Featured Articles:

Happy Talk and the Compliance Gap – Paper v. Reality

There is nothing more infuriating in the ethics and compliance world than a Chief Compliance Officer who relies on Happy Talk reports to senior managers and the Board. The CCO who engages in Happy Talk does a disservice to the profession and to themselves. So why are companies still not embedding real ethics and compliance programs? Too many are relying on paper programs that look...

C-Suite Risks and Compliance

A nickel ain’t worth a dime anymore. – Yogi Berra With all the hubbub about ethics and compliance, senior managers somehow are able to escape any focus or responsibility for compliance programs except in a managerial context. Senior managers need to be held accountable for their own personal ethics and compliance performance as senior executives with significant responsibilities. The GM debacle is a perfect example...

Due Diligence and The Holy Grail — Red Flags

Compliance professionals love to bandy about the term “red flag.” It is a term with infinite meanings depending on the context. A red flag in a money-laundering context is different than a red flag in a corruption context. I like to say – not all red flags are created equal. Some red flags are more red than others – or in extreme cases, I use...

Volkov Law Group Offers In-House Compliance Training

Live and Remote In-House Training Programs The Volkov Law Group offers a wide selection of in-house training services for companies. Our training programs are flexibly designed to address a variety of issues and can be customized to address the specific risks facing your company. Past programs include: Code of Conduct Anti-Corruption Anti-Money Laundering Third-Party Due Diligence Merger and Acquisition Due Diligence Export Control and Sanctions...

Webinar: Anti-Corruption Compliance in High-Risk Markets

December 2, 2014 12 Noon EST – 1 PM EST SIGN UP HERE A number of high-risk markets — Brazil, Russia, India and China — offer significant business opportunities while creating real compliance challenges. In response to business demands to enter these lucrative markets, Chief Compliance Officers are required to develop effective compliance strategies to detect and prevent Code of Conduct and legal violations in...

Corporations Need to Say the Words – “Let’s Go to Trial”

Companies are reluctant to go to trial in a criminal case.  Instead, they look for alternatives short of a criminal guilty plea and DOJ has a suitcase full of options that they use. Please do not misunderstand my point – DOJ prosecutors are doing their job and they apply the law fairly. There is room for disagreement on their interpretations and application of the law...

Welcome to the New Corruption, Crime and Compliance

Welcome!!  I hope you like the new Corruption, Crime and Compliance website.  I know how important it is to stay fresh on the Internet, and my hope was to provide an updated look, with some new features. One thing you will notice (hopefully) is that we have added access to all of our  recorded webinars.  We will maintain our You Tube channel but we wanted...

Criminal Global Cartel Focus on Generic Pharmaceuticals

The Antitrust Division is nearing the end of its largest, record-setting criminal cartel investigation – global auto parts suppliers. It has been a sprawling investigation that has leaped from product-to-product in the auto parts industry. Nearly thirty companies have plead guilty (or agreed to do so) and over $2.3 billion in fines have been collected. Nearly forty individual have been charged, most of which have...

New Attorneys Join The Volkov Law Group

I am excited to announce the addition of three new members of The Volkov Law Group. When I launched the firm, I was committed to providing high-quality ethics and compliance, and enforcement defense services. With the help of my existing members, Lauren Connell, Dave Lusby, Evan Lee and Jon Umarov, we have been fortunate to grow and develop our services and capabilities. I am proud...

Happy Birthday FCPA Guidance

The FCPA Guidance turned two years old recently – November 14 to be exact. No one wrote about the milestone, nor has anyone praised the FCPA Guidance. To be the contrarian, I am writing to wish the FCPA Guidance a very happy birthday and to sing its praises. In honor of the FCPA Guidance’s birthday, I recently conducted a webinar on the FCPA Guidance.  The...