Dawn Raid Analysis Quarterly: 2025 Q1

The White & Case Dawn Raid Analysis Quarterly (DRAQ) is an information and discussion resource regarding surprise on-the-spot inspections by antitrust authorities (dawn raids) across Europe. DRAQ provides updates on recent case law, enforcement activity and trends.

Q1 2025 at a glance

In the first quarter of 2025, European competition authorities carried out a total of 13 dawn raids, five less than in the same period in 2024. The Romanian competition authority was the most active in dawn raids in Q1 2025 with three dawn raids in construction, health & safety and transport sectors. The sectors that European competition authorities targeted the most in Q1 were the construction, consumer goods and transport sectors. 

Noteworthy for Q1 2025:

  • In March 2025,  the Finnish Market Court fined care home operator Attendo Suomi 1.5 million euros for obstructing a dawn raid conducted by Finnish antitrust officials in 2023.  The obstruction involved the deletion by an Attendo employee of work-related WhatsApp conversations and a call log from a mobile phone. This marks the first time that a fine has been imposed in Finland for a procedural violation of this type.
  • In March 2025, the European Commission (EC) carried out unannounced inspections at the premises of companies active in the non-alcoholic drinks sector. The EC has concerns that the companies concerned may have infringed EU antitrust rules that prohibit cartels and restrictive practices (Article 101), and abuses of a dominant position (Article 102). In particular, the EC is investigating possible restrictions on the trade of goods in the Single Market and market segmentation.
  • The EC conducted its first dawn raid under the EU Foreign Subsidy Regulation (FSR) in April 2024. The EC inspected the premises of Chinese security inspection equipment company, Nuctech, in the Netherlands and Poland. During the raid, the inspectors requested the content of the mailboxes of a number of employees (who were Chinese citizens), but were informed that this data was inaccessible as the data was stored on the parent company’s servers in China. The inspectors requested Nuctech to place a legal hold on the relevant mailboxes. After the raid, the EC requested Nuctech to make the data available. In addition to challenging the dawn raid decision, Nuctech applied for interim measures ordering the suspension of the dawn raid inspection decision, together with the legal hold requests and subsequent information request. In March 2025, Nuctech lost the interim measure appeal. That means that the EC can continue its investigation and review the collected evidence. The main appeal against the dawn raid is still pending before the General Court.

We provide more statistics below on the number of raids and the sectors impacted, including a country-by-country list, available through our Interactive Dawn Raid map.

 

Key Q1 2025 legal developments

Below is a selection of key developments in Q1 2025:



Human rights challenge of dawn raids in Romania

On 18 March 2025, the European Court of Human Rights (ECHR) delivered a judgment concerning a challenge of two dawn raids by the Romanian authorities. The first concerned a dawn raid of the business premises of a bank by the Romanian Competition Council. The second concerned a subsequent dawn raid at the bank’s business premises conducted in the context of a criminal investigation of several employees (alleged fraud and money laundering). The bank alleged an infringement of Article 8 of the European Convention for the Protection of Human Rights and Fundamental Freedoms (right to private life, home and correspondence).

With respect to the dawn raid by the Romanian Competition Council, the ECHR ruled that the impugned interference with the bank’s rights was proportionate to the aim pursued. The ECHR noted the following factors as contributing to the proportionality of the dawn raids.

  • The dawn raid had been directed at a legal person which gave it a wider margin of appreciation than would have been the case had it concerned an individual.
  • Only a limited number of documents (32 emails) were taken, rather than a download of all existing documents on the server. The raid did not involve a “massive and indiscriminate” taking of documents.
  • The bank’s representatives had the right to submit requests and make comments but signed without any objections the inspection report in which all the documents viewed and taken by the inspectors were listed.  
  • The dawn raid had its basis upon a decision approved by the plenary of the Romanian Competition Council.
  • Representatives of the bank were given copies of the two decisions on which the inspection was based (albeit the decisions mentioned only briefly the suspected breaches)
  • The inspection did not start until a legal representative of the bank was present
  • The inspectors orally informed the bank representatives about the scope and extent of the inspection.
  • The inspectors carried out their inspection only in the presence of representatives of the bank and drew up a detailed inspection report that mentioned all the offices and documents accessed and included a full list of the documents taken.
  • The domestic legal framework offered the possibility of requesting that documents taken by the competition inspectors be kept confidential or be returned if they were not necessary for the investigation

