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ALCATEL / LUCENT TECHNOLOGIES

M.4214

ALCATEL / LUCENT TECHNOLOGIES
July 23, 2006
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Case No COMP/M.4214 - ALCATEL / LUCENT TECHNOLOGIES

Only the English text is available and authentic.

REGULATION (EC) No 139/2004 MERGER PROCEDURE

Article 6(1)(b) NON-OPPOSITION Date: 24/07/2006

In electronic form on the EUR-Lex website under document number 32006M4214

Office for Official Publications of the European Communities L-2985 Luxembourg

COMMISSION OF THE EUROPEAN COMMUNITIES

Brussels, 24.07.2006

SG-Greffe(2006) D/204190

In the published version of this decision, some information has been omitted pursuant to Article 17(2) of Council Regulation (EC) No 139/2004 concerning non-disclosure of business secrets and other confidential information. The omissions are shown thus [Ö]. Where possible the information omitted has been replaced by ranges of figures or a general description.

PUBLIC VERSION

MERGER PROCEDURE ARTICLE 6(1)(b) DECISION

To the notifying parties

Dear Sir/Madam,

1.On 16/06/2006, the Commission received a notification of a proposed concentration pursuant to Article 4 of Council Regulation (EC) No 139/2004 by which the undertaking Alcatel (ìAlcatelî, France) and Lucent Technologies (ìLucentî, USA) enter into a full merger within the meaning of Article 3(1)(b) of the Council Regulation. Alcatel and Lucent are hereinafter referred to as ìthe partiesî.

2.After examination of the notification, the Commission has concluded that the notified operation falls within the scope of the Merger Regulation and does not raise serious doubts as to its compatibility with the common market and the EEA Agreement.

I. THE PARTIES

3.Alcatel designs, develops and builds communications networks that allow telecommunications operators and other companies to transmit all types of content (voice, data or multimedia) to customers on a global scale.

1OJ L 24, 29.1.2004 p. 1.

Commission europÈenne, B-1049 Bruxelles / Europese Commissie, B-1049 Brussel - Belgium. Telephone: (32-2) 299 11 11.

4.Lucent designs, delivers and maintains a wide range of systems, software and services for communications networks on a worldwide basis.

II. THE OPERATION

5.Pursuant to the terms of an Agreement and Plan of Merger signed on 2 April 2006 (ìthe Agreementî), Lucent will merge with a direct, wholly-owned subsidiary of Alcatel. Lucent will be the surviving corporation and wholly owned by Alcatel.

III. CONCENTRATION

6.Upon completion of the merger, Alcatelís shareholders will own (indirectly) approximately 60 percent of the combined company and Lucentís shareholders approximately 40 percent. The combined companyís board of directors will be comprised of five members designated by Alcatel from Alcatelís current board of directors and five members designated by Lucent from Lucentís current board of directors. Alcatelís current chairman of the board of directors and chief executive officer will be appointed as non-executive chairman of the board of directors, whereas Lucentís current chairman of the board of directors and chief executive officer will be appointed as chief executive officer of the combined company. Additionally, two persons (one French and one European) will qualify as independent directors and will be mutually agreed upon by Alcatel and Lucent. According to the parties, the merger was conceived, negotiated and agreed as a merger of equals and they submit that the corporate governance arrangements under the Agreement bear witness to this intention. Hence, according to the parties, it constitutes a concentration within the sense of Article 3(1)(a) of the Merger Regulation.

7.In the Commissionís view, the information provided by the parties on the form of control acquired does not necessarily warrant the conclusion that the transaction indeed concerns a full merger. In particular, i) the fact that post-merger Lucent will be a wholly-owned subsidiary of Alcatel and ii) the fact that Lucentís current shareholders will ultimately receive Alcatel shares could be interpreted as evidence that Alcatel acquires sole control of Lucent. However, for the purpose of this case the question of the type of control acquired can be left open as in any case the proposed transaction constitutes a concentration within the sense of Article 3(1) of the Merger Regulation.

IV. COMMUNITY DIMENSION

8.The undertakings concerned have a combined aggregate world-wide turnover of more than EUR 5 billion(Alcatel: EUR 13,135 million; Lucent: EUR 7,588,742). Each of them have a Community-wide turnover in excess of EUR 250 million (Alcatel: EUR [...]; Lucent: EUR [...]), but they do not achieve more than two-thirds of their aggregate Community-wide turnover within one and the same Member State. The notified operation therefore has a Community dimension.

2Turnover calculated in accordance with Article 5(1) of the Merger Regulation and the Commission Notice on the calculation of turnover (OJ C66, 2.3.1998, p25). To the extent that figures include turnover for the period before 1.1.1999, they are calculated on the basis of average ECU exchange rates and translated into EUR on a one-for-one basis.

