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Pow! Whack! Slam! Bam! – DOJ Finishes the FCPA Year with a Bang

Giving away my old age, we all loved the 1960s Batman series starring Adam West. Thanks to the Batman show we were given a long list of words to underscore Batman and Robin’s slugfests with the weekly villain (e.g. Penguin, The Riddler and the Joker). See the list of exclamations here. The Justice Department finished the FCPA year 2014 in grand style, resolving two major...

The OECD Report: Shedding Light on Foreign Bribery

The OECD has been at the forefront of the global battle against corruption. Its recent report, Foreign Bribery Report (available here) the OECD provided important insights into the occurrence of foreign bribery. The report highlighted many important issues, some of which I address below, but make no mistake the global effort at anti-corruption enforcement is entrenched and growing. It is trite to say that global...

The “New Reality” for Corporate Boards

I have very little patience for a corporate board that fails to do its job. A board usually consists of talented, successful and experienced professionals. They have seen good and bad business practices in their days. Board members are paid well and are not forced to agree to serve. I know this is another in my list of profound grasps of the obvious but it...

Avenues for Reporting Employee Concerns

We all like to make things more complex or difficult than they need to be.   Consider that a life lesson that we can share with our children, assuming they are even listening to us these days. Compliance is a field that is easy to make overly-complex. The trick is to be effective and to keep it simple. I hear a frequent debate on whether a...

Gifts, Meals and Then . . . FCPA Enforcement

Life can be very humbling. The SEC has definitely humbled me. For years now, I have been claiming that companies spend too much time worrying about gifts, meals and entertainment expenses under the FCPA, rather than focusing on larger risks like multi-million dollar contracts with foreign governments. I have repeated this advice on numerous occasions. Now, I have to eat some humble pie. The SEC...

Adding Cyber Security to Corporate Risk Management

Corporate boards and senior management like to focus on business. They love the numbers, the strategy and the success of a business operation. They have a passion for it and that is why they are sitting on board or managing a global company. They do not like to talk as much about risks, much less plan for them. When it comes to information governance and...

Two Webinars: Year in Review — FCPA Enforcement and AML/Sanctions Enforcement

Webinar: Tuesday, January 6, 2015, 12 Noon EST FCPA Enforcement Year in Review  Sign Up Here Webinar: Tuesday, January 13, 2015, 12 Noon EST AML/Sanctions Enforcement Year in Review Sign Up Here Federal prosecutors continued to aggressively enforce FCPA and AML/Sanctions in 2014.   While FCPA enforcement did not resolve some of the more significant ongoing investigations (e.g. Alstom, Wal-Mart), DOJ and the SEC continued...

Seven Key Actions to Accelerate Your Ethics and Compliance Program

We always hear (and talk about) the rise in the compliance profession. Yes, there is increased demand for CCOs and compliance officers. More lawyers are transitioning into the compliance profession. Out in the real world, however, there are CCOs who are under the gun – they are being asked to do the impossible. CCOs are being hired and asked to take over a non-existent or...

Focusing on the Disconnect: Mid-Level Managers and Handling of Employee Concerns

We all have heard the problem: Employees want to report their concerns directly to their immediate supervisors (unless the problem relates to the immediate supervisor); Mid-level managers complain that they do not know how to handle employee concerns. Thus, we have reached the fundamental disconnect in the corporate gestalt. Chief Compliance Officers need to focus on this disconnect. How do they do so? First, they...