Tractor Supply Company and Orscheln Farm and Home LLC; Analysis of Agreement Containing Consent Orders To Aid Public Comment
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Abstract
The consent agreement in this matter settles alleged violations of federal law prohibiting unfair methods of competition. The attached Analysis of Proposed Consent Orders to Aid Public Comment describes both the allegations in the complaint and the terms of the consent orders--embodied in the consent agreement--that would settle these allegations.
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<title>Federal Register, Volume 87 Issue 206 (Wednesday, October 26, 2022)</title>
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[Federal Register Volume 87, Number 206 (Wednesday, October 26, 2022)]
[Notices]
[Pages 64791-64795]
From the Federal Register Online via the Government Publishing Office [<a href="http://www.gpo.gov">www.gpo.gov</a>]
[FR Doc No: 2022-23245]
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FEDERAL TRADE COMMISSION
[File No. 211 0083]
Tractor Supply Company and Orscheln Farm and Home LLC; Analysis
of Agreement Containing Consent Orders To Aid Public Comment
AGENCY: Federal Trade Commission.
ACTION: Proposed consent agreement; request for comment.
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SUMMARY: The consent agreement in this matter settles alleged
violations of federal law prohibiting unfair methods of competition.
The attached Analysis of Proposed Consent Orders to Aid Public Comment
describes both the allegations in the complaint and the terms of the
consent orders--embodied in the consent agreement--that would settle
these allegations.
DATES: Comments must be received on or before November 25, 2022.
ADDRESSES: Interested parties may file comments online or on paper, by
following the instructions in the Request for Comment part of the
SUPPLEMENTARY INFORMATION section below. Please write: ``Tractor Supply
Company and Orscheln Farm and Home LLC; File No. 211 0083'' on your
comment and file your comment online at <a href="https://www.regulations.gov">https://www.regulations.gov</a> by
following the instructions on the web-based form. If you prefer to file
your comment on paper, please mail your comment to the following
address: Federal Trade Commission, Office of the Secretary, 600
Pennsylvania Avenue NW, Suite CC-5610 (Annex D), Washington, DC 20580.
FOR FURTHER INFORMATION CONTACT: Laura Krachman (202-326-2895), Bureau
of Competition, Federal Trade Commission, 400 7th Street SW,
Washington, DC 20024.
SUPPLEMENTARY INFORMATION: Pursuant to Section 6(f) of the Federal
Trade Commission Act, 15 U.S.C. 46(f), and FTC Rule Sec. 2.34, 16 CFR
2.34, notice is hereby given that the above-captioned consent agreement
containing a consent order to cease and desist, having been filed with
and accepted, subject to final approval, by the Commission, has been
placed on the public record for a period of 30 days. The following
Analysis of Agreement Containing Consent Orders to Aid Public Comment
describes the terms of the consent agreement and the allegations in the
complaint. An electronic copy of the full text of the consent agreement
package can be obtained from the FTC website at this web address:
<a href="https://www.ftc.gov/news-events/commission-actions">https://www.ftc.gov/news-events/commission-actions</a>.
You can file a comment online or on paper. For the Commission to
consider your comment, we must receive it on or before November 25,
2022. Write ``Tractor Supply Company and Orscheln Farm and Home LLC;
File No. 211 0083'' on your comment. Your comment--including your name
and your state--will be placed on the public record of this proceeding,
including, to the extent practicable, on the <a href="https://www.regulations.gov">https://www.regulations.gov</a> website.
Due to protective actions in response to the COVID-19 pandemic and
the agency's heightened security screening, postal mail addressed to
the Commission will be delayed. We strongly encourage you to submit
your comments online through the <a href="https://www.regulations.gov">https://www.regulations.gov</a> website.
If you prefer to file your comment on paper, write ``Tractor Supply
Company and Orscheln Farm and Home LLC; File No. 211 0083'' on your
comment and on the envelope, and mail your comment to the following
address: Federal Trade Commission, Office of the Secretary, 600
Pennsylvania Avenue NW, Suite CC-5610 (Annex D), Washington, DC 20580.