2

V. RELEVANT MARKETS

Relevant product markets

9.The transaction has an impact on various markets in the communication networks industry.

Optical network products

10.Optical network products are high capacity telecommunications transmission networks used for long distance transmission.

11.As the Commission recognised in its Ericsson/Marconi case , optical network products have traditionally been segmented into three categories based on the functions performed by devices in each category: i) bandwidth management (Cross-connects, DCS and OCS, i.e., switches or multiplexers that sit at the core of the optical network); ii) aggregation devices (SONET/SDH devices , such as ADM and OED devices , i.e., switches or multiplexers that sit at the edged of the optical network); iii) wavelength division multiplexers (WDM), metro-WDM, LH-WDM, MR-DWDM, i.e., systems which employ different wavelengths in order to transmit multiple signals on optical networks.

The parties consider it appropriate for purpose of this notification to identify a single market for optical network products, as the traditional segmentations would be blurred

3Case No COMP/M.4003 - Ericsson/Marconi.

4.The primary function of Cross-connects is bandwidth management. Bandwidth is a measure of the capacity of the communication channel to carry and route information across a network. To help optimise the flow of information that traverse an optical network, network operators install cross-connects to manage the transmission of the light waves. DCS (digital cross-connects) are older generation cross-connects typically used by telecom carriers and large enterprises to switch and multiplex low-speed voice and data signals onto high-speed lines and vice versa. OCS (optical core switches) are newer generation cross-connects that perform the same bandwidth management functions as DCS but typically with substantially higher bandwidth management capability than DCS.

5.SONET (Synchronous Optical Network) is the primary standard in North America, while SDH (Synchronous Digital Hierarchy) is the primary standard in regions outside North America, including Europe. SONET/SDH devices provide add-drop, multiplexing protection and transport capabilities. SONET/SDH is an intelligent fibre-optic transmission system for high speed (51 Mbps to 40 Gbps) digital traffic, providing advanced network management and a standard optical interface.

6.ADM (add-drop multiplexers) are older generation aggregation devices that aggregate data from an access network into a larger data flow (for onward transport to the core network) and vice versa. OED (optical edge devices) are newer generation aggregation devices that have additional functionalities beyond ADM, such as the possibility to interface and map native data traffic, such as Ethernet, ATM etc. into the traditional transmission standards. OEDs are also sometimes known as Multi-Service Provisioning Platforms (ìMSPPsî) or simply SONET/SDH Multi-Service devices.

7.WDM (or DWDM, Dense wavelength division multiplexers) facilitate the transport of data over multiple wavelengths on a single optical fibre cable link between two points, by using a laser technology. Industry analysts distinguish between metro-WDM and long-haul WDM based on the distance that the WDM can send the data over an optical fibre line without the need of electrical regeneration of the signal (e.g. metro-WDM < 100-200 km distances, while the latest generation LH-WDM send a signal until a maximum of several hundreds Kms). Multi-Reach DWDM (MR-DWDM) is a new generation of ìDense WDMî system capable of supporting up to 3,000 km reach before re-generation is needed.

due to the rapid ongoing technological innovation. In particular, the most recent internet protocol (ìIPî)-based technologies and architectures of most customers would put in competition suppliers of optical network products that traditionally had different functions; hence products that in the past would have been considered as belonging to separate markets would now be in the same market .

The market investigation has revealed that optical network products cannot in general be considered as belonging to an overall product market. Cross-connects, SONET/SDH devices and WDMs serve different end purposes and have very different functionalities, hence they are not regarded as interchangeable by customers inter alia due to different management systems and protection mechanisms used. While it is true that suppliers are beginning to offer new products with increased functionalities and sometimes these products may contain some features and functions that slowly create a bridge between products categories (for example, some new SONET/SDH devices also include the function of switches and some WDM systems are beginning to offer functionality of SDH devices), nevertheless respondents have also clearly indicated that this convergence process is still in a nascent phase and the extent of deployment of these kinds of products is currently limited. Therefore, this does not allow the conclusion that the differences in the product categories within optical networks are blurred, or that the various products are substitutable from a competition law viewpoint.

In addition, it appears that within the individual market segments at stake (Cross-connects, SONET/SDH devices, WDM systems) each product is not necessarily a valid substitute for another product in the same category. Thus, as regards Cross-connects, as customers (mostly network operators) start upgrading their network and replacing digital technologies with optical-based ones, a DCS is not always a valid substitute for OCS, while an OCS (newer generation product) could be a replacement for DCS; the same goes for products within SONET/SDH devices. As regards WDM systems, the differentiation of the various products in terms of characteristics, price and intended use tend to be even more pronounced than for the other optical network categories and hence it is not always possible to substitute different types of WDMs .

