Category: Uncategorized

Chinese Companies and Accounting Fraud: Lawsuits on the Rise

Chinese Companies and Accounting Fraud: Lawsuits on the Rise

The number of securities class action lawsuits against Chinese companies is increasing. The reason – serious allegation of accounting fraud. In early April 2011, four major lawsuits were filed against China Electric Motor, Inc.; Advanced Battery Technologies, Inc., China Intelligent Lighting and Electronics, Inc.; and China Century Dragon Media. The allegations against these companies relate to accounting misstatements and misrepresentations, failure to report and disclose...

Chinese Companies and Accounting Fraud: Lawsuits on the Rise

Chinese Companies and Accounting Fraud: Lawsuits on the Rise

The number of securities class action lawsuits against Chinese companies is increasing. The reason – serious allegation of accounting fraud. In early April 2011, four major lawsuits were filed against China Electric Motor, Inc.; Advanced Battery Technologies, Inc., China Intelligent Lighting and Electronics, Inc.; and China Century Dragon Media. The allegations against these companies relate to accounting misstatements and misrepresentations, failure to report and disclose...

Cha-Ching: DOJ Goes After Online Poker

Cha-Ching: DOJ Goes After Online Poker

The Department of Justice (DOJ) has ramped up its battle against online poker sites. Some cynical commentators have cited one reason for DOJ’s aggressive stance – money! Let’s look at the facts – last year, the Department collected over $1 billion in fines and disgorgement from just its top-8 FCPA settlements. In its case against PokerStars, Full Tilt Poker and Absolute Poker, DOJ seized 75...

Looking for Scalps: DOJ Seeks to Punish Bank Executives for Financial Crisis

Looking for Scalps: DOJ Seeks to Punish Bank Executives for Financial Crisis

In the aftermath of the financial crisis, and the growing number of bank failures — approximately 350 during the last 3 years — there has been an outcry from the public, politicians, regulators and law enforcement calling for criminal prosecution of executives from these failed banks.  They cite the aggressive criminal prosecution of executives (approximately 1800 criminal cases) from the failed savings and loan crisis...

“You Cannot Be Serious!!!!” — John McEnroe

“You Cannot Be Serious!!!!” — John McEnroe

FCPA practitioners assume that businesses are familiar with the risks of foreign bribery violations and are focused on compliance programs and practices.  That assumption may be just that — an assumption. Would it surprise you to learn that many businesses around the globe are aware of foreign bribery incidents, are aware that prosecutors are aggressively enforcing anti-bribery laws, and readily admit that their company does not have a specific procedure...

China Enacts New Law to Criminalize Bribery of Foreign Officials

China Enacts New Law to Criminalize Bribery of Foreign Officials

On 25 February 2011, the Republic of China adopted tan amendment to its criminal laws to criminalize the bribery of officials of foreign governments or international public organisations in order to gain a commercial benefit. How and to what extent the new law will be enforced is not yet clear.  Foreign companies which have invested in, or operate joint ventures with, Chines enterprises should review the amendment,...

DOJ Sends a Message to Chief Compliance Officers

DOJ Sends a Message to Chief Compliance Officers

In its recent settlement with Johnson & Johnson, the Justice Department sent an important message to the compliance community by outlining “enhanced” compliance requirements.  This was the first time that the Justice Department identified compliance program elements beyond “minimum” requirements. What is DOJ’s purpose in outlining these “enhanced” requirements?  Should companies implement these elements as part of an overall compliance program?  It depends.  DOJ is not suggesting that these requirements are...

Compliance: The Final Frontier . . . Or Just the Beginning?

Compliance: The Final Frontier . . . Or Just the Beginning?

Nowhere am I so desperately needed as among a shipload of illogical humans.  –Spock in ‘I, Mudd’ If we look into the compliance program crystal ball, what will the future show?  A “shipload of illogical [compliance] humans” or something completely different? If we take a step back and look at the compliance landscape, we can draw a picture of what the future will look like.  Right...

Compliance: The Final Frontier . . . Or Just the Beginning?

Compliance: The Final Frontier . . . Or Just the Beginning?

Nowhere am I so desperately needed as among a shipload of illogical humans.  –Spock in ‘I, Mudd’ If we look into the compliance program crystal ball, what will the future show?  A “shipload of illogical [compliance] humans” or something completely different? If we take a step back and look at the compliance landscape, we can draw a picture of what the future will look like.  Right...

Reality Bites: The New Risky Enforcement Environment

Reality Bites: The New Risky Enforcement Environment

It is easy to forget that businesses need to focus on a number of significant risks. Anti-corruption is one of many threats to global companies. The tone-from-the-top message has to cut across all of these risk. The reason for this change is the financial crisis. In response, government activism and enforcement powers have been expanded in a dramatic way. More than ever, compliance must be...