Because your comment will be placed on the publicly accessible
website at <a href="https://www.regulations.gov">https://www.regulations.gov</a>, you are solely responsible for
making sure your comment does not include any sensitive or confidential
information. In particular, your comment should not include sensitive
personal information, such as your or anyone else's Social Security
number; date of birth; driver's license number or other state
identification number, or foreign country equivalent; passport number;
financial account number; or credit or debit card number. You are also
solely responsible for making sure your comment does not include
sensitive health information, such as medical records or other
individually identifiable health information. In addition, your comment
should not include any ``trade secret or any commercial or financial
information which . . . is privileged or confidential''--as provided by
Section 6(f) of the FTC Act, 15 U.S.C. 46(f), and FTC Rule Sec.
4.10(a)(2), 16 CFR 4.10(a)(2)--including competitively sensitive
information such as costs, sales statistics, inventories, formulas,
patterns, devices, manufacturing processes, or customer names.
Comments containing material for which confidential treatment is
requested must be filed in paper form, must be clearly labeled
``Confidential,'' and must comply with FTC Rule Sec. 4.9(c). In
particular, the written request for confidential treatment that
accompanies the comment must include the factual and legal basis for
the request and must identify the specific portions of the comment to
be withheld from the public record. See FTC Rule Sec. 4.9(c). Your
comment will be kept confidential only if the General Counsel grants
your request in accordance with the law and the public interest. Once
your comment has been posted on <a href="https://www.regulations.gov">https://www.regulations.gov</a>--as legally
required by FTC Rule Sec. 4.9(b)--we cannot redact or remove your
comment from that website, unless you submit a confidentiality request
that meets the
[[Page 64792]]
requirements for such treatment under FTC Rule Sec. 4.9(c), and the
General Counsel grants that request.
Visit the FTC website at <a href="https://www.ftc.gov">https://www.ftc.gov</a> to read this document
and the news release describing this matter. The FTC Act and other laws
the Commission administers permit the collection of public comments to
consider and use in this proceeding, as appropriate. The Commission
will consider all timely and responsive public comments it receives on
or before November 25, 2022. For information on the Commission's
privacy policy, including routine uses permitted by the Privacy Act,
see <a href="https://www.ftc.gov/site-information/privacy-policy">https://www.ftc.gov/site-information/privacy-policy</a>.
Analysis of Agreement Containing Consent Orders To Aid Public Comment
I. Introduction
The Federal Trade Commission (``Commission'') has accepted, subject
to final approval, an Agreement Containing Consent Orders (``Consent
Agreement'') to be put on the public record for comment. The Consent
Agreement is with Tractor Supply Company (``Tractor Supply'') and
Orscheln Farm and Home LLC (``Orscheln'') (collectively, the
``Respondents''). The proposed Decision and Order (``D&O''), included
in the Consent Agreement and subject to final Commission approval, is
designed to remedy the anticompetitive effects that would result from
Tractor Supply's proposed acquisition of Orscheln.
On February 17, 2021, Tractor Supply and Orscheln entered into an
agreement whereby Tractor Supply would acquire Orscheln for
approximately $320 million (``the Proposed Transaction''). The
Commission's Complaint alleges that the Proposed Transaction, if
consummated, would violate Section 7 of the Clayton Act, as amended, 15
U.S.C. 18, and Section 5 of the FTC Act, as amended, 15 U.S.C. 45, by
removing a direct and substantial farm store competitor in 84 relevant
markets. The elimination of this competition would result in
significant competitive harm; specifically, absent a remedy, the
Proposed Transaction would allow the combined entity to increase prices
above competitive levels unilaterally. Similarly, absent a remedy,
there is significant risk that the combined entity may decrease
quality, selection, and service aspects of its stores below competitive
levels in the relevant markets.
