Article

DOJ’s FCPA Corporate Enforcement Policy: What’s New and What’s Not (Part One of Two)

The Anti-Corruption Report
Vol. 7, No. 1

10 Jan 2018

Many of the elements of the DOJ’s FCPA Pilot Program have now been codified in the U.S. Attorney’s Manual, Deputy Attorney General Rod Rosenstein said during a speech at ACI’s 34th Annual International Conference on the Foreign Corrupt Practices Act. However, the new DOJ FCPA Corporate Enforcement Policy also includes some significant changes and enhancements to the Pilot Program. The Anti-Corruption Report spoke with various FCPA counsel to take a close look at what has changed, what has not and what companies should expect from DOJ enforcement going forward in this two-part article series.

Read the full article (subscription required).

Close

Feedback

Disclaimer

Unsolicited e-mails and information sent to Morrison & Foerster will not be considered confidential, may be disclosed to others pursuant to our Privacy Policy, may not receive a response, and do not create an attorney-client relationship with Morrison & Foerster. If you are not already a client of Morrison & Foerster, do not include any confidential information in this message. Also, please note that our attorneys do not seek to practice law in any jurisdiction in which they are not properly authorized to do so.