Featured Articles:

DSP Compliance: DOJ Sets July 8, 2025 Deadline (Part III of III)

As if legal and compliance professionals had enough responsibilities on their plates, DOJ dropped another shoe (to join the tariffs, sanctions and export controls, and immigration issues) and upped the stakes for ethics and compliance programs. DOJ dropped a comprehensive set of new regulations governing data security and gave companies a 90-day head start — once we get to July 8, 2025, DOJ warned that...

Practical Issues and the New DSP (Part II of III)

Like any new regulatory and enforcement scheme, companies face a number of new  risks that require understanding.  The DSP framework is new, comprehensive and raises significant risks and requires careful design and implementation of effective compliance strategies.  Companies will face different risk levels based on their handling of data, specific market practices and security measures. In this post, I will explore some of the interesting...

Webinar: Navigating Current Trade Compliance Trends

May 20, 2025 12 Noon EST SIGN UP HERE Enforcement risks and compliance are evolving. The Justice Department, DHS-Customs and Border Patrol, the Bureau of Industry and Security, and OFAC are focusing on a range of issues: tariff compliance, imports, sanctions and export controls, with a new emphasis on aggressive regulatory fines and criminal prosecutions. Companies face a fresh set of tariff and import risks,...

Episode 365 — Four Sanctions Cases Everyone Should Know

How prepared is your organization to handle the evolving landscape of sanctions compliance? In this episode of Corruption, Crime and Compliance, Michael Volkov dives into critical sanctions compliance cases and their implications for global companies. He discusses four significant cases that underscore the necessity of robust compliance programs, particularly in light of increased DOJ enforcement actions. Through these examples, he breaks down the consequences of...

DOJ Issues Data Security Program Requirements (Part I of III)

Many “good government” initiatives continue to be enacted or implemented on Capitol Hill or in the Executive Branch — notwithstanding changes in political control.  While working on Capitol Hill, the bulk of the legislative and oversight work was bipartisan in that both parties were committed to sensible initiatives needed to be keeping the government operational and effective.  Of course, there were partisan issues but at...

Keeping Track of the Trump Administration Tariffs

To keep track of the Trump Administration tariff plans and actions requires vigilance.  The difficulty in monitoring daily tariff actions and the impact is a challenge to all trade compliance officers.  Here is the best list that we have been tracking since the Trump Administration started to implement tariffs across a wide range of countries and industries. On April 5, 2025, the Trump Administration implemented...

DOJ Adopts Aggressive Stance Against Algorithmic Coordination in Multiplan Antitrust Filing

Recently, the Antitrust Division of the United States Department of Justice submitted a Statement of Interest in In re: Multiplan Health Insurance Provider Litigation, a class action presently pending before the United States District Court for the Northern District of Illinois, to clarify the legal framework governing the use of common pricing algorithms as a potential basis for liability under Section 1 of the Sherman...

Episode 364 — Five Strategies to Mitigate a New Risk Environment

What do you do when the headlines shift faster than your risk matrix can keep up? In this episode, Michael Volkov dives into the challenge of adapting compliance programs in the face of volatile and fast-changing global risks—from tariffs and trade controls to supply chain disruptions and third-party exposures. While the pressure to react is constant, the real key is staying anchored in your company’s...

Five Strategies to Mitigate a New Risk Environment

Legal and compliance officers are used to adjustments and continuous improvement of their compliance programs.  Building and maintaining an effective ethics and compliance program never ends — it is a continuous process. To this end, in the environment of rapid change, compliance officers know how to remain steady and focus on emerging risks.  The strategies are often similar but the substance differs when new threats...

Keeping Compliance Steady During a Time of Change

For compliance officers, this is a stressful time.  How is that for another profound grasp of the obvious?  Most compliance officers face a well-known assortment of risks — bribery, trade, False Claims Act, data privacy, cybersecurity and conflicts of interest.  Risks would move up or down depending on trends or specific industry operations.  Further, with rapid technological change, new risks emerged such as artificial intelligence...