For the purpose of the present case, however, it is not necessary to delineate the precise scope of the relevant product market for optical network products, as in all alternative market definitions considered, effective competition would not be significantly impeded.

Broadband access solutions

The parties also provided information on alternative product market definitions based on different products/product groups. In particular, (i) regarding Cross-Connects, data was provided for DCS and OCS; (ii) regarding SONET/SDH, data was provided for ADM and OED; and (iii) regarding WDM, data was provided for metro-WDM, LH-WDM and MR-DWDM.

For example, Metro systems are typically used in densely populated urban areas, whilst long-haul WDM is used for the carriage of traffic between regions.

4

16.Broadband access solutions are telecommunication equipment components that are deployed at the level closest to the end-customer, in order to deliver broadband communication services, voice and data-related, including for instance a television signal as offered in so-called "triple-play" services.

17.Broadband access solutions concern either wireless or a fixed link to the end-consumer, including so-called "cable" networks. In the case of fixed line networks, the most widespread medium to carry the signal to the end-customer is still the old copper wire originally installed to carry only telephony, Digital Subscriber Line ("DSL") technology having rejuvenated this transmission medium. This has lead to the rapid deployment of Digital Subscriber Line Access Multiplexers ("DSLAMs"), the main operator's telecom equipment in this technology, which both enables a high speed connection with the end-user, and aggregates the signals from a number of end-user DSL lines. Prior to DSL, "Digital loop carrier" (DLC) technology had been introduced and provided incremental improvement over existing technology. Historically, substitutability between DSL and DLC is extremely limited. DLC's main use is the extension in the geographic coverage of the networks.

18.The parties argue that, based on the strong demand for "triple play" services and developments, there is increasing substitutability between the different technologies discussed. The parties submit that telecom operators are engaged in a technological shift towards "triple play" oriented networks, based in particular on the IP architecture, thus reducing existing technological solutions, for instance ATM DSLAMS, to "legacy" status. Therefore, all access technologies should be considered as substitutable, as no distinction should be made a fortiori on the basis of different generations of products.

19.There are instances of joint use of DSL and DLC, pointing to complementary rather than substitutable products. Indeed, with the growth in popularity of DSL and the benefits provided by shorter metallic loops used with DLC systems, digital loop carriers are sometimes integrated with DSLAMs. In any case, it appears substitutability of NG (Next Generation) DLC and DSLAMs is limited in terms of providing broadband access to end-customers; NG DLC has indeed remained focused on specific uses, including extension of networks, whereas DSLAMs have become the solution of choice to provide high speed Internet and triple play services.

20.A new generation of DLC, BLC or Broadband Loop Carrier, represents a major innovation in the DLC field by allowing to connects the end-consumer via a digital high speed link. At the current stage of the market, BLC having been introduced recently, it would appear that BLC and NG DLC may not be substitutes. Additionally, because BLC technology is new and requires still very substantial investment, possible convergence with DSL technology and substitution to DSLAM equipment is not expected to occur rapidly.

21.Different generation of DSLAMs exist, i.e. ATM-based and IP-based. Rapid switching from ATM to IP DSLAMs is observed, most operators expecting generalization of IP DSLAMs in a couple of years. This movement's speed varies depending on the size of the operator, and appears to be slower with regard to wireless operators. In any case, it would appear that IP DSLAM technology exercises competitive constraint on ATM DSLAMs technology, more than the opposite.

22.Another broadband access technology, Fibre to the Premises (FTTP), provides near higher bandwidth to the end-consumer thanks to the use of optical fibre. From a network operator's perspective, the economics of FTTP are substantially different from those of other broadband access technologies. FTTP involves very high investment cost and its deployment is only financially viable in dense areas, concentrating customers which are first and foremost businesses. Even in those areas, both the cost of deployment, regulatory constraints as well as the possibilities of advanced DSL technology means that the roll-out of FTTP is set to be progressive and limited to major urban centres.

23.For the purpose of the present case, however, it is not necessary to delineate the precise scope of the relevant product market for broadband access solutions, as in all alternative market definitions considered, effective competition would not be significantly impeded.

Switching and routing equipment (S/R equipment)

24.A switch is a device that channels incoming data from an input port to the specific output port that will take the data to its intended destination. Over the past years switching devices have evolved from having only voice transport capability to include data transport capability and now multi-media or "triple-play" capability. The following are the main categories of switching devices, as they have evolved over time: TDM switches, ATM switches, MSS (multi-service switches), IP/ Ethernet switches and MPLS switches.

25.A router is a device that forwards and transmits data packets along networks from source to destination by controlling the path along which the packets are sent. It uses a configuration table (a collection of information that identifies which connections lead to which address groups and specifies connection priorities and rules for handling traffic). Routers have evolved from digital routers to IP routers as the Internet Protocol developed.