The Consent Agreement, which contains the proposed D&O and Order to
Maintain Assets, would remedy the alleged violations by requiring
divestitures to replace competition that otherwise would be lost in the
relevant markets because of the Proposed Transaction. Under the terms
of the proposed D&O, Respondents are required to divest 84 stores and
related assets in 84 local geographic markets (collectively, the
``relevant markets'') in 10 states (Arkansas, Indiana, Iowa, Kansas,
Kentucky, Missouri, Nebraska, Ohio, Oklahoma, and Texas) to the
Commission-approved buyers, Bomgaars Supply, Inc. (``Bomgaars'') and
Buchheit Enterprises, Inc. (``Buchheit''). The Commission and
Respondents have agreed to an Order to Maintain Assets that requires
Respondents to operate and maintain each divestiture store in the
normal course of business through the date the store is ultimately
divested to Bomgaars and Buchheit.
The Consent Agreement with the proposed D&O and the Order to
Maintain Assets has been placed on the public record for 30 days for
receipt of comments from interested persons. Comments received during
this period will become part of the public record. After 30 days, the
Commission will review the D&O as well as any comments received, and
decide whether it should withdraw, modify, or make the D&O final. The
Commission is issuing the Order to Maintain Assets when the Consent
Agreement is placed on the public record.
II. The Respondents
Respondent Tractor Supply operates over 2,000 farm stores, with
stores located in every state except Alaska. Tractor Supply is the
largest farm store chain, by store count, in the United States.
Respondent Orscheln operates 166 farm stores under the Orscheln Farm &
Home banner in Arkansas, Illinois, Indiana, Iowa, Kansas, Kentucky,
Missouri, Nebraska, Ohio, Oklahoma, and Texas. Orscheln is the second
largest farm store chain, by store count, in the United States.
III. Competition in the Relevant Markets
The Proposed Transaction presents substantial antitrust concerns
for the products sold and services provided at brick-and-mortar farm
stores. Farm stores offer their customers a broad, in-store assortment
of products across multiple product categories to meet their farming,
ranching, or other rural lifestyle needs, along with staff
knowledgeable about the products. Farm stores sell a wide range of
products, including, but not limited to, large animal and pet feed;
supplies to care for horses, other livestock, and pets; fencing;
equipment and tools used for farm or lawn and garden maintenance;
workwear; and home goods. This broad product mix enables customers to
purchase products to meet substantially all their farm or rural
lifestyle needs and to receive accompanying service from knowledgeable
employees at a single store. The brick-and-mortar shopping environment
also provides customers with the ability to touch and feel products
before buying them, and in-person access to knowledgeable sales staff.
The ability to offer consumers this in-person, one-stop shopping
experience is a key difference between farm stores and other retailers.
Other types of brick-and-mortar retailers are not reasonable
substitutes for farm stores. Retail stores other than farm stores,
including big box general merchandisers, grocery stores, pet stores,
and home improvement stores may sell some of the same products as farm
stores, but they do not carry the same breadth and variety of rural
lifestyle products as farm stores. Such retailers typically lack the
breadth of rural lifestyle products that enables farm stores to meet
substantially all their customers' rural lifestyle needs in one
convenient stop.
Online retailers also are not reasonable substitutes for brick-and-
mortar farm stores. Online retailers cannot provide their customers the
ability to touch and feel products prior to purchase, nor can they
offer in-person access to knowledgeable sales staff to learn about
products best suited for their rural lifestyle needs. Additionally,
online retailers require time to deliver their products to their
customers, while farm stores provide their customers with immediate
access to products that meet essential or immediate needs, such as
animal feed when a customer runs out or components to fix broken farm
equipment. Furthermore, many products sold at farm stores are not
conducive to selling online, as they are large and heavy, and therefore
impractical or expensive to ship.
The relevant geographic markets in which to analyze the effects of
the Proposed Transaction are the areas within a reasonable drive of
Orscheln's stores listed in Exhibit A, as these are areas in which
Respondents' farm stores compete. When choosing between farm store
competitors, a customer is typically choosing between farm stores
within a reasonable driving distance of the customer's farm or home.
The area within a reasonable drive of a farm store varies depending on
a store's location, geography, population density, traffic conditions,
and other local
[[Page 64793]]
characteristics. While individual markets may be significantly smaller,
typically no relevant geographic market is broader than the area within
a 60-mile drive of the stores.