The ECHR noted that the inspection had taken place without any prior warrant of a judge, but solely on the basis of an administrative decision of the Romanian Competition Council. Following its case law, the ECHR stated that the absence of a prior judicial warrant could be counterbalanced by the availability of an ex post facto judicial review that is effective in the particular circumstances of the case. Whilst the ECHR observed that the domestic legal framework did not provide for a specific avenue to complain in respect of the conduct of inspections, it highlighted that the Romanian Competition Act provided for the possibility of complaining about decisions of the Council at the end of the investigation, and that the general administrative proceedings law provides for the possibility of contesting before the courts either administrative decisions or a failure to resolve a petition by a public authority. The ECHR highlighted the fact that the bank had initiated proceedings immediately after the inspection based on general administrative proceedings law concerning the two administrative decisions adopted in the case, where the bank raised complaints concerning the conduct of the inspection. In this context, the ECHR considered that the High Court of Cassation and Justice had reviewed the scope and proportionality of the inspection, and that the necessity and proportionality of the dawn raid had been subject to adequate ex post review.

The ECHR took a different approach to the criminal inspection, holding that the circumstances failed to ensure effective protection of the bank’s right to respect for its home and correspondence. The ECHR held that there had been a violation of Article 8 of the Convention, and awarded the bank non-pecuniary damages of EUR 2,600 and legal costs of EUR 10,000. 

The ECHR highlighted the following circumstances:

  • The seizure of the two computers belonging to the bank was carried out following a decision of the prosecutor that was not subjected to judicial review in that specific phase of the proceedings (no judicial warrant)
  • The bank raised a number of complaints as regards the lack of reasoning, justification and lawfulness of the seizure of the computers in question as objections to the seizure report as well as in the form of a complaint before the superior prosecutor. However, the hierarchical superior prosecutor only examined the general compliance of the prosecutor’s order with the relevant legal provisions, without replying to the bank’s specific complaints.
  • The bank had not been able to benefit from an ex post facto judicial review, as the criminal investigation was still pending.
  • The prosecutor’s decision had been adopted and carried out within the scope of a former legal framework. Under the legal framework in force at the time, the bank could not contest the measures in question before the courts.

Back to top


New AI detection tool in Spain

The Spanish competition authority Comisión Nacional de los Mercados y la Competencia (CNMC) has been particularly active in trying to detect collusive bids in public procurement processes. Thanks to various regulatory changes in Spain, the CNMC now enjoys access to data from the public procurement and commercial registry databases, which are key to ex-officio detection. The CNMC’s access to data on unsuccessful bids (losing bids) has paved the way for the development and implementation of the BRAVA system (Bid Rigging Algorithm for Vigilance in Antitrust).

CNMC’s Economic Intelligence Unit has been working on BRAVA since 2021. The tool which has been operative since 2023 is a classification tool based on supervised machine learning that uses different AI models to flag potential bid-rigging activities and classify the different bids submitted to a tender as likely to be collusive or competitive. The data from the collusive bids are labelled, as well as the contrasting competitive ones, and they are then divided into a training set and a test set to further advance the supervised machine learning process through different iterations.

Although bid rigging detection is BRAVA’s main task, the CNMC reports that it can be used also regarding other horizontal agreements between companies, as well as for the analysis of markets reported by whistle-blowers or informants. It can also assist in the identification of anticompetitive agreements in markets already under investigation or where competition is a concern, especially in markets suspected of harboring stable cartels.

Although it is too early to measure the precise impact of BRAVA, it is expected to play an important role resulting in increased detection and fines for anticompetitive behavior. The CNMC also expects that the mere existence of the tool will discourage the creation of cartels and encourage the use of the leniency program. Considering that public tenders in Spain represent around 20% of GDP, the CNMC has made it a priority to make sure that bids are competitive and considers BRAVA to be a pioneering tool worldwide among competition authorities.

Back to top


Czech Supreme Administrative Court rules against seizure of documents based on generic keywords

The judgment of the Supreme Administrative Court (SAC), handed down in December 2024, clarifies avenues to challenge dawn raids in the Czech Republic on the basis that generic keywords have been used that are unrelated to the subject matter of the investigation. The judgment relates to a dawn raid carried out by the Czech Competition Authority (CCA) in June 2023 on the business premises of electronics retailer company HP Tronic Zlín in relation to alleged prohibited resale price maintenance (RPM) practices. The retailer challenged the legality of the dawn raid before the local court.