26.The Commission has examined transactions involving suppliers of switching and routing equipment (hereinafter referred to as "S/R equipment") in a number of prior decisions and, in particular, has considered to what extent the relevant product markets should be segmented on a product-by-product basis or instead encompass multiple products. Although the Commission did not adopt a definitive market definition in these earlier decisions, it did recognise the growing multi-functionality and convergence between switches and routers.

27.The parties submit that S/R equipment as a whole should be considered as the relevant product market, inter alia due to the growing technological convergence between traditionally distinct "ATM-based switches" and "IP-based routers" and the transition from ATM to IP/Ethernet transport technologies. Furthermore, the parties point at various supply and demand-side considerations in support of their view. This market would include all core and edge switches/routers based on ATM, IP/Ethernet and/or MPLS protocols.

28.Third parties have expressed mixed views on the scope of the relevant product market for S/R equipment. The majority of respondents were of the opinion that a market segmented on a product-by-product basis is still valid today. However, a significant number considered that ongoing technological innovations are blurring the lines between S/R equipment categories in such a way that the products can now be regarded as interchangeable, thus belonging to one overall product market.

29.For the purpose of the present case, however, it is not necessary to delineate the precise scope of the relevant product market for S/R equipment, as in all alternative market definitions considered, effective competition would not be significantly impeded.

TDM switches (narrowband switches)

30.The traditional way in which voice communication has been delivered is through circuit-switches, also referred to as narrowband switches. A switch is a device which connects calls from one phone line to another through a dedicated circuit between two nodes. There are two principal types of digital switching technology: (i) Time division multiplexing ("TDM") switching and (ii) softswitch solutions for newer IP-based networks.

31.The Commission considered in its Ericsson/Marconi case whether TDM switching and softswitch solutions for newer IP-based networks perform comparable switching functionalities. In this context, it noted that TDM switching, which involves reserving time slots for the transmission of voice and data, performs that function through hardware, whereas softswitches utilise computer software to perform the switching functions. It also noted that the notifying party and some competitors considered that the two are not substitutable, both from a demand and supply-side perspective, and that accordingly softswitches constitute a separate product market. The Commission did not, however, conclude on the exact definition of the market.

32.The parties submit that TDM switches should be considered as a separate market for in particular two reasons. First, softswitches are rather complements than substitutes to TDM switches. Upgrades of traditional circuit-switched networks using next-generation softswitch technology are typically implemented by building a separate overlay softswitch system, rather than by replacing existing TDM switches. Secondly, there is effectively no significant future "new" demand for TDM switches in the EEA, so that even when next-generation softswitch solutions replace (rather complement) legacy TDM systems, this does not reflect the type of competitive constraints being exercised by softswitch suppliers on TDM switch suppliers that would normally be deemed sufficient to include the two products in the same relevant product market.

33.The market investigation supports the view of the parties. From a demand-side perspective, the market investigation indicates that softswitch systems have different technical characteristics, a different functionality and price than TDM switching systems. Indeed, softswitch solutions are based on horizontal architectural layering with open interface specifications whereas TDM switching solutions are based on standards but adapted to national carrier dependent requirements. Softswitch technology appears to be better at supporting multi-media services whereas TDM switching is mainly used for high quality voice services. Finally, softswitch technology is claimed to be cheaper than the corresponding TDM switching technology.

34.TDM switches may interwork under certain conditions with softswitches. The full softswitch architecture is not interchangeable with TDM switches but certain elements of the softswitch architecture can be overlaid on a TDM architecture. Finally, from a supply-side perspective, TDM switches in advanced economies such as the EEA are currently limited predominantly to "legacy" demand, i.e., repair and maintenance, as well as minor upgrades and extensions, as carriers increasingly overlay (and eventually replace) existing circuit-switched networks with IP-based networks.

35.For the purpose of the present case, however, it is not necessary to delineate the precise scope of the relevant product market, as in all alternative market definitions considered, effective competition would not be significantly impeded.

Relevant geographic markets

36.The parties contend that, in line with the Commission's prior decisional practice in this industry, the geographic market for telecommunications equipment is at least EEA-wide and possibly broader (world-wide). This would inter alia be borne out by the existence of international standards (established by e.g. ETSI, European Telecommunications Standards Institute), the lack of significant transport costs, the existence of European and global trade-flows and the presence of large equipment manufacturers that are active on a pan-European (and often broader) basis. In addition, the increasing globalisation in the provision of communications network products would be testified by the rapid inroad of Chinese low-cost suppliers into these markets, which are increasingly winning sales and shares at the expense of European and other (westerns) vendors.