The Proposed Transaction would eliminate direct and substantial
competition between Respondents Tractor Supply and Orscheln to the
detriment of their customers in the relevant markets. Respondents are
close competitors and focus on the same types of customers. They
compete on price and non-price factors, such as customer service and
product selection, resulting in lower prices and other benefits to
their customers. With this head-to-head competition removed, the
Proposed Transaction would enable the combined entity to increase
prices and decrease the quality and selection of products and services
at their farm stores in the relevant markets.
Entry into the relevant markets that is timely and sufficient to
prevent or counteract the expected anticompetitive effects of the
Proposed Transaction is unlikely to occur. Entry barriers include the
time and costs associated with conducting necessary market research,
selecting an appropriate location for a farm store, obtaining necessary
permits and approvals, constructing a new farm store or converting an
existing structure to a farm store, and generating sufficient sales to
have a meaningful impact on the market. As a result, new entry
sufficient to achieve a significant market impact and act as a
competitive constraint is unlikely to occur in a timely manner.
IV. The Proposed Order and the Order To Maintain Assets
The proposed D&O and the Order to Maintain Assets effectively
remedy the likely anticompetitive effects in the relevant markets. The
proposed D&O, which requires the divestiture of Orscheln stores in each
of the 84 relevant markets to Commission-approved, upfront buyers, will
restore competition that otherwise would be eliminated in these markets
because of the Proposed Transaction. The proposed buyers, Buchheit and
Bomgaars, appear to be suitable purchasers well-positioned to enter the
relevant markets through the divested stores and prevent competitive
harm that would otherwise likely result from the Potential Transaction.
The proposed D&O requires Respondents to divest 12 stores, as
ongoing businesses, and related assets to Buchheit within 10 days of
Respondents consummating the Proposed Transaction. For up to six months
afterwards Respondents will provide transitional assistance to Buchheit
to ensure that Buchheit can operate the stores similarly to how the
stores were operated prior to the Proposed Transaction.
Buchheit appears to be a suitable purchaser for the 12 divestiture
stores it intends to acquire. Buchheit is a family-owned company that
has operated retail stores since the 1930s. It currently operates eight
farm stores in Missouri and Illinois and has over 650 employees.
Buchheit also operates a warehousing and shipping service through
Buchheit Logistics and a feed and fertilizer manufacturer through
Buchheit Agriculture. Buchheit has sufficient financing to fund the
acquisition and operate the newly acquired stores. Buchheit also
appears to have sufficient distribution and supply capabilities for
both the newly acquired stores and its currently operated stores.
The proposed D&O further requires Respondents to divest 72 stores,
as ongoing businesses, and related assets to Bomgaars within 10 days of
Respondents consummating the Proposed Transaction. For up to 15 months
afterwards Respondents will provide transitional assistance to Bomgaars
to ensure that Bomgaars can operate the stores similarly to how the
stores were operated prior to the Proposed Transaction.
The proposed D&O also requires that the Respondents divest
Orscheln's distribution center in Moberly, Missouri to Bomgaars. The
Orscheln stores that Tractor Supply will be acquiring and keeping
currently utilize the Moberly distribution center. The proposed D&O
requires Tractor Supply to transition these Orscheln stores out of the
Moberly distribution center and to permanently cease reliance on the
Moberly distribution center no later than December 31, 2023. Bomgaars
will take ownership of the distribution center within ten days
thereafter.
Bomgaars appears to be a suitable purchaser for the 72 divesture
stores it intends to acquire and for Orscheln's distribution center in
Moberly, Missouri. Bomgaars is a family-owned farm store operator with
over 70 years of experience running farm stores in the Midwest.
Bomgaars has over 100 farm stores located throughout eight midwestern
states and approximately 3,000 employees. Bomgaars has sufficient
financing to fund the acquisition and operate the newly acquired stores
and distribution center. Also, with the addition of the divested
distribution center, Bomgaars appears to have sufficient distribution
and supply capabilities for both the newly acquired stores and its
currently operated stores.
