Category: Uncategorized

Internal Controls and Foreign Subsidiaries — How to Protect Your Company

Internal Controls and Foreign Subsidiaries — How to Protect Your Company

Under the FCPA, public companies are required to maintain accurate books and records and an effective system of internal controls.   Enforcement and compliance efforts focus more on anti-bribery issues than books and records and internal controls.  If bribery occurs, a books and records violation will occur.  Books and records enforcement is always in hindsight and pegged to bribery conduct. The FCPA requires every issuer to...

Focused Risk Assessments

Focused Risk Assessments

The most common refrain in compliance parlance  is “tone-at-the-top.”  It may be overused.  Where the rubber meets the road for every compliance program is in the risk assessment.  Howard Sklar had a recent post on the subject emphasizing the importance of a continuous risk assessment.    He was right on point.  Building an effective risk assessment model and continuous review process is essential to overall compliance...

Avoiding Stovepipes and Embracing Efficiencies

Avoiding Stovepipes and Embracing Efficiencies

The hot selling topic these days is anti-corruption compliance.  All the usual buzzwords are floated around with anti-corruption compliance – risk assessments, financial controls, corporate integrity, training and communication and tone-at-the top.  The compliance community, however, is not doing its job.  They are focusing on too narrow a topic.  Compliance can and should address all the risks facing an organization.  As a starting point, the...

Global Retailers and Corruption Risks

Global Retailers and Corruption Risks

Let’s be honest.  Was anyone really surprised by the recent focus on anti-corruption compliance for global retail operations?  A number of us in the FCPA cottage industry have been commenting on the risks.  It does not take a rocket scientist to figure out why and how this came about.  The risks are very clear and one-by-one we will be hearing from the major global retailers...

"Materiality" and FCPA Disclosures

"Materiality" and FCPA Disclosures

When does a public company have to disclose a government investigation or inquiry of a potential FCPA violation? Like many other FCPA issues – there is no clear cut answer. We are back to Justice Potter Stewart’s solution – “I know it when I see it.” It seems that some companies have blinders on when it comes to resolving this issue. From what I can tell,...

The Top 10 FCPA Events In 2011

The Top 10 FCPA Events In 2011

Just to join the bandwagon of end of the year retrospectives, I thought I would put together a top-10 list for FCPA events.  Many have called 2011 the year of the trial.  I am not sure that captures it all so accurately.  I think it is too narrow a perspective — how about  “The Year of Global Anti-Corruption Enforcement.”   In any event, whatever you may think,...

The SEC's Important Enforcement Role

The SEC's Important Enforcement Role

Forgive me for chastising a government agency, but I find it ironic that articles have been coming out lately on the ten year “anniversary” of the fall of Enron.  To me, what is more ironic is that in the last few years the SEC has failed to bring any major — headline worthy –accounting fraud cases.  Maybe I am missing something but there is no doubt...

Sovereign Wealth Funds and the FCPA – Are They Really “Foreign Officials?”

Sovereign Wealth Funds and the FCPA – Are They Really “Foreign Officials?”

In the beginning of the year, the SEC sent shockwaves through the financial community when it launched its inquiry into the relationship between financial institutions and sovereign wealth funds.  The SEC issued letters to various companies requesting information about these interactions and anti-corruption compliance. The SEC warned the financial community in 2008 about this inquiry.  SEC officials made various public statements concerning the need for financial...

The World Bank’s Anti-Corruption Initiatives

The World Bank’s Anti-Corruption Initiatives

 The World Bank has become an international leader in the battle against corruption.  As the leading multilateral development financier in the world, the World Bank has established itself as a major force in the battle against corruption.  Its influence is bound to grow with time, and the leadership and staff are extremely committed to making a mark in this area. The World Bank has launched...

The Justice Department and FCPA Enforcement — Ending the Year with a Bang

The Justice Department and FCPA Enforcement — Ending the Year with a Bang

The Justice Department is making sure that 2012 will be a very interesting year in FCPA enforcement.  Two new and significant trends, which the Justice Department telegraphed, are now a reality. First, and most significantly, the Justice Department is moving its FCPA enforcement program more and more toward the Antitrust Division’s model.  What do I mean?  In the antitrust context, the Justice Department frequently secures...