37.The Commission's market investigation has confirmed that the geographic market for all categories of networking products is at least EEA-wide, if not broader, for similar reasons: e.g. customers and suppliers having an EEA (if not worldwide) presence, the evolution of IP technology and EEA/worldwide standardisation. Prices and tenders for these products are normally negotiated on an EEA (if not worldwide) basis and transport costs are not a determining factor when considering suppliers.

38.For the purpose of this decision it is not necessary to decide on the exact geographic market definition, given that in any case the concentration will not significantly impede effective competition in the common market or in a substantial part of it.

VI. COMPETITIVE ASSESSMENT

Bidding markets

22See Case COMP/M. 4003 - Ericsson/Marconi, para. 15-16.

23For instance, contracts for optical network products normally stipulate that shipment costs will be borne by vendors.

39.At the outset, it must be observed that for some years the industry has witnessed a downward pressure on prices. Customers (mostly, but not exclusively, network operators) tend to carry out their purchases of relevant products through multi-step competitive bids and other sophisticated procurement procedures (e-auctions in some cases) in which they can maximise their bargaining power vis-à-vis suppliers. Where possible, customers tend to use a dual/multiple sourcing strategy ("mix and match" of products from different vendors for different parts of their network) and award "framework contracts" in which the most important parameters (prices, cost, performance benchmarks, etc.) can be renegotiated at periodic intervals, thus allowing customers to have a significant degree of flexibility. This is to be borne in mind when considering the market share figures below, since in this scenario the possible high combined market shares are not necessarily (in themselves) to be considered indicative of future market power of the merged entity.

40.The tables below show the parties' shares in those areas of networking equipment where their activities overlap, giving rise to affected markets within the EEA. The market shares for Europe, Middle East and Africa ("EMEA") have been used as a proxy for the EEA as, according to the parties, there are no independent or internal sources to provide reliable estimates of EEA shares. The parties have also provided market share data on a global basis. However, even on a worldwide basis, the competitive assessment would not change as the parties' combined position is similar, if not lower.

24Sources: Optical network products: Ovum-RHK Optical Networks EMEA Report, February 26, 2006 and Ovum-RHK Optical Networks Global Report, February 27, 2006; Broadband access solutions: MSAP/DLC Equipment Market Reaches Nearly Ä3 Billion in 2005 - 28 February 2006 (broadbandtrends.com); S/R equipment: Ovum-RHK Quarterly Market Update: 4Q05; Market Alert: 4Q05, IP Service Infrastructure, March 1, 2006; TDM switches: DTTBERNER ASSOCIATES INC. - 2003-2005 EU TDM Shipments.

25.Other overlaps between the parties that do not result in an affected market include wireless (mobile) network products, next-generation network ("NGN") multimedia products (softswitches and media gateways), enterprise LAN switches/routers, communications network services, and applications software and solutions. There are also a limited number of non-overlap categories where Alcatel alone is active, including space solutions, transport automation solutions and submarine networks. The competitive impact of the proposed operation on these markets has been assessed and the conclusion is that the merger will not bring about any significant impediment to effective competition. Therefore, these markets shall not be further addressed.

26In response to a Commission request, the parties have made their best attempt to estimate market size and shares at the EEA level as regards the product categories/segments for which post-merger they would be leading supplier based on EMEA market shares. These EEA estimates would not materially change the picture as it results from data at the EMEA level.

Optical network products ("ONP")

EMEA / in terms of value Cross-connects SONET/SDH WDM devices DCS OCS ADM OED Metro- LH- MR-D Alcatel [ 20-30] [30-40] [20-30] [0-10] [30-40] [10-20] [20-30] [20-30] Lucent [0-10] - [20-30] [10-20] [0-10] [0-10] [0-10] [0-10] Combined [30-40] [30-40] [50-60] [20-30] [30-40] [10-20] [20-30] [20-30] Competitors Ericsso/Ericsson/7 vendors:Siemens9 vendors:>20 vendors: >7 vendors: > 6 vendors: MarconiMarconiSiemens[10-20]ADVA [20-Ericsson/ ZTE [10-20]Huawei [20- [40-50][10-20][20-30]Ericsson/ 30]Marconi [10-20] Ericsson/ 30] ECIHuawei [0-ZTE [10-20]MarconiNortel [10-Siemens [10-20] Marconi [10-20]Ericsson/ [10-20] 10]Huawei [0-10] Nortel [10-20]Marconi [0-10] [10-20] [10-20] [20-30] [0-10] [0-10] Combined [35-45] / [40-50]

