Reed Smith Client Alerts

Key takeaways

  • The EU's foreign subsidies regulation (FSR) imposes strict rules on multinational companies and foreign investors in Europe, targeting foreign subsidised M&A and other market activities in the EU.
  • The new FSR rules complement existing EU antitrust (merger control), foreign direct investment (FDI) and trade defence tools.
  • On 24 September 2024, the European Commission (EC) has issued its first in-depth FSR decision shedding some light on its application of the FSR. The case involved the acquisition of a telecoms operator by a UAE company benefitting from, among others, a foreign subsidy in form of an unlimited State guarantee provided by the UAE. Under the FSR such guarantees are considered “high-risk subsidies”.
  • The EC found that these foreign subsidies could potentially lead to distortions of competition in the EU internal market post transaction.
  • The transaction was only conditionally approved subject to wide-ranging commitments designed to remove the distortive effects of the foreign subsidies and setting the template for future FSR conditional decisions.

On 24 September 2024, following the first in-depth investigation of a proposed acquisition under the EU’s FSR, the EC announced it would conditionally approve, subject to commitments, the acquisition of parts of the telecommunication operator PPF Telecom Group B.V. (PPF) by the Emirates Telecommunications Group Company PJSC (e&). e& is controlled by the United Arab Emirates (UAE) through the UAE’s sovereign wealth fund, the Emirates Investment Authority (EIA). This represents the first time that the EC has used its powers under the FSR to approve an acquisition only conditionally based on the commitments offered by the parties.

The foreign subsidies

The EC found that e& and EIA received foreign subsidies from the UAE in the form of, among others, an unlimited State guarantee. Unlimited state guarantees are considered high-risk foreign subsidies because of their increased risk of distorting competition. EIA also benefitted from various grants, loans and other debt instruments granted by the UAE. The receipt of foreign subsidies is not, by itself, problematic. Instead, the EC needs to assess whether the foreign subsidies distort the EU internal market by improving the competitive position of an undertaking in a way that actually or potentially negatively affects competition in the EU.