The SAC appellate judgment concerns one particular email that the CCA located during the inspection using a generic keyword which may be loosely translated as “settle” (in Czech: “narovn”). The CCA had given no justification in the inspection protocol for the use of this particular keyword. The SAC distilled the grounds of the appeal into two main questions: (i) whether there was an apparent link between the keyword and the subject matter of the investigation and, if there was no such apparent link, (ii) whether the CCA could cure this deficiency by explaining its reasons for using the keyword.

The SAC found that the keyword was too general and lacked any apparent link to the subject matter. Furthermore, despite objections raised by the company during the inspection, the CCA did not provide any justification of its choice of the keyword in the inspection protocol. In fact, the authority did so for the first time only in the appellate proceedings before the SAC. There, the CCA was claiming that to “settle” in Czech is often used in the RPM context where its meaning would be to fix (i.e., to “align”) prices of the reseller and that it was therefore legitimate to use it in this context. However, the CCA gave its explanation too late.

The SCA’s judgment underlines that where the CCA ventures on a “fishing expedition” during a dawn raid and seizes electronic evidence located by using generic keywords that are apparently unrelated to the conduct being investigated without further explanation, the affected business will likely succeed if it brings a dawn raid challenge. While the use of one or more general keywords on its own will not lead to the entire investigation of the CCA being declared excessive, it would make the use of documents discovered as a result of them inadmissible. The relevant court will evaluate all available keywords comprehensively, taking into account all relevant factors, including the number of documents found using the keyword in question and the effort of the CCA to comply with the scope of the investigation.

Back to top


 

Interactive Dawn Raid map

Hover over the highlighted countries to get a closer look at the enforcement activity of the respective National Competition Authorities since 2021.


Austria

2024

2023

  • One dawn raid 
    • Sector: Refrigeration and freezing equipment 

2022

  • Three dawn raids
    • Sectors: Wood-pellets; waste management

2021

  • One dawn raid
    • Sectors: Waste management.


Belgium

2025

  • One dawn raid
    • Sector: personal care and retail 

2024

  • One dawn raid
    • Sector: bus and coach passenger transport

2023

2022

  • Two dawn raids
    • Sectors: Bovine meat; Press publisher and distribution

2021


Bulgaria

2025

  • One dawn raid
    • Sector: Construction machinery 

2024

  • One dawn raid
    • Sectors: traders of construction machinery and equipments

2023

  • One dawn raid
    • Sector: Food and beverage

2022

  • One dawn raid
    • Sectors: Toners and other printing consumables.

2021


Croatia

2025

  • One dawn raid
    • Sector : Low and medium voltage 

2024

  • Two dawn raids
    • Sectors: Management, constructions, and maintenance of state roads; sports and recreation packages for employees

2023

2022

2021


Czech Republic

2025

  • 4 dawn raids
    • Sector: Post services; engineering; land construction; household and garden equipment

2024

  • 9 dawn raids
    • Sectors: Domestic appliances; lorries; roads and motorways; web portal and search engines; unknown

2023

  • 8 dawn raids
    • Sectors: Domestic appliances; consumer electronics; unknown

2022

  • 14 dawn raids
    • Sectors: Consumer electronics; smelters; unknown

2021

  • 16 dawn raids
    • Sectors: Pet food and pet accessories; railways; electronic appliances


Denmark

2025

2023

2022

2021

  • One dawn raid
    • Sector: Auto repair services


Estonia

  • No dawn raids for the period 2021 – 2023


Finland

 2025

2024

2023

2022

2021


France

2025

2024

  • Four dawn raids
    • Sectors: Medical biology; energy cable distribution; manufacture and distribution of explosives for civil uses; agricultural inputs

2023

  • Four dawn raids
    • Sector: Rail transport; graphic cards; production and marketing of food and non-food product sectors; production and marketing of food and non-food products

2022

  • Four dawn raids
    • Sectors: Cow’s milk; leather goods; agricultural supplies; cash register services for newsagents and tobacconists

2021

  • Two dawn raids
    • Sectors: Food retail; pharmacy data collection


Germany

2024

  • Three dawn raids
    • Sectors: Tyre retail; unknown; toilet paper, paper towels and tissues

