In respect of the TFTC’s decision determining that a foreign company’s engagement in bid-rigging in the ODD procurement events held by Dell and HP constituted cartel activities, the Supreme Court upheld the lower court’s judgment which vacated the TFTC’s decion on April 30, 2015, for the reason that the then 3-year statute of limitations (applicable prior to the amendment of the TFTA) should be deemed to begin at the time when the alleged activities ended, and that such period in the instant case had already expired at the time the TFTC made its decision.