23 rd Annual ACFE Fraud Conference and Exhibition 4F: Compliance Challenges with Dodd-Frank Section 922. Orlando, FL June 17 22, 2012

Size: px
Start display at page:

Download "23 rd Annual ACFE Fraud Conference and Exhibition 4F: Compliance Challenges with Dodd-Frank Section 922. Orlando, FL June 17 22, 2012"

Transcription

1 23 rd Annual ACFE Fraud Conference and Exhibition 4F: Compliance Challenges with Dodd-Frank Section 922 Orlando, FL June 17 22, 2012 Presentation by Shruti Shah Senior Policy Director, Transparency International USA

2 Today s Discussion Dodd-Frank Act Section 922 of the Dodd-Frank Act: The Whistleblower Incentive Provision FCPA Implications How to Encourage Internal Reporting Implications for Corporate Compliance Programs

3 Transparency International USA: Who Are We? Most known for our Corruption Perception Index We work with: The government and businesses to strengthen anti-corruption laws and ensure enforcement Development agencies to ensure program integrity and encourage broader country reforms The private sector to strengthen standards and practice through tools, benchmarking, and advocacy

4 Key Points of the Dodd-Frank Act 2008 recession Dodd-Frank Wall Street Reform and Consumer Protection Act (Dodd-Frank) passed into law in July 2010 Most significant changes in financial reform since the Great Depression Requirements for companies in the oil and gas sector to report payments to governments Disclosure and due diligence requirements for companies that use conflict minerals

5 Section 922: The Whistleblower Provision Incentives for whistleblowers Individuals who provide original information to the SEC might be eligible for an award Awards are possible if enforcement actions lead to monetary sanctions over $1 million Awards may be percent of the total monetary sanctions

6 SEC Proposed Rules SEC proposed rules for the implementation of the whistleblower provision in November 2010 and opened a comment period. Reported more than 240 comment letters and about 1300 form letters during the review period. Most corporate concerns: Incentives will undermine internal reporting. Suggestion: The SEC should require whistleblowers to report violations internally to receive the award.

7 SEC Final Rules SEC final rules were approved in May 2011 and went into effect in August Whistleblowers are not required to report violations internally, though final rules attempt to incentivize internal reporting. If whistleblowers report internally and the company reports to the SEC, the individual might still be eligible for an award. Whistleblowers have 120 days after they report internally to report to the SEC and still be treated as having reported earlier. Reporting internally might increase the award.

8 FCPA Overview Enacted in 1977 as a result of voluntary disclosure by over 400 U.S. companies that they had made questionable payments to foreign officials FCPA has three basic provisions: 1. Anti-bribery provision It is a crime for any U.S. person or company to directly or indirectly pay or promise anything of value to any foreign official to obtain or retain any improper advantage.

9 2. Accounting requirement FCPA Overview Make and keep books, records, and accounts, which in reasonable detail, accurately reflect the transactions and dispositions of assets. Reasonable Such level of detail that would satisfy prudent officials in the conduct of their affairs. (No financial materiality test.) 3. Internal controls Devise and maintain a system of internal accounting controls sufficient to provide reasonable assurance that transactions are recorded appropriately and in accordance with rules and regulations.

10 Top Ten FCPA Settlements of All-Time 1 1. Siemens (Germany, 2008): $800 million 2. KBR/Halliburton (USA, 2009): $579 million 3. BAE (UK, 2010): $400 million 4. Snamprogetti Netherlands B.V./ENI S.p.A (Holland/Italy, 2010): $365 million 5. Technip S.A. (France, 2010): $338 million 6. JGC Corporation (Japan, 2011): $218.8 million 7. Daimler AG (Germany, 2010): $185 million 8. Alcatel-Lucent (France, 2010): $137 million 9. Magyar Telekom/Deutsche Telekom (Hungary/Germany, 2011): $95 million 10. Panalpina (Switzerland, 2010): $81.8 million Enforcement Index, FCPA Blog,

11 Foreign Corrupt Practices Act (FCPA) Implications Companies paid $508.6 million in penalties for FCPA-related charges in Siemens AG paid $800 million in KBR/Halliburton paid $579 million in percent of these sanctions would be significant Enforcement Index, FCPA Blog,

12 Enforcement Against Individuals FCPA enforcement actions against individuals have increased. Joel Esquenazi, former president of Terra Telecommunications Corp., was sentenced to 15 years in prison in October 2011, the longest prison sentence ever for FCPA violations. Jeffrey Tesler, the UK agent who allegedly paid bribes in the TSKJ case, forfeited $149 million in 2011 as part of his plea deal. In 2009, SEC settled enforcement cases against the CEO and CFO of Nature Sunshine on the failure to supervise theory in their capacity as control persons.