2023

2022

  • 12 dawn raids
    • Sectors: Power-cable manufacturer
    • As stated in the Bundeskartellamt (BKa) annual report of 2022, in 2022 the BKa carried out a total of 12 dawn raids and provided official assistance for another six

2021

  • Two dawn raids
    • As stated in the BKa annual report of 2021, in 2021 the BKa conducted two dawn raids


Greece

2025

  • Two dawn raids
    • Sector: Maritime and Private tutoring services

2024

  • Seven dawn raids
    • Sectors: IT and technology sector and related services; organisation of educational trips for public and private schools; smart water meter systems; ferry services; waste management; pet food; coffee, chocolate and infant nutrition

2023

  • Seven dawn raids
    • Sectors: Pharmaceuticals; alcoholic beverages; food processing; poultry; electricity grid; baby products; medical equipment

2022

  • 12 dawn raids
    • Sectors: Children’s toys; aluminium; PVC and iron processing; import and distribution of white goods; transport; electricity; catering; medical products; 2 x construction; eyewear; cosmetics and personal care; breast pumps and accessories

2021

  • 13 dawn raids
    • Sectors: Sunflower; cotton and maize seeds; cadastral survey services; production and supply of pharmaceutical products; refining; wholesale and retail trade of petrol and diesel; 2x supply and retail trade of supermarket products; school bags; kids’ lunch bags and pencil cases; IT systems; catering services; public tenders for natural gas works; import; wholesale and retail markets of power-driven hard tools and garden tools; wholesale and retail markets of telecommunications and teleconferencing equipment; lighting systems


Hungary

2025

  • One dawn raid
    • Sector: domestic soft drinks manufacturer

2023

  • Three dawn raids
    • Sectors: Food and beverages; soft drinks; online accommodation booking

2022

2021

  • Two dawn raids
    • Sectors: Timber; gravel market


Ireland

2025

2024

  • Two dawn raids
    • Sector: Airlines; home alarms

2023

  • One dawn raid
    • Sector: Publicly funded transport

2022

2021


Italy

2025

  • Two dawn raids
    • Sector: Transportation; jewellery and watches
       

2024

  • Three dawn raids
    • Sector: Online travel agencies; potato chips; vehicle repair

2023

  • Seven dawn raids
    • Sectors: Oil; electric recharging stations; organization of sporting competitions; automotive fuels; anti-lock breaking systems; organization of competitive motor sports events; wine glass bottles

2022

  • Two dawn raids
    • Sectors: Tolled motorways; catering services for penitential institutions

2021


Latvia

2025

  • One dawn raid
    • Sector: Coffee machines
       

No dawn raids for the period 2021 – 2023


Lithuania

  • No dawn raids for the period 2021 – 2023


Luxembourg

2025

2024

  • One dawn raid
    • Sectors: Pharmaceutical and parapharmaceutical

2023

2022

2021


Netherlands

2023

2022

2021

  • One dawn raid
    •  Sectors: Food processing sector


Norway

2025

  • One dawn raid
    • Sector: veterinary clinics

2023

2022

  • Two dawn raids
    • Sectors: Finance; construction

2021

  • Two dawn raids
    • Sectors: Pharmaceuticals; relocation services


Poland

2025

  • One dawn raid
    • Sector: add waste management

2024

  • Seven dawn raids
    • Sectors: Consumer electronics; digital distribution platform for video games; technologies related to electric and robotic systems; flooring panels; sale of drones; home appliance retailer; power production, trading and distribution 

2023

  • Four dawn raids
    • Sector: Agricultural machinery; processing and wholesale trade of raspberries; household applicances, grain storage

2022

  • Three dawn raids
    • Sectors: Gas meters; grain trade and shipments; coffee machines

2021

  • Five dawn raids
    • Sectors: Monitoring equipment; cleaning devices; hospital IT systems; KIA car dealerships; pork wholesale


Portugal

2024

2023

  • Three dawn raids
    • Sectors: supermarket retailing; condominium administration

2022

  • Six dawn raids
    • Sectors: Wood-chip; wholesale of pharmaceutical goods; IT consulting; health & pharmaceutical; pharmaceutical and para pharmaceutical

2021

  • Two dawn raids
    • Sectors: Procurement of military equipment; commercialised subscription databases with business information


Romania

2025

  • Six dawn raids
    • Sector: Housing and construction design; dentistry; LPG port operating services; vehicle maintenance and repair services; road sign products; medical products and equipment