Broadband access solutions

EMEA / in terms of value (first) and volume (second) BAS Competitors FTTP Competitors DLC/BLC Competitors DSLAM Competitors Alcatel [25-35] / Ericsson/[0-10] > 15[10-20]/[0- [30-40] Siemens> 8 vendors: [30-40]Marconi vendors 10] /[10-20]/[10-20]Ericsson/ [10-20]/ [30-40]HuaweiMarconi [10-20] [10-20]/[10-20][30-40]/[30- [20-30]/[20-30] [0-10] [0-10] Combined [35-45]/[40-50] [0-10]/[10-20] [10-20] / [5-15] [40-50] / [40-50] [20-30]/[20-30] [0-10] [0-10] Lucent [5-15]/Fujitsu[5-15] [0-10]/[0-10] Combined [35-45]/[40-50]

Switching and routing equipment (S/R equipment)

EMEA / in terms of value (first) and volume (second) S/R equipment Competitors ATM/MPLS switches Competitors Alcatel [10-20]/[0-10] [25-35]/[30-40] Nortel [40-50]/[30-40]> 7: Cisco [40- Lucent [0-10]/[0-10] 50]/[70-80][0-10]/[10-20]Ericsson/Marconi [0-10]/[0-10]Combined [10-20]/[10-20]Nortel [10-20]/[0- [30-40]/[50-60] Cisco [0-10]/[0-10]10] Juniper [10-20]/[0- 10]

TDM switches

EMEA / in terms of value (first) and volume (second) TDM switches Competitors [20-30]/[20-30]Siemens [60-70]/[60-70] [0-10]/[0-10]Ericsson [0-10]/[0-10] Nortel [0-10]/[0-10][20-30]/[20-30] Alcatel Lucent Combined

Assessment of affected markets

41.It follows from the tables above that in most of the affected markets the increment in market share is around [0-10]% or below (at the EMEA level). This concerns in particular the following product areas: ADM, OED, Metro WDM, LH-WDM, MR-DWDM, DLC/BLC and overall S/R equipment. In these markets the combined shares of the parties reaches at most [30-40]% (in OED) and, post-merger, there will remain a number of competing suppliers that are able to constrain the merged entity. In the cross-connect submarket, DCS, there is no competitive overlap, given that Lucent discontinued its sales for this product in 2005. As regards FTTP, Lucent does not supply these solutions in the EMEA, and therefore there is no overlap. Therefore, as regards the potential markets above, i.e. DCS, ADM, OED, Metro WDM, LH-WDM, MR-DWDM, overall S/R equipment and FTTP, the transaction does not bring about any significant impediment to effective competition.

42.As regards DLC/BLC, although the increment in market share exceeds 0-10%, the parties' combined market share would only be [20-30]% in value ([20-30]% in volume). The market position of the parties also appears balanced by that of competitors, with both a large, established, integrated player, such as Ericsson/Marconi with a market share of [30-40]% in value ([30-40]% in volume) and a newer competitor Huawei with a market share of [10-20]% in value ([20-30]% in volume). Therefore as regards the potential markets for DLC/BLC, the transaction does not bring about any significant impediment to effective competition. This conclusion would not change if subsegments were to be considered as relevant markets.

27Lucent does provide optical fibre aggregating capability in its new Multimedia Access Platform, which remains mostly an IP DSLAM product.

28With regard to DLC /NG DLC, in Q4/2005 Alcatel remains leading player in the EMEA, with around [30-40]%, while Lucent has a [0-10]% market share. Huawei has [20-30]% market share, while Tellabs has a [0-10]% market share. Based on [...], there are strongly diverging growth rates between product generations (NG DLC / BLC). The NG DLC segment is set to decrease by 13% per year on average, while the BLC segment is expected increase very rapidly, by 66% annually. On the BLC segment alone, neither Alcatel nor Lucent were present in 2005. It should be noted that those subsegment figures are

43.As regards the parties’ combined position in TDM switches, following the merger they would represent [20-30]% of the market, both in value and in volume (Lucent’s incremental share is limited to [0-10]% only). With a market share of [60-70]% in value and [60-70]% in volume, clear market leader Siemens will continue to exercise a competitive constraint on the merged entity. Third party respondents have confirmed the parties’ view that the demand for TDM switches in the EEA is limited to legacy demand, as carriers increasingly overlay (and eventually replace) existing circuit-switched networks with broadband or IP networks. Therefore as regards the potential markets for TDM, the transaction does not does not bring about any significant impediment to effective competition.

44.The five remaining areas resulting in affected markets, where the increment in market share is more significant, exceeding [0-10]%, are: (i) optical network products, (ii) OCS, (iii) broadband access solutions (iv) DSLAM and (v) ATM/MPLS switches.