13 SEC Report to Congress The SEC submitted its first report on the Whistleblower Program in Nov (See handout.) Report covers period from Aug. 12 Sept. 30, tips related to FCPA 32 tips from foreign persons Sean McKessy, Chief of the Office of the Whistleblower, stated the quality of the tips has improved.

14 Reducing Penalties Companies are eligible for reduced penalties if they have a compliance program or if they self-report an FCPA violation, according to U.S. Sentencing Guidelines. Morgan Stanley and Garth Peterson, 2012 In April 2012, though the DOJ and SEC charged an individual, Peterson, with FCPA violations, they declined to prosecute or charge his employer, Morgan Stanley, given its strong compliance program. There is now a race to beat the whistleblower. Companies have started reviewing their compliance programs to encourage internal reporting.

15 How to Encourage Internal Reporting

16 Corporate Compliance Programs Elements recommended as part of a corporate compliance program: Company culture and tone at the top Clearly articulated anti-corruption policy Channels for reporting (hotline) and asking for guidance Risk assessment Communication and training Strong anti-corruption controls Due diligence procedures for mergers and acquisitions Monitoring of the program

17 Revisit Corporate Culture Company values should be emphasized and integrated in company decisions. Several FCPA settlements reference corporate cultures that tolerated or even rewarded bribery. Senior management should show strong commitment to corporate policy and support compliance efforts. The compliance function should be adequately and appropriately funded. SIEMENS: settled in 2008; penalties: $800 million SEC complaint: Tone at the top created a corporate culture in which bribery was tolerated and even rewarded at the highest levels of the company.

18 Revisit Corporate Culture Tone at the middle is equally important: Management support must continue throughout the organization. Provide autonomy for executives responsible for compliance and direct reporting lines to independent monitoring. Ethics and compliance officers should work with other departments besides just legal (i.e., HR, corporate communications, environmental and social responsibility). Ensure employees feel the company values integrity.

19 Improve Channels for Reporting and Guidance Hotline should be available to all, in local languages if appropriate Multiple channels for reporting open to all, including business partners Anonymous reporting without fear of retribution and complaints dealt with in confidential, professional, timely manner Provide channels to receive guidance when faced with ethical dilemmas

20 Improve Communication about Reporting Communicate the existence of the hotline and give assurances of confidentiality and non-retaliation Provide descriptions and scenarios of when to use reporting channels Provide guidance to ensure complaints include necessary information Consider communication in smaller groups, such as through small town hall meetings Some companies have started posting 3 4 minute scenario-based video clips on Intranet sites.

21 Implications for Corporate Compliance Programs

22 Enhance Your Risk Assessment Risk assessment is the first step in developing an anti-corruption compliance program. Assessments should be tailored to the company. Risk assessments should be reviewed in a comprehensive and recurring manner, and should be re-reviewed when circumstances change. They should include input from various disciplines and levels of management.

23 Enhance Your Risk Assessment Anti-corruption risk assessments should be undertaken at the company and business unit levels. Risk assessments should focus on: Nature of the business Countries of operation Interaction with government officials and stateowned enterprises (SOEs) Use of agents and intermediaries Sales to the government or SOEs Companies should identify controls in place to address risk, identify the gaps in controls, and address them.

24 Company Level Risk Assessments What is the size of the company, its structure, and nature of its business? Is there a history of compliance issues? Does the company conduct business in higher risk areas? What is the nature of business in each location? Is the company business exposed to government officials? Does the company use sales agents? Does the company sell to the government or stateowned enterprises? What is the current company compliance structure?

25 Business Unit Risk Assessments What is the size, nature, and total sales of the business? Does the unit sell to the government or state-owned enterprises? Does the unit use sales agents, and what is the volume of sales through agents? Are there joint ventures present, and does the company have a majority or minority interest? What are the manufacturing locations and licenses/permits associated? What are points of interaction with the government? What control deficiencies have been identified in the past?

26 Implementing Anti-Corruption Controls Strong controls are a defense against corruption. Controls generally include approvals, authorizations, verifications, reconciliations, segregation of duties, etc. Increase financial controls in high-risk countries and for high-risk areas.

27 Common Ways of Paying Bribes Using cash/petty cash Gifts or expensive meals for govt. officials DIAGEO: settled 2007; penalties: $16 million Diageo settled with SEC for almost $2.4 million in gifts and bribes given to win business in South Korea, Thailand, and India. In Korea, it included $64,184 in rice cake payments (cash or gift certificates ranging between $100 and $300 per recipient). Paying bribes through agents/intermediaries

28 Common Ways of Paying Bribes Paying for expensive trips for govt. officials under the guise of training, visiting headquarters, or product demonstration LUCENT: settled 2007; penalties: $2.5 million The Disneyland case settled with the SEC and DOJ for travel and leisure trips for government officials. Giving money to charities whose boards include govt. officials SCHERING PLOUGH: settled 2004; penalties: $500,000 Settled with SEC for donations to charitable foundation run by government official to win business.