The proposed D&O contains additional provisions designed to ensure
the adequacy of the proposed relief. For example, the proposed D&O and
the Order to Maintain Assets require Respondents to continue operating
and maintaining the divestiture stores in the normal course of business
until the date that each store is sold to the buyer. If, at any time
before the proposed D&O is made final, the Commission determines that
Bomgaars or Buchheit is not an acceptable buyer, Respondents must
rescind the divestiture(s) and divest the assets to a different buyer
that receives the Commission's prior approval. The proposed D&O imposes
other terms, including the obligation to provide Transition Assistance
and an obligation to facilitate the buyers interviewing and hiring
employees.
Moreover, the proposed D&O sets a strict timeline by which the
Respondents must separate the retained Orscheln stores from the Moberly
distribution center, requiring separating 12 by April 30, 2023, 40 by
July 31, 2023, 60 by October 31, 2023, and the remaining stores by
December 31, 2023. Additionally, the proposed D&O includes some newer
provisions to ensure its effectiveness, including provisions that
appoint a Transition Manager for each buyer, who will be responsible
for directing the provision of Transitional Assistance to that buyer,
require physical separation of the employees providing assistance to
each buyer, and increase the frequency of compliance reporting.
The proposed D&O also requires the appointment of Larry Appel as an
independent Monitor to oversee the Respondents' compliance with the
requirements of the proposed D&O and the Order to Maintain Assets, and
to keep the Commission informed about the status of the transfer of the
divested assets. Additionally, the proposed D&O requires the
Respondents to receive the Commission's prior approval, for a period of
10 years, to acquire any interest in a farm store that has operated or
is operating within a 60-mile radius of a divested store. Finally, the
proposed D&O also prohibits the Respondents from entering into or
enforcing agreements to restrict a new owner from operating a farm
store at any store Respondents may sell in these areas.
The proposed D&O also contains a ten-year prior approval provision
relating to the buyers, which prohibits them from selling acquired
stores for a period of three years after the proposed
[[Page 64794]]
D&O is issued, except to an acquirer that receives the prior approval
of the Commission. The initial three-year period is followed by an
additional seven-year period during which the buyers are required to
receive prior approval from the Commission to sell an acquired store to
a buyer that operates one or more farm stores within a 60-mile radius
of a divested store the respective buyer acquired.
Exhibit A
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State City Address Store No. Buyer
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Arkansas........................ Jonesboro.......... 1817 E Parker Road, 163 Buchheit.
Jonesboro, Arkansas
72404.
Paragould.......... 420 Highway 49 North, 137 Buchheit.
Paragould, Arkansas
72451.
Pocahontas......... 1966 Highway 62 West, 138 Buchheit.
Pocahontas, Arkansas
72455.
Springdale......... 211 N Maestri Road, 44 Bomgaars.
Springdale, Arkansas
72762.
Indiana......................... Charlestown........ 1085\1/2\ Market Street, 112 Bomgaars.
Charlestown, Indiana
47111.
Corydon............ 1805 Gardner Lane, 111 Bomgaars.
Corydon, Indiana 47112.
Greenfield......... 1875 East Main Street, 107 Bomgaars.
Greenfield, Indiana
46140.
Lawrenceburg....... 181 South Tanners Creek 106 Bomgaars.
Drive, Lawrenceburg,
Indiana 47025.
North Vernon....... 2110 N State Highway 3, 162 Bomgaars.
North Vernon, Indiana
47265.
Richmond........... 2100 National Road West, 108 Bomgaars.
Richmond, Indiana 47374.
Scottsburg......... 1326 North Gardner 126 Bomgaars.
Street, Scottsburg,
Indiana 47170.
Tell City.......... 212 East Highway 66, 134 Bomgaars.
Tell City, Indiana
47586.
Washington......... 1 Cherry Tree Plaza, 110 Bomgaars.
Washington, Indiana
47501.
Winchester......... 970 East Washington 144 Bomgaars.
Street, Winchester,
Indiana 47394.
Iowa............................ Fairfield.......... 2107 West Burlington 20 Bomgaars.
Avenue, Fairfield, Iowa
52556.
Kansas.......................... Ottumwa............ 1331 Vaughn Drive, 99 Bomgaars.