2024

  • Six dawn raids
    • Sectors: Archival services for pensions; electricity meter reading services; ICT equipment; medical oxygen; dietary supplements; hydrological data

2023

  • Four dawn raids
    • Sector: Console gaming; Sunflower oil, butter and sugar; voucher services related to employee benefits; banking

2022

2021

  • 12 dawn raids
    • Sectors: Telecommunications; direct oral anticoagulants; paints and decorative coatings; book distribution; archiving of documents; tenders for an electronic services project; poultry; electricity; labour protection equipment; retail of electronic products; technical site permit services; street signage
       


Slovakia

2025

  • One dawn raid
    • Sector: Air conditioning, cooling and heat pump services

2024

  • Three dawn raids
    • Sector: Photovoltaics; provision of institutional healthcare; medical devices suppliers

2023

  • Three dawn raid
    • Sector: Healthcare waste management; laboratory medical diagnostics; medicines and medical devices

2022

  • Four dawn raids
    • Sectors: IT; forestry; cables; sale and repair of robotised workplaces

2021


Slovenia

2024

2023

2022

2021

  • One dawn raid
    • Sectors: Driver training
       


Spain

2025

  • Three dawn raids
    • Sector: generic medicine; civil engineering construction; leasing of facilities intended for the activity of FBO at airports

2024

  • Four dawn raids
    • Sector: Provision of consulting and technical assistance services; leasing of facilities intended for the activity of FBOs at airports; agriculture machinery; consultancy and technical assistance services

2023

  • Eight dawn raids
    • Sector: Travel agencies; haircare products; low-voltage electricity networks and electricity trading; agricultural machinery; rail transport; pharmaceutical digital logistics tool; electricity and gas; drugs and medications

2022

  • Four dawn raids
    • Sectors: Energy; food; security and surveillances services

2021

  • Two dawn raids
    • Sectors: Plastic and metal recycling; database marketing
       


Sweden

2023

2022

2021

  • Four dawn raids
    • Sectors: Waste management and treatment; plumbing products and installations; bread; PCR tests
       


Switzerland

2025

2024

  • One dawn raid
    • Sector: Civil engineering and construction

2023

  •  Four dawn raids
    • Sector: Fragrances; printer accessories and office equipment; civil engineering and construction; steel products

2022

  • Two dawn raids
    • Sectors: Dermatological medication; road maintenance

2021

  • Two dawn raids
    • Sectors: Transport of waste collection and waste disposal; unknown
       


United Kingdom

2023

2022

  • Three dawn raids
    • Sector: End-of-life vehicle manufacturing; immigration facilities; sports TV broadcasting 

2021

EU

2025

  • One dawn raid
    • Sector: Non-alcoholic drinks 

2024

  • Four dawn raids; one FSR dawn raid
    • Sector: Tyre manufacturers; consultancy for tyre manufacturers; security equipment; financial derivatives; data contruction centre

2023

  • Seven dawn raids
    • Sectors: Energy drinks; fragrances; fashion; synthetic turf manufacturing; medical devices for cardio-vascular applications; Chemical additives for cement and chemical admixtures for concrete and mortar; online ordering and delivery of food, groceries and other consumer goods

2022

  • Four dawn raids
    • Sectors: Fashion; online food delivery; water infrastructure; ELV vehicles

2021

  • Four dawn raids
    • Sectors: Defence; animal health; wood pulp; manufacturing and distribution of garments

Back to Map

 

A look at the statistics

The information below has been sourced from LexisPSL, and is based on dawn raids that have been publicly announced by competition authorities. The LexisPSL information was supplemented from selected public sources in jurisdictions where further information was available. Since not all competition authorities announce every dawn raid, the data below likely underestimate the number of raids. The sector charts reflect dawn raids in which the sectors were identified by the competent authorities. In some jurisdictions (e.g., Germany or Czech Republic), the authority publishes the number of raids without identifying the sector. As a result, the statistics in the charts below may underestimate the actual number of dawn raids by sector and country. The statistics displayed for the Czech Republic are available only as of 2021.

 

White & Case means the international legal practice comprising White & Case LLP, a New York State registered limited liability partnership, White & Case LLP, a limited liability partnership incorporated under English law and all other affiliated partnerships, companies and entities.

This article is prepared for the general information of interested persons. It is not, and does not attempt to be, comprehensive in nature. Due to the general nature of its content, it should not be regarded as legal advice.

Continue Reading