29 Implementing Controls Increase controls around bank accounts, petty cash, approvals, and payments to vendors, high-risk transactions. Petty cash in particular should have controls (i.e., additional documentation requirements and stringent review process for reimbursement). Additional controls should be in place where there is a custom of entertaining govt. officials.

30 Implementing Controls Controllers and accounts payable personnel should be trained to recognize false flags. Controls should be audited regularly for effectiveness. Controls adequate for Sarbanes-Oxley purposes might not be adequate as corruption controls since there is no materiality requirement for improper payments. Small bribes can lead to books and records violations VERAZ NETWORKS: settled 2010; penalties: $300,000 Total bribes of $40,000 leading to much higher penalties. In addition, Veraz reported paying $2.5 million in investigation costs. SEC claimed Veraz failed to maintain proper internal controls.

31 Third-Party Due Diligence Every FCPA case in 2011 involved bribes paid through third parties. FCPA prohibits corrupt payments through intermediaries or third parties. ALCATEL: pleaded guilty 2010; penalties: $137 million Pleaded guilty to SEC and DOJ on charges of bribing officials through third parties in Costa Rica, Honduras, Malaysia, and Taiwan. The knowing standard for anti-bribery includes conscious disregard and deliberate ignorance. It is important to know your business partners and conduct thorough due diligence.

32 Third-Party Due Diligence Organizations are at risk of FCPA violations if it can be proven they had knowledge of the violation or did not implement a duediligence program for their business partners. Organizations may be entitled to credit under Federal Sentencing Guidelines if they have a due diligence program, even if a business partner paid a bribe.

33 Third-Party Due Diligence Third-party due diligence programs should be based on risk assessment. Companies should create risk profiles for their business partners, and this will guide the due diligence process.

34 Qualities to Review in Third-Party Business Partners Overall reputation, reputation with U.S. Embassy, and local reputation Ties to politically-exposed persons/state-owned enterprises Qualifications for performing the task and necessity of using a third party Compensation to the third party is commensurate with market rates Composition of their clientele and key relationships Existing adherence to an anti-corruption policy Cooperation in due diligence exercises

35 Red Flags in Third-Party Due Diligence Recommendations to use the third party by govt. officials Unusual payment patterns, particularly in offshore accounts History of violations or bribery by the third party Existence of legal cases involving the third party High commissions to agents in excess of market rates Lack of transparency in expenses and accounting

36 Third-Party Due Diligence Contracts with third parties should include audit rights. Third-party contracts should be centrally located and have appropriate warranties and representations. If companies take adequate steps and monitor third parties regularly, they will be able to uncover red flags sooner and take appropriate action.

37 Due Diligence for Mergers and Acquisitions U.S. acquirers may be liable for successor liability (i.e., for acquired company s pre-acquisition bribery if the conduct continues post-acquisition). HALLIBURTON/KBR: pleaded guilty 2009; penalties: $402 million for KBR + $177 million for both Charged separately by SEC and DOJ. Halliburton acquired KBR in 1998 and spun it off in 2006, but bribes continued post-acquisition. Part of the TSKJ settlements adding up to $1.65 billion in penalties. The acquirer also risks reputational damage. Problems should be addressed, indemnified, and self-reported if necessary.

38 Due Diligence for Mergers and Acquisitions Companies should perform robust pre-acquisition due diligence. Corruption charges can erode the value in an investment, resulting in overpayment. ELANDIA INTERNATIONAL INC.: subsidiary pleaded guilty 2009; penalties: $2 million Latin Node pleaded guilty to DOJ charges for bribes paid before acquisition by elandia. elandia estimates purchase price for Latin Node was approximately $20.6 million in excess of fair value. Latin Node investment written off in 2009.

39 Issues to Consider for Pre-Acquisition Due Diligence Are there company operations in countries or industries with high corruption risk? Does the target sell to a foreign government? Is the target company owned or controlled by the govt., by PEPs, or by their relatives? Does the target use foreign government-issued licenses or permits? Is there a history of bribes or violations? What is the state of the target company s anticorruption program, training, and controls? How does the target monitor its program?

40 Procedures for Pre-Acquisition Due Diligence Document reviews related to target s anticorruption compliance program Transaction testing of compliance-sensitive accounts and high-risk transactions Evaluating the target s management team for corruption risks Incorporating anti-corruption compliance provisions in agreements Plans for integrating the acquired company

41 Monitoring Your Program Monitoring is one of the necessary steps to ensure a compliance program is operating effectively. Compliance assessments can uncover new risks and contribute to ongoing risk assessment. Companies have started conducting specialized FCPA/anti-corruption compliance audits separately from the internal audits.

42 Monitoring Your Program Purpose of FCPA compliance assessments is to measure existence and effectiveness of policies, as well as employees understanding and management s communication. Assessments review previous compliance audits, analyze financial data, perform transaction testing, review sales contracts and agreements with third parties, and interview management and employees.

