Category: Uncategorized

Coordinating Anti-Corruption Enforcement in China

Coordinating Anti-Corruption Enforcement in China

Companies who have expanded into China need to be careful.  Call this a profound grasp of the obvious, but the risk of corruption enforcement in China is rapidly increasing, and in the near future could become even more aggressive. The United States and the Chinese governments are working closely together to coordinate anti-bribery enforcement.  The implications of this are far-reaching.  US Representatives from the State, Commerce and...

The Link Between Corruption and Human Rights

The Link Between Corruption and Human Rights

The link between corruption and human rights is growing stronger.  International organizations have been arguing for years that the causal connections between corruption and human rights abuses are clear. In developing nations and in particular failed states, corruption undermines human rights.  Some argue that the focus of anti-corruption efforts is to ensure that developing countries do not welcome terrorist organizations.  Both positions are correct —...

What To Do When the Government Shows Up at Your Company?

What To Do When the Government Shows Up at Your Company?

The government loves to visit subjects and targets of its investigations.  Why?  They get access to individuals and information without counsel’s presence and the ability to ask questions and learn new information. In today’s environment, every company should be prepared.  Every possible occurrence should be anticipated.  The government may approach executives and officers at their home for a 730 am chat, may serve a grand...

FCPA Risks and the Middle East

FCPA Risks and the Middle East

The dangers of corruption extend into countries in the Middle East. Everyone likes to talk about Brazil, Russia, India and China, but the Middle east raises real corruption risks, and that risk is growing every day. Everyone likes to think that the events of the Spring with increased desires for democracy would reduce the risk of corruption but there is no evidence that has occurred....

Howard Sklar's Convergence: Export Controls and the FCPA

Howard Sklar's Convergence: Export Controls and the FCPA

Howard Sklar Last year, the U.S. government imposed record penalties of nearly $2 billion in the FCPA and $1 billion in various penalties for U.S. sanctions and export controls. In some cases, these violations “converged” – meaning they arose from similar deficiencies in a company’s compliance program. For those companies that engage in international business, they need to focus on the FCPA’s prohibitions on the...

The Critical Compliance Gatekeeper — The Internal Auditor

The Critical Compliance Gatekeeper — The Internal Auditor

It is unfortunate but true – compliance actors in a company can sometimes engage in internal turf battles which undermine overall compliance efforts. Every organization suffers from internal inefficiencies caused by personalities, protecting spheres of influence and sometimes, even organizational insecurities. Without trying to insult general counsels and even compliance officers, the internal auditor in a company is uniquely positioned to identify corruption risks. All...

Congress and Corruption: Practicing What They Preach?

Congress and Corruption: Practicing What They Preach?

In the aftermath of the debt ceiling fiasco, Congress’ reputation took another blow in the court of public opinion. Even before the debt ceiling brinkmanship, Congress’ record on ethics was getting trampled through the mud yet again. Washington is a city filled with double standards and perhaps there is no better one when you compare the new and aggressive enforcement policies which have been launched...

When Does the SEC Act and the Justice Department Decline to Act?

When Does the SEC Act and the Justice Department Decline to Act?

With the recent Diaego settlement of FCPA charges, the question arises – when does the SEC act while the Justice Department declines to act? More accurately, when does the SEC see an FCPA violation which the Justice Department does not see? The easiest answer to the questions is burden of proof: The SEC has civil responsibility, meaning a preponderance of evidence; and the Justice Department...

Corporate Boards and Risk Management

Corporate Boards and Risk Management

We always hear about the Corporate Compliance Officer, the Audit Committee or the Compliance Committee, if a company has created one, and how they are all supposed to act.  But let’s look at the most important actor of them all — the Corporate Board.  Of course, there are numerous corporate committees which have important responsibilities, but in the end, when the rubber meets the road,...

How Far Should AML Laws Go?

How Far Should AML Laws Go?

For “financial institutions” (banks, mutual funds and broker-dealers), AML compliance requirements are established by statutes and regulations implemented by the Department of Treasury.  These entities are required to adopt a written AML program that includes policies and procedures reasonably designed to detect and cause the reporting of suspicious transactions, designation of an AML compliance officer, regular and independent auditing/testing of the AML program; and a...