Introduction
The Competition and Markets Authority (CMA) issued in September 2023 an initial report on AI foundation Models (“the report”)[1]. It studies potential positive and negative outcomes on competition and consumer protection arising from AI foundation models (“FMs”), namely machine learning models that derive output, such as text, from vast amounts of input data. The report proposes principles to ensure FMs deliver positive outcomes. The CMA now seeks comments on the report and principles in the context of a collaborative approach with relevant stakeholders for a final report in March 2024.
We provide comments based on our publications on FMs, including Antitrust Issues Raised by Answer Engines[2], Competition in Generative AI FMs[3], and the Competitive Relationship between Cloud Computing and Generative AI[4]. We limit our comments to high-level competition aspects. We focus on the approach and the principles and propose policy recommendations. Finally, we look forward to working with the CMA and relevant stakeholders to provide market studies and policy recommendations in the context of our GenAI and competition policy Hub[5].
The Approach
The CMA proactively published the report in the year FMs entered the public domain with the release of the Open AI-owned chatbot, ChatGPT, in November 2022. This forward-looking approach is particularly pertinent considering that FM is an emerging technology with a potentially disruptive impact on the economy[6] and labour markets[7]. In this context, a study of how competition in FMs works is primordial to ensure that FMs responsibly deliver their full benefits thanks to healthy competition and innovation.
Furthermore, the outcome-based assessment is appropriate considering rapid market developments due to the frequent release and announcement of new products and services at all levels of the value chain. These include computing resources with new graphic cards and cloud computing offerings[8]; data with agreements with data holders[9]; FMs with new Large Language Models (LLMs) and On-device Models[10]; and AI-powered solutions via new stores and software[11]. In this context, a study can only predict the evolution of the market with potential negative and positive outcomes in which market shares and trends might turn out to be quickly ephemeral.
Finally, the report also rightly highlights international regulatory initiatives. The regulatory landscape is also evolving rapidly due to the frequent release of legislative initiatives to regulate AI, including in the United States[12], G7 countries[13], and Europe[14]. Besides, Several competition authorities, including Portugal[15] and those of the G7, also closely monitor FM developments[16]. In this context, a study must consider international initiatives as they will impact FM developments at the local level due to the borderless nature of the technology and potential economies of scale in regulatory compliance.
The Principles
The CMA proposes principles to ensure FM developments deliver positive competition and consumer protection outcomes. The overarching principles are accountability, access, diversity, choice, flexibility, fair dealing, and transparency. For each overarching principle, the CMA also describe underpinning principles.
The principle-based approach is adequate in fast-moving markets as principles provide soft guidance to economic actors in how they should develop their products and services without mandating or prohibiting a particular behaviour. Principles also offer predictability in the competition authority’s view about potentially unproblematic business practices. In other words, principles offer flexibility and legal certainty in product development.
The proposed overarching principles are already outlined in several expert reports aiming to foster competition in digital markets[17]. They also underpin digital competition regulations, including the EU Digital Markets Act (DMA) and the forthcoming UK Digital Markets, Competition and Consumers (DMCC) Bill.
The underpinning principles only specify the meaning of each overarching principle. However, they do not provide actionable measures on how to achieve them.
Policy Recommendations
The approach and principles are appropriate to ensure that FMs deliver their full benefits to the economy and consumers. Based on our above observations, we propose the following policy recommendations.
First, the CMA should thoroughly study key elements of the value chain to identify and remedy potential competition concerns. For instance, the graphic card market, in which a dominant provider of IT equipment is currently under antitrust investigations in France, Europe, the US and China[18], is primordial for the provision of FMs. Problematic business practices in this sector might negatively impact FM developments. The relationship between cloud computing resources and FMs also deserves scrutiny, as most FM developers rely on cloud computing to develop and deploy their FMs. The CMA should investigate this relationship in the context of its ongoing market investigation in the cloud sector[19].
Second, the CMA should work with its international counterparts examining FMs to ensure international coherence and experience-sharing. In particular, it will be appropriate to avoid the production of similar studies while considering jurisdictional differences when relevant to ensure an efficient allocation of resources and time by public authorities and stakeholders[20]. In this context, the CMA should closely work with the European Commission to consider market and regulatory developments arising from the implementation of the DMA, the Data Act, and the AI Act. The CMA should also propose to lead a working group on FMs to G7 competition authorities as they are closing monitoring FMs.
Finally, the CMA should propose actionable measures on how to achieve the principles. The CMA should develop them based on evidence from appropriate legislation, case laws, and literature[21]. When appropriate, the CMA should design them in cooperation with relevant stakeholders and authorities, particularly when they involve technical issues, such as interoperability between FMs, and legal issues, such as privacy for accessing personal data.
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