43 Process for Anti-Corruption Compliance Audit Risk Assessment Should be risk-based, with locations of highest risk being assessed first. Data Collection Gather information before visiting the location such as organizational charts, sales, etc. Interviews At the site, interview employees outside of accounting, legal, and compliance (e.g. sales, operations, treasury).

44 Process for Anti-Corruption Compliance Audit Controls Testing Test controls such as approvals and authorizations limits, whether the segregation of duties was followed, etc. Transaction Testing Test compliance sensitive accounts such as travel, gifts, petty cash expenses, etc. If a problem is identified, consider digging deeper.

45 Real-Time Monitoring Companies have moved toward real-time monitoring as means of monitoring compliance. Use of data analytics as a means to identify particular risk traits for high-risk locations or vendors. Analytics can be used to search risky payments for red flags using keywords, etc. Cost-intensive and requires qualified personnel to analyze the exceptions.

46 Conclusion Increase in FCPA enforcement creates need for reevaluation of anti-corruption compliance programs. Existing policies might not be enough. Whistleblower incentives encourage direct reporting to the govt. Companies must work to prevent bribery or minimize costs of violations. Companies should review and revise their programs.

47 Thank You Shruti Shah Policy Director Transparency International USA

Anti-Corruption: An Overview for I.R. Professionals

Anti-Corruption: An Overview for I.R. Professionals Anti-Corruption: An Overview for I.R. Professionals Presented by Stephen Double May 1, 2012 New York City Pop Quiz 2 True or False? A publicly owned German company that has stock traded on a U.S. stock

More information

The ITAR and the FCPA: What You Disclose May Hurt You. October 7, 2014

The ITAR and the FCPA: What You Disclose May Hurt You. October 7, 2014 The ITAR and the FCPA: What You Disclose May Hurt You October 7, 2014 Presenters Mark Srere Bryan Cave LLP Susan Kovarovics Bryan Cave LLP 2 Agenda Background on the FCPA Background on ITAR ITAR Part 129

More information

Chambers General Counsel Seminar

Chambers General Counsel Seminar Chambers General Counsel Seminar FPCA: Current Challenges for In-House Counsel Gregory Kehoe Greenberg Traurig Michael Marinelli Greenberg Traurig Ernest Edgar Atkins North America Why is FCPA Important

More information

IFA s 45 th Annual LEGAL SYMPOSIUM

IFA s 45 th Annual LEGAL SYMPOSIUM LEGAL SYMPOSIUM The Foreign Corrupt Practices Act: What Every International Franchisor Must Know Moderator: Speakers: Eric L. Yaffe Gray Plant Mooty Washington, DC Mary C. Spearing Baker Botts L.L.P. Washington,

More information

FCPA Compliance: An Investigator s Perspective. By Joseph Picarello

FCPA Compliance: An Investigator s Perspective. By Joseph Picarello FCPA Compliance: An Investigator s Perspective By Joseph Picarello Agenda FCPA Overview Background Provisions What s prohibited? / What s permissible? Fines / Other Consequences UK Bribery Act Common Fraud

More information

FCPA and International Compliance

FCPA and International Compliance FCPA and International Compliance Briefing to San Antonio Post, SAME C. Ernest Edgar IV General Counsel, Atkins North America 1 Agenda Understanding the FCPA The Nuts and Bolts of the FCPA Who Is Covered

More information

DIGITAL RIVER, INC. FOREIGN CORRUPT PRACTICES ACT AND ANTI-BRIBERY POLICY. (Adopted by resolution of the Board of Directors on December 1, 2011)

DIGITAL RIVER, INC. FOREIGN CORRUPT PRACTICES ACT AND ANTI-BRIBERY POLICY. (Adopted by resolution of the Board of Directors on December 1, 2011) DIGITAL RIVER, INC. FOREIGN CORRUPT PRACTICES ACT AND ANTI-BRIBERY POLICY (Adopted by resolution of the Board of Directors on December 1, 2011) Digital River, Inc. and our affiliates ( DR ) must comply

More information

The Long Arm of the U.S. Foreign Corrupt Practices Act: Complying with the FCPA in the Vietnamese Landscape

The Long Arm of the U.S. Foreign Corrupt Practices Act: Complying with the FCPA in the Vietnamese Landscape The Long Arm of the U.S. Foreign Corrupt Practices Act: Complying with the FCPA in the Vietnamese Landscape Foreign Corrupt Practices Act: The Act What is the Act? Anti-Bribery Provisions Book and Record

More information

PHILIP H. HILDER H I L D E R A N D A S S O C I A T E S, P. C. 8 1 9 L O V E T T B L V D. H O U S T O N, T E X A S 7 7 0 0 6 7 1 3-6 5 5-9 1 1 1 W W W