Optical Network Products

45.Based on data from the parties, the merged entity’s combined 2005 EMEA share is [30-40]% (Alcatel [20-30]%, Lucent [0-10]%). The market appears to be relatively fragmented. Post-merger, there will remain at least 20 suppliers active in the EMEA, including (i) Ericsson/Marconi (2005 EMEA share of [10-20]%), Siemens ([10-20]%), Huawei ([0-10]%), Nortel ([0-10]%), ECI Telecom ([0-10%]); and a variety of firms with [0-10]% shares (e.g., ADVA, Ciena, Cisco, Fujitsu, Sycamore, Tellabs, ZTE and others). Based on the above the transaction does not bring about any significant impediment to effective competition.

OCS

46.Lucent is currently the leading OCS supplier in EMEA with a [20-30]% share. Alcatel is the second largest supplier with a [20-30]% share. Other OCS suppliers in EMEA include Ericsson/Marconi ([10-20]%), Huawei ([0-10]%), Nortel ([0-10]%), Sycamore ([0-10]%) and Ciena ([0-10]%).

47.Despite the high leading combined share ([50-60]%), the parties contend that the proposed transaction will not significantly impede effective competition by removing an important competitive constraint in the supply of OCS in the EMEA/EEA. The parties insist that the most recent IP-based technologies and architectures of most customers would put in competition suppliers of optical and non-optical network products that traditionally had different functions. In particular, the parties submit that suppliers of traditional OCS (such as Alcatel and Lucent) would face growing

provided by Infonetics Research, the data for DLC/BLC combined coming from OVUM/RHK research, therefore introducing possible inconsistencies.

29.This conclusion would not change when considering an alternative market for softswitches where (including within narrower “class 4” and “class 5” softswitch categories) the parties’ combined share stays well below [10-20]% (with a maximum of [0-10]% in overall softswitches, by value, in the EMEA), the incremental market share being very limited ([0-5]%).

Broadband Access Solutions

50.With regard to Broadband Access Solutions taken as a whole, Alcatel holds a [25-35]% market share in the EMEA, followed by Ericsson/Marconi with [10-20]%, Siemens with [10-20]% and Huawei with [10-20]%. Lucent has a [5-15]% share, which gives the merged entity a combined market share of [35-45]%. Broadband access solutions are one of Alcatel’s key activities, the majority being represented by DSLAMs, while Lucent is mainly active in the US in relation to broadband access solutions. Alcatel’s market share has been declining substantially in the EMEA in the last three years (from [40-50]% in 2003).

51.Broadband access is an area of strong growth, in particular in the EMEA. This dynamic has been fuelled by the exponential development of broadband Internet, in particular via DSL. Indeed, estimates are that the market will grow by an average of [10-20]% each year up to 2009. The current deployment of broadband-intensive applications such as IPTV, in the context of so-called “triple play” services, promises sustained evolution in the years to come, and is increasing the case for more broadband-intensive infrastructures such as FTTP. Such developments have hastened the roll-out of new technologies to meet both the demand for increased bandwidth and that for more sophisticated services, including the provision of fixed and mobile services together, also referred to as “quadruple play.”

DSLAMs

53.Alcatel enjoys a high market share in the supply of DSLAMs, reflecting its status as one of the main inventors and promoters of this technology. In particular as a result of its “first mover” status, Alcatel at the EMEA level has a [30-40]% market share. Though Lucent has historically been a major innovator in this area, its market share is now reduced in the EMEA to [10-20]%, thus leading to a combined [40-50]% share of the DSLAM market. Competitors are Siemens ([10-20]%), Huawei ([10-20]%), Ericsson/Marconi ([10-20]%) and ECI ([0-10]%).

54.As regards a distinction per generation of product, Alcatel remains leading player in the EMEA in both the ATM and IP DSLAM segments, but an overlap only occurs in ATM DSLAMs. Any potential concern with regard to the ATM DSLAM segment would be strongly mitigated by the very divergent trends in ATM and IP DSLAMs. Based on [...], the ATM segment is set to decrease by 40% a year, while IP DSLAMs conversely to increase by 40%. By 2009, ATM DSLAMs should be reduced in turnover terms to less than a tenth of IP DSLAM turnover. In any event, while ATM DSLAMs is increasingly being reduced to “legacy” status, new competition takes place as regards IP DSLAMs where several vendors are present in the EMEA such as Huawei ([20-30]%), Ericsson/Marconi ([10-20]%), UTStarcom ([0-10]%) and others.

55.Customers tend to consider that the DSLAM market is competitive. This is due in part to players, present in other geographical markets, being able to enter the EMEA market and win substantial bids. Secondly, they can also partner with established players to extend their reach; this strategy has been adopted by Huawei in North America where it has partnered with Ericsson. The DSLAM field is R&D intensive, and niche players managed to make an inroad with innovative products. Based on the above, the transaction does not bring about any significant impediment to effective competition as regards DSLAMs.

