Home / Publications / JunHe Legal Updates / details of junhe law review

China Released Penalty W88优德官方网站s for Illicit Concentrations

2025.03.31 WEI, Yingling、DING, Yuhang

1. Introduction


On March 25, 2025, the State Administration for Market Regulation (SAMR), the enforcement authority of the Anti-Monopoly Law of the PRC (AML), released the Discretionary Criteria for Administrative Penalties for the Illegal Implementation of Concentrations of Undertakings (Trial) (W88优德官方网站)1 dated February 19, 2025. The W88优德官方网站 unveils the underlying principles, calculation methods and specific factors that SAMR will consider when imposing administrative sanctions (though the main text is mostly focused on calculating the fine) on the illegal implementation of concentrations of undertakings (illicit concentration). The W88优德官方网站 took effect immediately and covers violations after August 1, 2022.


On August 1, 2022, the AML raised the capped W88优德官方网站 amount from RMB 500 thousand (approx. USD70,000) to RMB 5 million (approx. USD700,000) for concentrations without an  effect, and 10% of the company’s sales in the previous year for concentrations that have or may have an anticompetitive effect.  Incremental penalties in aggravating cases were also introduced and those W88优德官方网站s could increase to 2-5 times of the original amount.


It is unclear how SAMR will decide on W88优德官方网站s for traditional failure to file cases and gun-jumping cases, i.e. SAMR W88优德官方网站s will vary in different cases while details on how the W88优德官方网站s will be calculated have not been specified.


2. What’s caught and who will be punished?


There is no surprise that, in addition to traditional failure to file and gun-jumping cases, a failure to file a transaction that is below the threshold but has been called in2 by SAMR will be penalized under the W88优德官方网站. Violation of remedies imposed or prohibition decisions are also in their scope.  This mirrors SAMR’s recent enforcements, for example on December 9, 2024, SAMR issued a public announcement3 that it would investigate NVIDIA’s suspected violation of commitments in Mellanox/ NVIDIA (2020).


Article 4 of the W88优德官方网站 clarifies that entities subject to administrative penalties are all merging parties (for mergers), or parties acquiring control or decisive influence (for other types of transactions).  The W88优德官方网站 does not address the long-standing issue of whether parties participating directly in the concentration should be fined if its parent/controller leads, participates, or approves the illicit concentration.


3. W88优德官方网站 calculation methods


3.1 Concentrations without Anticompetitive Effect


SAMR provides for the first time that penalties may be waived in some cases:


(1) It is the first illicit concentration of the undertaking, and the undertaking reports to SAMR and reverts to the pre-concentration state before SAMR’s discovery (meaning the termination of a JV or the unwinding of the transaction); or


(2) It can be proved that the violation was caused by circumstances that could not have been foreseen, avoided or overcome after the duty of due diligence had been exercised.


For illicit concentrations without anticompetitive effects where penalties could not be waived, the calculation of the W88优德官方网站 follows three steps: 1) determine the base W88优德官方网站; 2) adjust the base W88优德官方网站; and 3) determine the final W88优德官方网站.  Each step will include a comprehensive test based on multiple factors.  


Step 1  Determination of the Base W88优德官方网站


For illicit concentrations without anticompetitive effects, the base W88优德官方网站 is set at RMB 2.5 million (approx. USD350,000).  The base W88优德官方网站 will be lightened to RMB 1 million (approx. USD140,000) if there is any circumstance warranting a lighter punishment (lighter circumstance), and RMB 4 million (approx. USD560,000) if there is any circumstance warranting a heavier punishment (heavier circumstance). It will be at SAMR’s discretion to determine when there are both lighter circumstances or heavier circumstances.  Please refer to the table below for details on lighter circumstances and heavier circumstances.


Table 1  Base W88优德官方网站, lighter circumstances and heavier circumstances

 

11.png


Step 2  Adjustment of the Base W88优德官方网站


After determining the base W88优德官方网站, SAMR will mitigate or aggravate the base W88优德官方网站 if there is one or more mitigating or aggravating circumstances.  SAMR will mitigate the base W88优德官方网站 by 10% for each mitigating circumstance, but the adjusted W88优德官方网站 shall not be lower than 40% of the base W88优德官方网站.  SAMR will aggravate the base W88优德官方网站 by 10% for each aggravating circumstance, but the adjusted W88优德官方网站 shall not be lower than 40% of the base W88优德官方网站, capped at RMB 5 million. Please refer to the table below for details on mitigating and aggravating circumstances.


Table 2  Adjustment range, mitigating circumstances and aggravating circumstances


22.png


 Step 3  Determination of the Final W88优德官方网站


The last step is to determine whether an incremental fine should apply. As for violations of a particularly serious nature, with bad effects and grave consequences, the amount of the fine could be increased to 2-5 times of the original amount.  The W88优德官方网站 does not address the specific circumstances for incremental fines, and so far, there are no precedents in which the incremental fine has been adopted.


3.2 Illicit concentrations that Have or May Have Anticompetitive Effects


For illicit concentrations that have or may have anticompetitive effects, SAMR will refer to the approaches and factors listed above but no specific approach is provided.  There is only one case involving illicit concentrations with anticompetitive effects since the AML took effect, i.e., Tencent Music/CMC4. It seems that SAMR will retain discretion on penalties towards illicit concentrations with anticompetitive effects, given the complexity of such cases.


The W88优德官方网站 provides three circumstances where SAMR shall directly impose a fine of 10% of the sales in the previous year, including (1) where the concentration has been implemented without approval after SAMR has informed the undertakings of the concentration’s anticompetitive effects; (2) where the concentration has been implemented in breach of SAMR’s prohibition decision; and (3) other illicit concentrations maliciously implemented.


4. The Value of a Company’s Antitrust Compliance Systems


The W88优德官方网站 enhances the value of antitrust compliance systems, as fines could indeed be lightened, mitigated, or waived provided there are antitrust compliance systems, loss-stop remedies, and optimized reactions to antitrust investigations.  Losses caused by illicit concentration could be aggregated if there is sufficient in-house compliance measures.


The W88优德官方网站 provides seven sample cases further illustrating the provisions, which are of great reference value for a company’s practice.  The sample cases are relatively straightforward, and do not cover complex scenarios such as how to determine the base fine when there are both lighter and heavier circumstances.  Extra caution should be taken on cases that are to be penalized by SAMR and how those fines have been lightened, mitigated or waived.



1.https://www.samr.gov.cn/zw/zfxxgk/fdzdgknr/fldzfes/art/2025/art_0e89a4558a4744adaa2dc357b8621905.html

2. No penalty has been imposed for this type of violation, but it is reported SAMR has already called in certain transactions such as Ansys/Synopsys.https://www.mlex.com/mlex/articles/2171428/synopsys-ansys-required-by-china-s-samr-to-file-below-threshold-merger

3.https://www.samr.gov.cn/xw/zj/art/2024/art_ed4d3090401741a0894e475d35db652b.html

4.https://www.samr.gov.cn/zt/qhfldzf/art/2021/art_61810ad454524ec2b9cb38c78f3d793c.html

As the first carbon neutrality fund sponsored by a law firm in China, the BAF Carbon Neutrality Special Fund was jointly established by JunHe and the Beijing Afforestation Foundation (BAF) to promote carbon neutral initiatives, and encourage social collaboration based on the public fundraising platform to mobilize engagement in public welfare campaigns.