PHILIP H. HILDER H I L D E R A N D A S S O C I A T E S, P. C. 8 1 9 L O V E T T B L V D. H O U S T O N, T E X A S 7 7 0 0 6 7 1 3-6 5 5-9 1 1 1 W W W FCPA Now and Later PHILIP H. HILDER H I L D E R A N D A S S O C I A T E S, P. C. 8 1 9 L O V E T T B L V D. H O U S T O N, T E X A S 7 7 0 0 6 7 1 3-6 5 5-9 1 1 1 W W W. H I L D E R L A W. C O M Purpose

More information

Introduction to the Foreign Corrupt Practices Act (a training presentation for employees)

Introduction to the Foreign Corrupt Practices Act (a training presentation for employees) Introduction to the Foreign Corrupt Practices Act (a training presentation for employees) Introduction Thank you for participating in our Foreign Corrupt Practices Act (FCPA) training program. [Our Company]

More information

Fraud-Related Compliance

Fraud-Related Compliance Fraud-Related Compliance Areas of Compliance, Part 1: FCPA, SOX, PCAOB, Dodd-Frank 2015 Association of Certified Fraud Examiners, Inc. Foreign Corrupt Practices Act (FCPA) Enacted to prohibit corrupt payments

More information

Successor Liability Under The Foreign Corrupt Practices Act

Successor Liability Under The Foreign Corrupt Practices Act Successor Liability Under The Foreign Corrupt Practices Act Marsha Z. Gerber Partner, Fulbright & Jaworski LLP Kevin McDonald Asst. General Counsel, Administration, Compliance and Regulatory Affairs, Marathon

More information

Understanding the FCPA. Charles E. Meacham Gardere Wynne Sewell LLP Phone: 713.276.5633 cmeacham@gardere.com

Understanding the FCPA. Charles E. Meacham Gardere Wynne Sewell LLP Phone: 713.276.5633 cmeacham@gardere.com Understanding the FCPA Charles E. Meacham Gardere Wynne Sewell LLP Phone: 713.276.5633 cmeacham@gardere.com Increased FCPA Enforcement Around the World Alcoa pays $384 million to resolve Bahrain-bribery

More information

M&A in 2015: Successor Liability Under the FCPA. Norton Rose Fulbright US LLP Thursday, February 26, 2015

M&A in 2015: Successor Liability Under the FCPA. Norton Rose Fulbright US LLP Thursday, February 26, 2015 M&A in 2015: Successor Liability Under the FCPA Norton Rose Fulbright US LLP Thursday, February 26, 2015 Speaker Marsha Z. Gerber Partner Norton Rose Fulbright US LLP Marsha Gerber is a partner in the

More information

FCPA 10 Hallmarks Self- Assessment

FCPA 10 Hallmarks Self- Assessment FCPA 10 Hallmarks Self- Assessment How exposed is your business to corruption risk? Take this assessment to find out if your systems are sufficiently robust to protect your business October 2014 Prepared

More information

What Every Business Lawyer Should Know About Anti-Corruption

What Every Business Lawyer Should Know About Anti-Corruption What Every Business Lawyer Should Know About Anti-Corruption Stephen King, MasterCard William Devaney, Baker & McKenzie, New York Marc Litt, Baker & McKenzie, New York Jonathan Peddie, Baker & McKenzie,

More information

Introduction to the U.S. Foreign Corrupt Practices Act

Introduction to the U.S. Foreign Corrupt Practices Act Introduction to the U.S. Foreign Corrupt Practices Act Presentation to the Alaska Bar Association International Law Section March 14, 2012 Richard C. Smith, Partner, Fulbright and Jaworski, Washington

More information

Introduction to the U.S. Foreign Corrupt Practices Act

Introduction to the U.S. Foreign Corrupt Practices Act Introduction to the U.S. Foreign Corrupt Practices Act Pablo C. Ferrante June 2010 Partner 713-238-2662 pferrante@mayerbrown.com Mayer Brown is a global legal services organization comprising legal practices

More information

The DOJ/SEC Resource Guide on the FCPA: Considerations for Government Contractors

The DOJ/SEC Resource Guide on the FCPA: Considerations for Government Contractors Panelists Stephen M. Byers Washington, DC 202.624.2878 SByers@crowell.com Janet Levine Los Angeles, CA 213.443.5583 JLevine@crowell.com Alan Gourley Washington, DC 202.624.2561 London +44.207.413.1342

More information

FCPA Compliance Risks in Mexico

FCPA Compliance Risks in Mexico FCPA Compliance Risks in Mexico Alejandro Pérez Serrano Partner Baker & McKenzie Mexico City SCCE s 12 th Annual Compliance & Ethics Institute Washington, D.C. - October 7, 2013 Topics 1. Introduction