Ottumwa, Iowa 52501.
Atchison........... 605 S 10th Street, 80 Bomgaars.
Atchison, Kansas 66002.
Basehor............ 15256 Wolf Creek 157 Bomgaars.
Parkway, Basehor,
Kansas 66007.
Concordia.......... 1620 Lincoln Street, 127 Bomgaars.
Concordia, Kansas 66901.
Dodge City......... 1701 North 14th Avenue, 34 Bomgaars.
Dodge City, Kansas
67801.
El Dorado.......... 2908 W Central Avenue, 69 Bomgaars.
El Dorado, Kansas 67042.
Garden City........ 1309 North Taylor 55 Bomgaars.
Avenue, Garden City,
Kansas 67846.
Gardner............ 18710 South Gardner 172 Bomgaars.
Road, Gardner, Kansas
66030.
Goddard............ 20200 West Kellogg 161 Bomgaars.
Avenue, Goddard, Kansas
67052.
Great Bend......... 5320 10th Street, Great 31 Bomgaars.
Bend, Kansas 67530.
Hays............... 2900 Broadway Avenue, 58 Bomgaars.
Hays, Kansas 67601.
Hutchinson......... 1500 East 11th Street, 32 Bomgaars.
Hutchinson, Kansas
67501.
Iola............... 1918 North State Street, 148 Bomgaars.
Iola, Kansas 66749.
Lawrence........... 1541 E 23rd Street, 48 Bomgaars.
Lawrence, Kansas 66046.
Louisburg.......... 1160 West Amity Street, 147 Bomgaars.
Louisburg, Kansas 66053.
Manhattan.......... 427 Hummels Place, 39 Bomgaars.
Manhattan, Kansas 66502.
McPherson.......... 2204 East Kansas Avenue, 60 Bomgaars.
McPherson, Kansas 67460.
Newton............. 321 Windward Drive, 43 Bomgaars.
Newton, Kansas 67114.
Parsons............ 211 East Main Street, 21 Bomgaars.
Parsons, Kansas 67357.
Pratt.............. 1601 1st Street, Pratt, 33 Bomgaars.
Kansas 67124.
Salina............. 360 North Ohio Street 57 Bomgaars.
#57, Salina, Kansas
67401.
Topeka............. 1133 SW Wanamaker Road, 37 Bomgaars.
Topeka, Kansas 66604.
Kentucky........................ Murray............. 700 A North 12th Street, 93 Buchheit.
Murray, Kentucky 42071.
Radcliff........... 135 East Lincoln Trail, 154 Bomgaars.
Radcliff, Kentucky
40160.
Missouri........................ Blue Springs....... 1100 S Hwy 7 Lot 1, Blue 174 Buchheit.
Springs, Missouri 64014.
Columbia........... 3300 Paris Road, 9 Buchheit.
Columbia, Missouri
65202.
Columbia (South)... 3910 South Providence 158 Buchheit.
Road, Columbia,
Missouri 65203.
Dexter............. 1525 West Business 47 Bomgaars.
Highway 60, Dexter,
Missouri 63841.
Fulton............. 1310 Business 54 South, 11 Buchheit.
Fulton, Missouri 65251.
Holden............. 1000 East 10th Street, 120 Bomgaars.
Holden, Missouri 64040.
Houston............ 1476 South Sam Houston 118 Bomgaars.
Blvd., Houston,
Missouri 65483.
Missouri........................ Jane............... 107 Gordon Hollow Road, 160 Bomgaars.
Jane, Missouri 64856.
Jefferson City..... 2304 Missouri Boulevard, 41 Buchheit.
Jefferson City,
Missouri 65109.
Kirksville......... 2302 South Baltimore 153 Buchheit.
Street, Kirksville,
Missouri 63501.
Marshfield......... 1331 Spur Drive, 135 Bomgaars.
Marshfield, Missouri
65706.
Monroe City........ 1110 Hwy. 24-36 East 151 Bomgaars.
Unit #50, Monroe City,
Missouri 63456.
Poplar Bluff....... 2235 N Westwood Blvd., 84 Bomgaars.
