predatory
  • 2. Firms agreed to minimum export prices and
    restricted distribution channels, collusive
  • 3. Losses in U.S. financed by War Chest from
    monopolistic pricing in Japan

16
M v Z Plaintiffs' Defense (1)
  • 1. One can view the losses of below-cost pricing
    as an investment that yields future returns when
    competitors exit and price increases to monopoly
    levels.
  • What is the rate of return on this investment?
    Negative! It is almost impossible to recoup a
    decade of losses at 40 cents on the dollar with
    future monopoly profits.
  • Hence, the predation alleged by Zenith is not a
    rational investment.

17
M v Z Plaintiffs' Defense (2)
  • 2. Cartel theory ? incentive to cheat
  • Cheating occurred here, but the cheating was not
    consistent with a predatory agreement.
  • P lt C ? cheaters want to reduce output
  • let others suffer the losses from predation
  • individual Japanese firms were undercutting the
    minimum prices to sell more TVs

18
M v Z Plaintiffs' Defense (3)
  • 3. War Chest
  • The existence of profits in one market is
    irrelevant to the strategy in other markets
  • A "War Chest" would be employed only on project
    with have positive net present value
  • Predation in this market was shown to be an
    unprofitable project
  • Similarly, if predation were a positive net
    present value project, it could be financed
    independent of the profits earned elsewhere
  • The "War Chest" is irrelevant.

19
M v Z The Court's Response
  • 11 years of evidence at Fed District Court
  • Then, case dismissed on summary judgment!
  • --Judge ruled that the facts presented by Zenith,
    if true, were inconsistent with rational
    predation, and a full trial unnecessary
  • --Economic theory implied claim of predation was
    false
  • Ping-pong appeals to S. Court, which accepted the
    District Court's reliance on economics
  • Cases can now be dismissed if it can be
    established that alleged predation had no chance
    of being profitable

20
Cartel Dumping Model
  • PW world price (competitive)
  • PDom domestic, cartelized price
  • QT total production by domestic firms
  • QDom production allocated to dom mkt
  • (QT QDom) output dumped into export market

21
Cartel Dumping Model
22
Cartel Dumping Model
  • Japanese TV firms were domestic cartel, supported
    by MITI and trade barriers
  • Who was harmed by their strategy?
  • How is this similar to Addyston Pipe?
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