More information

APEC General Elements of Effective Voluntary Corporate Compliance Programs

APEC General Elements of Effective Voluntary Corporate Compliance Programs 2014/CSOM/041 Agenda Item: 3 APEC General Elements of Effective Voluntary Corporate Compliance Programs Purpose: Consideration Submitted by: United States Concluding Senior Officials Meeting Beijing, China

More information

The Growing Reach of the FCPA and Global Anti-Corruption Enforcement How to Comply Effectively and What's Coming

The Growing Reach of the FCPA and Global Anti-Corruption Enforcement How to Comply Effectively and What's Coming The Growing Reach of the FCPA and Global Anti-Corruption Enforcement How to Comply Effectively and What's Coming Thursday, May 16, 2013 3:30-4:45 PM Speakers: Eric Bustillo, Kelvin Dickenson, Deborah Morrisey,

More information

FCPA: DOJ and SEC Guidance (Part 2) Parent-Subsidiary and Successor Liability

FCPA: DOJ and SEC Guidance (Part 2) Parent-Subsidiary and Successor Liability Introduction FCPA: DOJ and SEC Guidance (Part 2) Parent-Subsidiary and Successor Liability In this second part of our client alert series on the Foreign Corrupt Practices Act ( FCPA ), we focus on how

More information

Securities Litigation Alert The Foreign Corrupt Practices Act: The Next Corporate Scandal?

Securities Litigation Alert The Foreign Corrupt Practices Act: The Next Corporate Scandal? Securities Litigation Alert The Foreign Corrupt Practices Act: The Next Corporate Scandal? January 28, 2008 by christopher j. steskal As the stock option backdating cases wind down, what will be the next

More information

U.S. Foreign Corrupt Practices Act for Beginners

U.S. Foreign Corrupt Practices Act for Beginners U.S. Foreign Corrupt Practices Act for Beginners This presentation, related materials and subsequent discussion are provided for educational purposes only. They do not constitute legal advice nor do they

More information

Worldwide Anti-Corruption Policy

Worldwide Anti-Corruption Policy Worldwide Anti-Corruption Policy I. PURPOSE The laws of most countries make the payment or offer of payment or even receipt of a bribe, kickback or other corrupt payment a crime, subjecting both Eaton

More information

What You Need to Know about the U.S. Foreign Corrupt Practices Act

What You Need to Know about the U.S. Foreign Corrupt Practices Act What You Need to Know about the U.S. Foreign Corrupt Practices Act Angella Castille Faegre Baker Daniels LLP Presentation to Indiana University October 9, 2012 Overview Introduction Enforcement Trends

More information

PROTIVITI FLASH REPORT

PROTIVITI FLASH REPORT PROTIVITI FLASH REPORT Is Department of Justice Dismissal of Morgan Stanley Case a Litmus Test for Corruption Risk Compliance? November 1, 2012 In April 2012, a former Morgan Stanley managing director

More information

In December 2009, the U.S. Department of Justice (DOJ) indicted two former executives

In December 2009, the U.S. Department of Justice (DOJ) indicted two former executives December 2009 Indictment of Haiti Teleco Executives Shows Continuing DOJ FCPA and Anti-corruption Focus in Latin and South America If you have any questions regarding the matters discussed in this memorandum,

More information

Anti-Bribery Provisions of the Foreign Corrupt Practices Act: Application to Foreign Corporations and Individuals

Anti-Bribery Provisions of the Foreign Corrupt Practices Act: Application to Foreign Corporations and Individuals Anti-Bribery Provisions of the Foreign Corrupt Practices Act: Application to Foreign Corporations and Individuals LeClairRyan Carlos F. Ortiz 973.491.3365 carlos.ortiz@leclairryan.com Valerie C. Charles

More information

HIGHLIGHTS OF THE FCPA RESOURCE GUIDE

HIGHLIGHTS OF THE FCPA RESOURCE GUIDE HIGHLIGHTS OF THE FCPA RESOURCE GUIDE Corporate fraud, regulatory oversight and government enforcement actions are on the rise. Alvarez & Marsal (A&M) stands ready to help you navigate and resolve these

More information

Michael Volkov Partner, Washington, DC mvolkov@mayerbrown.com. Richard M. Rosenfeld Partner, Washington, DC rrosenfeld@mayerbrown.

Michael Volkov Partner, Washington, DC mvolkov@mayerbrown.com. Richard M. Rosenfeld Partner, Washington, DC rrosenfeld@mayerbrown. Anti Anti--Corruption Compliance for Private Equity and Hedge Funds Michael Volkov Partner, Washington, DC mvolkov@mayerbrown.com Richard M. Rosenfeld Partner, Washington, DC rrosenfeld@mayerbrown.com

More information

PEPs and the FCPA. Presented to 10 th Puerto Rican Symposium of Anti Money Laundering. February 28 March 1, 2013

PEPs and the FCPA. Presented to 10 th Puerto Rican Symposium of Anti Money Laundering. February 28 March 1, 2013 PEPs and the FCPA Presented to 10 th Puerto Rican Symposium of Anti Money Laundering February 28 March 1, 2013 by Jay Perlman, Director Global Investigations & Compliance, Navigant Table of Contents I.