Switches and Routers

56.On the basis of an overall market for S/R equipment the parties’ combined market share in EMEA amounts to [10-20]% in terms of value, Lucent representing an incremental market share of [0-10]%. However, when subdividing this market on a product-by-product basis, the parties would have a significantly stronger position, in the supply of ATM/MPLS switches: [30-40]% in terms of value and [50-60]% terms of volume (increment Lucent [0-10]% and [10-20]%, respectively).

57.Nevertheless, in the EEA, in an overall market for switches and routers, the parties would continue to face strong competition from other suppliers, such as Cisco, Juniper, and Nortel. Cisco alone will account for over twice the combined sales of the parties in terms of value and for almost three-quarters of the market in terms of volume.

Even on the basis of a narrow ATM/MPLS switch sub-segment, the market investigation has not evidenced that the transaction would give rise to a significant impediment to effective competition. In this product category the combined entity would continue to face competition from Nortel, the market leader by value, which represents [40-50]% compared to the new entity with [30-40]% (in terms of volume, however, with a [30-40]% share Nortel remains behind the merged entity representing [50-60]%).

59.Data provided by the parties support that total demand in this sub-segment is declining and increasingly limited to "legacy" demand, whereas demand for IP/Ethernet-based equipment is expected to increase in the near future. Ongoing convergence between IP/Ethernet routers and ATM switches is occurring due to growing multi-functionality and multi-protocol capabilities. This is blurring traditional distinctions between these product categories. Thus, competition seems to occur increasingly within an overall S/R equipment market where the parties are under significant competitive constraint, in particular from Cisco.

60.Customers generally appear to be in a position to countervail the potential market power of the merged entity as regards supply of S/R equipment, in particular through their conduct in competitive bidding procedures. Customers unanimously expressed the view that there would remain alternative suppliers of S/R equipment available after the merger, from whom they could source the S/R equipment that they need.

61.Based on the above, the transaction does not bring about any significant impediment to effective competition, either in an overall S/R equipment market or in any sub-segment thereof.

Standardisation

62.There is strong standardisation in the telecom sector, pushed by both competitors and customers. Indeed, it is essential for suppliers that their products remain interoperable with those of other suppliers. In fact, all major suppliers participate in the

37standardisation process. Moreover, network operators are also members of the main Standard Defining Organizations ("SDOs") and any attempt by the parties to dominate the standardisation process in order to obtain market power in a certain technology would – if undesired – meet opposition from these customers.

63.SDOs require both disclosure of essential patents and licensing of such patents on fair, reasonable and non-discriminatory terms ("FRAND"). This limits the risk that a supplier would unduly influence the standardisation process in the industry, and/or third party access to the market through discriminatory licensing behaviour. In this respect, the market investigation has not indicated that access to relevant patents is generally hindered in the industry; due to requirements of the standardisation bodies regarding fair, reasonable and non-discriminatory licensing, the required licenses can usually be obtained.

Discontinuation of product lines

64.Some customers have raised concerns that, following the transaction, they might be confronted with the discontinuation of certain product-lines of the parties. In addition, due to a limited interoperability between products of different vendors, these customers would not always be able to switch suppliers as regards upgrades and/or replacements of optical network products/elements in their optical network and may be forced to accelerate replacement of their installed network base at an even higher cost.

65.It should be observed that the parties may also decide, independently of one another and regardless of the merger, to discontinue/phase out some of their product lines. As a factual matter, the incentives to adopt such a (phasing out) decision may just depend on the successfulness of the product line at stake and on the technological developments going forward. If customers were to be locked-in with Alcatel or Lucent as regards the replacement or upgrades of their installed products, post-merger they may inter alia have the ability and the incentive to exclude or retaliate against the merged entity in future tenders for new products.

66.In any event, customers have contractual methods of protection. The parties’ contracts generally contain customer support clauses that require the vendor to provide adequate notice of its intention to discontinue the products in question (normally from 12 to 18 months’ notice). In addition, in response to a Commission request, the parties have declared that they have no plans to discontinue certain existing products because of the merger, and that any "natural" replacement programme will have to be implemented according to a standard phase-out process in which support for the installed base is guaranteed for at least 3/5 years or longer. Based on the above, the transaction does not bring about any significant impediment to effective competition as regards discontinuation of product lines.

VII. CONCLUSION

67.For the above reasons, the Commission has decided not to oppose the notified operation and to declare it compatible with the common market and with the EEA Agreement.

37As an illustration, Alcatel is a member of all major organisations that define technical standards for telecommunications equipment, including ITU, ETSI, IEEE, IETF, DSL Forum (for broadband access solutions) and the MFA Forum (for S/R equipment).

This decision is adopted in application of Article 6(1)(b) of Council Regulation (EC) No 139/2004.

For the Commission signed Joaquin ALMUNIA Member of the Commission

18

EUC

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