Poplar Bluff, Missouri
63901.
Republic........... 1055 U.S. Highway 60 117 Bomgaars.
East Republic, Missouri
65738.
Sedalia............ 2424 South Limit 1 Bomgaars.
Sedalia, Missouri 65301.
St. Joseph......... 137 North Belt Highway, 53 Bomgaars.
St. Joseph, Missouri
64504.
Sullivan........... 124 East South Service 38 Bomgaars.
Road, Sullivan,
Missouri 63080.
Troy............... 1 Lincoln Center, 45 Bomgaars.
Highway 47, Troy,
Missouri 63379.
Warsaw............. 1551 Commercial Street, 125 Bomgaars.
Warsaw, Missouri 65355.
Washington......... 860 Washington Corners, 12 Bomgaars.
Washington, Missouri
63090.
[[Page 64795]]
Waynesville........ 110 C W Parker Lane, 24 Bomgaars.
Waynesville, Missouri
65583.
Beatrice........... 2415 North 6th Street, 95 Buchheit.
Beatrice, Nebraska
68310.
Nebraska........................ Gothenburg......... 716 4th Street, 101 Bomgaars.
Gothenburg, Nebraska
69138.
Grand Island....... 515 South Webb Road, 115 Bomgaars.
Grand Island, Nebraska
68803.
Hastings........... 1315 West J Street, 42 Bomgaars.
Hastings, Nebraska
68901.
Kearney............ 910 Third Avenue, 25 Bomgaars.
Kearney, Nebraska 68845.
Lexington.......... 1701 Plumcreek Parkway, 100 Bomgaars.
Lexington, Nebraska
68850.
Lincoln............ 5640 Cornhusker Highway, 63 Bomgaars.
Lincoln, Nebraska 68507.
McCook............. 1602 North Highway 83, 70 Bomgaars.
McCook, Nebraska 69001.
Nebraska City...... 2412 South 11th Street, 67 Bomgaars.
Nebraska City, Nebraska
68410.
North Platte....... 2501 East 4th Street, 102 Buchheit.
North Platte, Nebraska
69101.
York............... 518 S Lincoln Avenue, 27 Bomgaars.
York, Nebraska 68467.
Ohio............................ Mount Orab......... 206 Sterling Run Blvd., 173 Bomgaars.
Mount Orab, Ohio 45154.
Oklahoma........................ Ada................ 724 Arlington Center, 22 Bomgaars.
Ada, Oklahoma 74820.
Ardmore............ 1925 N Rockford Road, 86 Bomgaars.
Ardmore, Oklahoma 73401.
Duncan............. 4800 N Highway 81, 85 Bomgaars.
Duncan, Oklahoma 73533.
Durant............. 2424 West Main Street, 83 Bomgaars.
Durant, Oklahoma 74701.
Muskogee........... 6 East Shawnee Road, 56 Bomgaars.
Muskogee, Oklahoma
74403.
Nowata............. 329 South Ash Street, 156 Bomgaars.
Nowata, Oklahoma 74048.
Okmulgee........... 2000 South Wood Drive, 23 Bomgaars.
Okmulgee, Oklahoma
74447.
Pryor.............. 715 North Mill Street, 54 Bomgaars.
Pryor, Oklahoma 74361.
Texas........................... Decatur............ 1200 W U.S. Business 178 Bomgaars.
Hwy. 380, Decatur,
Texas 76234.
Sherman............ 2725 Hwy. 75 North, 175 Bomgaars.
Sherman, Texas 75090.
Waco............... 2701 S Jack Kultgen 177 Bomgaars.
Expressway, Waco, Texas
76706.
Weatherford........ 102 College Park Drive, 176 Bomgaars.
Weatherford, Texas
76086.
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The purpose of this analysis is to facilitate public comment on the
Consent Agreement. It is not intended to constitute an official
interpretation of the Consent Agreement or to modify its terms in any
way.
By direction of the Commission.
April J. Tabor,
Secretary.
[FR Doc. 2022-23245 Filed 10-25-22; 8:45 am]
BILLING CODE 6750-01-P
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