More information

Corporate Code of Conduct

Corporate Code of Conduct Corporate Code of Conduct Statement of Policy. It is the policy of Casa Mining Limited (the "Company") that all of its officers, directors, employees, contractors, consultants and agents representing the

More information

Gift Giving and Entertaining Without Violating the FCPA and UK Bribery Act. Dena Palermo Andrews Kurth LLP. ACC Houston Chapter July 10, 2012 Meeting

Gift Giving and Entertaining Without Violating the FCPA and UK Bribery Act. Dena Palermo Andrews Kurth LLP. ACC Houston Chapter July 10, 2012 Meeting Gift Giving and Entertaining Without Violating the FCPA and UK Bribery Act Dena Palermo Andrews Kurth LLP ACC Houston Chapter July 10, 2012 Meeting 1 Anti-Bribery Laws OECD Convention on Combating Bribery

More information

TRANSNATIONAL JOINT VENTURES. & the importance of fcpa compliance

TRANSNATIONAL JOINT VENTURES. & the importance of fcpa compliance TRANSNATIONAL JOINT VENTURES & the importance of fcpa compliance EXECUTIVE SUMMARY Many of the FCPA investigations pursued by the DOJ/SEC in recent years involve transnational joint ventures. Prior to

More information

PHOENIX NEW MEDIA LIMITED FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

PHOENIX NEW MEDIA LIMITED FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY PHOENIX NEW MEDIA LIMITED FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY Phoenix New Media Limited (together with its subsidiaries, the Company ) is committed to conducting all aspects of its business

More information

ANTI BRIBERY AND FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

ANTI BRIBERY AND FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY ANTI BRIBERY AND FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY THIS POLICY DOES NOT CREATE A CONTRACT OF EMPLOYMENT OR ALTER THE AT WILL NATURE OF ANY EMPLOYEE S EMPLOYMENT IN ANY WAY. 1. Statement of

More information

2016 The global ABB integrity program. www.abb.com/integrity

2016 The global ABB integrity program. www.abb.com/integrity 2016 The global ABB integrity program www.abb.com/integrity Tone from the Top Don t Look the Other Way A culture of integrity is a prerequisite for a world-class business. Many valuable customers choose

More information

ELEPHANT TALK COMMUNICATIONS CORP. FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

ELEPHANT TALK COMMUNICATIONS CORP. FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY ELEPHANT TALK COMMUNICATIONS CORP. FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY I. POLICY STATEMENT This Foreign Corrupt Practices Act Compliancy Policy (the Policy ) has been adopted by Elephant Talk

More information

PROTIVITI FLASH REPORT

PROTIVITI FLASH REPORT PROTIVITI FLASH REPORT Even Retailers and Consumer Products Manufacturers Must Manage Compliance with the U.S. Foreign Corrupt Practices Act and Other Anti-Bribery Laws May 3, 2012 Recent reports of alleged

More information

What does it mean for Non-US Companies?

What does it mean for Non-US Companies? White Paper FCPA Enforcement What does it mean for Non-US Companies? September 2012 Last updated July 2014 Table of Contents FCPA enforcement: What does it mean for Non-US Companies? 3 International scope

More information

FCPA Compliance: An Ounce of Prevention.

FCPA Compliance: An Ounce of Prevention. FCPA Compliance: An Ounce of Prevention. Michael E. Burke Arnall Golden Gregory LLP Washington, DC +1.202.677.4046 Mike.Burke@agg.com Webinar Overview Today s Discussion FCPA Overview Recent Trends in

More information

The Foreign Corrupt Practices Act: A Primer. Mark Srere Paul Huey-Burns Anita Esslinger May 12, 2011

The Foreign Corrupt Practices Act: A Primer. Mark Srere Paul Huey-Burns Anita Esslinger May 12, 2011 The Foreign Corrupt Practices Act: A Primer Mark Srere Paul Huey-Burns Anita Esslinger May 12, 2011 Today's Presenters Anita Esslinger Paul Huey-Burns Mark Srere 2 Topics of Discussion Relevance Overview

More information

ERIN ENERGY CORPORATION. ANTI-CORRUPTION COMPLIANCE POLICY Effective Date: 10/1/2011

ERIN ENERGY CORPORATION. ANTI-CORRUPTION COMPLIANCE POLICY Effective Date: 10/1/2011 ERIN ENERGY CORPORATION ANTI-CORRUPTION COMPLIANCE POLICY Effective Date: 10/1/2011 Statement of Policy It is the policy of Erin Energy Corporation, (the Company ) to conduct its worldwide operations ethically

