
Publication
International arbitration report
In this edition, we focused on the Shanghai International Economic and Trade Arbitration Commission’s (SHIAC) new arbitration rules, which take effect January 1, 2024.
United States | Publication | marzo 2025
The Federal Trade Commission (FTC) has signaled it intends to continue prioritizing antitrust enforcement in labor markets, with a sustained focus on protecting workers from unfair and anticompetitive practices. On February 26, 2025, FTC’s new Chairman Andrew N. Ferguson issued a memorandum1 and press release2 calling for the creation of an internal Joint Labor Task Force to address deceptive, unfair and anticompetitive labor market practices.
The task force is to consist of “at least three” representatives from each of the FTC’s Bureaus of Competition, Consumer Protection, Economics and one from the Office of Policy Planning. The task force will meet at least monthly to assess ongoing labor matters and report quarterly to Ferguson. The initiative underscores the FTC’s commitment to addressing labor market harms and actively looking for opportunities to exercise its investigative and enforcement authority. The task force is also responsible for harmonizing bureau investigation procedures and developing information-sharing protocols.
The FTC’s memorandum outlines a broad range of “unfair or deceptive” labor market practices that fall within the FTC’s jurisdiction and subject to scrutiny. Many are familiar and consistent with the agency’s existing enforcement targets, such as no-poach, non-solicitation, no-hire, wage-fixing and noncompete agreements. The FTC’s inclusion of collusion on “DEI metrics,” harm to “gig economy workers,” occupational licensing requirements and “job scams” as potential unfair, deceptive or anticompetitive practices suggests an expansion of the FTC’s review in response to a dynamic labor market and political priorities.
The memo aligns with Chairman Ferguson’s recent announcement that the 2023 Merger Guidelines will continue to guide the agency’s merger analysis,3 including the guidelines’ new emphasis on labor market considerations such as wages, employment opportunities and worker mobility, in merger analyses.
Some may be skeptical of Ferguson’s commitment to aggressive enforcement of antitrust laws to labor practices, given that he dissented to the FTC’s now-enjoined rule banning Non-Compete Agreements4 as well as the recent FTC/DOJ joint “Antitrust Guidelines for Business Activities Affecting Workers.”5 The new task force is only made up of FTC personnel and does not include DOJ representatives. So although FTC says it will continue to scrutinize anticompetitive labor practices, the approach may be more targeted under Ferguson’s FTC.
The establishment of the Joint Labor Task Force signals a coordinated enforcement approach by the FTC. Businesses should:
1 Memorandum, Directive Regarding Labor Markets Task Force (Feb. 26, 2025)
2 Press Release, FTC Launches Joint Labor Task Force to Protect American Workers (Feb. 26, 2025)
3 Leah Nylan, Trump FTC Pledges to Keep Aggressive Merger Enforcement, Bloomberg (Feb. 24, 2025)
4 Andrew N. Ferguson, Dissenting Statement In the Matter of the Non-Compete Clause Rule (June 28, 2024)
5 Andrew N. Ferguson, Dissenting Statement Regarding the Antitrust guidelines for Business Activities Affecting Workers (January 16, 2025)
Publication
In this edition, we focused on the Shanghai International Economic and Trade Arbitration Commission’s (SHIAC) new arbitration rules, which take effect January 1, 2024.
Publication
On September 18, 2024, the "Decree amending the list that sets forth goods whose import and export are subject to regulation by the Ministry of Energy" (the "Decree") was published in the Federal Official Gazette.
Publication
On September 18, 2024, the "Decree amending the list that sets forth goods whose import and export are subject to regulation by the Ministry of Energy" (the "Decree") was published in the Federal Official Gazette.
Subscribe and stay up to date with the latest legal news, information and events . . .
© Norton Rose Fulbright LLP 2025