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On 8 October 2019, the ACCC issued a formal warning to NBN Co under subsection 103(4) of the Telecommunications Act 1997 (Cth) in relation to a contravention of the service provider rule set out in subsection 152BA(2) of the Competition and Consumer Act 2010 (Cth) (CCA). The ACCC is satisfied that NBN Co contravened the service provider rule by failing to comply with the non-discrimination obligations in section 152AXD of the CCA when building fibre infrastructure and other related activities to supply wholesale business grade NBN services.
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The parts of this file may be downloaded by clicking on the hyperlinks below.
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The parts of this file may be downloaded by clicking on the hyperlinks below.
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Telstra intends to fully comply with the price exploitation provisions of the Trade Practices Act (Part VB).
Telstra intends to fully comply with the price exploitation provisions of the Trade Practices Act (Part VB).
Telstra intends to fully comply with the price exploitation provisions of the Trade Practices Act (Part VB).
BATA is committed to complying with the Trade Practices Act 1974 ("the Act"), including the recent amendments resulting from the NTS changes and the Guidelines released by the Commission.
This Public Compliance Commitment records Rebel Sports` Commitment to:
comply with the Trade Practices Act 1974, in particular Part VB of the Act;
not engage in price exploitation in relation to the New Tax System;
comply with the price exploitation guidelines as expanded in this Commitment;
pass on to consumers any net cost benefits realised as a result of the New Tax System changes;
advertise and display GST-inclusive prices in a way that is not misleading or deceptive; and ensure there is an effective compliance program in place.
This document records the Australia and New Zealand Banking Group's ("the ANZ") commitment to implementing the New Tax System changes in accordance with Part VB of the Trade Practices Act 1974 and the ACCC's Price Exploitation Guidelines.
The ANZ will ensure that:
where there has been a net realised cost reduction as a result of the New Tax System, that such a reduction is passed onto consumers; and
where there has been a net realised cost increase as a result of the New Tax System, that any price rise based on the cost change is no greater than the net increase in costs.
As part of United Distillers & Vintners (UDVA) Trade Practices Compliance Program, UDVA will use all reasonable endeavours to:
comply with the Act, in particular Part VB of the Act;
not engage in price exploitation in relation to ANTS;
pass on to consumers any net cost benefits which result from ANTS;
advertise and display price as GST inclusive in a way that is not misleading or deceptive; and
continue to ensure that UDVA has an effective Trade Practices Compliance Program which will continue to be materially in accordance with the provisions of Australian Standard 3806 (1998).
Cable & Wireless Optus ("CWO") is committed to ongoing processes of efficiency and innovations to reduce costs and ensure savings are passed on to our customers. This document is an extension of that commitment.
The public compliance commitment reflects the Commonwealth Bank Group's ("the Commonwealth") strong culture of compliance and its intention to be open and direct with its customers and the ACCC in relation to the effects of the New Tax System.
This Public Compliance Commitment records Strathfield Group Limited's commitment to:
comply with the Trade Practices Act 1974, in particular Part VB of the Act;
not engage in price exploitation in relation to the New Tax System;
comply with the price exploitation guidelines as expanded in this >commitment;
pass on to consumers any net cost benefits realised as a result of the New Tax System changes;
advertise and display GST-inclusive prices in a way that is not misleading or deceptive; and
ensure there is an effective compliance program in place.
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