More information

DOJ and SEC Release FCPA Resource Guide: What Does Your Company Do Now? January 8, 2013 By: Evelyn Suarez & Patrick Hanes

DOJ and SEC Release FCPA Resource Guide: What Does Your Company Do Now? January 8, 2013 By: Evelyn Suarez & Patrick Hanes DOJ and SEC Release FCPA Resource Guide: What Does Your Company Do Now? January 8, 2013 By: Evelyn Suarez & Patrick Hanes Speakers Evelyn M. Suarez International Law Williams Mullen, Washington D.C. esuarez@williamsmullen.com

More information

How Hedge Funds and Private Equity Firms Can Manage Foreign Corrupt Practices Act Risks

How Hedge Funds and Private Equity Firms Can Manage Foreign Corrupt Practices Act Risks How Hedge Funds and Private Equity Firms Can Manage Foreign Corrupt Practices Act Risks Edward T. Kang and Brian D. Frey of Alston & Bird LLP In recent years, the Department of Justice (DOJ) and the Securities

More information

How To Know If You Can Get A Job At A Company

How To Know If You Can Get A Job At A Company What Maritime Lawyers Need to Know about the Foreign Corrupt Practices Act (FCPA) and other anti-corruption laws? Presented by Evelyn M. Suarez & Jim Barratt 2015 Port Administration & Legal Issues Seminar

More information

CARDINAL RESOURCES LLC INTRODUCTION

CARDINAL RESOURCES LLC INTRODUCTION CARDINAL RESOURCES LLC ANTI- BRIBERY AND ANTI- CORRUPTION POLICY INTRODUCTION The purpose of this Anti- bribery and Anti- corruption Policy (the "Policy") is to ensure compliance by the Red Bird Group

More information

LAUREATE ANTI-CORRUPTION POLICY

LAUREATE ANTI-CORRUPTION POLICY LAUREATE ANTI-CORRUPTION POLICY Laureate Anti-Corruption Policy 1.0 PURPOSE AND BACKGROUND This Anti-Corruption Policy establishes basic standards and a framework for the prevention and detection of bribery

More information

{>> Foreign Corrupt Practices Act //]

{>> Foreign Corrupt Practices Act //] {>> Foreign Corrupt Practices Act //] FCPA Defintion FCPA Definition FOREIGN CORRUPT PRACTICES ACT - The risk of doing business abroad has just increased dramatically as non compliance with the Foreign

More information

MATTHEWS INTERNATIONAL CORPORATION

MATTHEWS INTERNATIONAL CORPORATION MATTHEWS INTERNATIONAL CORPORATION U.S. FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY INTRODUCTION Principles Underlying the United States Foreign Corrupt Practices Act ( FCPA ). The FCPA s Anti-Bribery

More information

HILLENBRAND, INC. AND SUBSIDIARIES. Global Anti-Corruption Policy Statement and Compliance Guide

HILLENBRAND, INC. AND SUBSIDIARIES. Global Anti-Corruption Policy Statement and Compliance Guide HILLENBRAND, INC. AND SUBSIDIARIES Global Anti-Corruption Policy Statement and Compliance Guide Hillenbrand, Inc., including all of its subsidiaries (referred to collectively as the Company ), maintains

More information

LATEST ON THE DODD-FRANK ACT AND INTERNATIONAL COMPLIANCE RISKS

LATEST ON THE DODD-FRANK ACT AND INTERNATIONAL COMPLIANCE RISKS Missouri Bar Annual Meeting, September 12, 2014 LATEST ON THE DODD-FRANK ACT AND INTERNATIONAL COMPLIANCE RISKS Presented by: Jennafer Watson, Chief Compliance Officer Layne Christensen Company Emmanuel

More information

THE FOREIGN CORRUPT PRACTICES ACT: AN OVERVIEW

THE FOREIGN CORRUPT PRACTICES ACT: AN OVERVIEW THE FOREIGN CORRUPT PRACTICES ACT: AN OVERVIEW 1 This white paper summarizes some of the key points, considerations, and factors when faced with a Foreign Corrupt Practices Act matter. As with any overview,

More information

FCPA and Anti-Corruption in Latin America

FCPA and Anti-Corruption in Latin America FCPA and Anti-Corruption in Latin America May 2011 FCPA Enforcement "FCPA enforcement is stronger than it's ever been and getting stronger. We are in a new era of FCPA enforcement; and we are here to stay."

More information

ANTI-CORRUPTION AND ANTI-BRIBERY POLICY

ANTI-CORRUPTION AND ANTI-BRIBERY POLICY COMPLIANCE 18.0 ANTI-CORRUPTION AND ANTI-BRIBERY POLICY I. SCOPE This policy applies to all directors, officers, employees, agents, and shareholders of UHS of Delaware, Inc. (hereafter, UHS ), its subsidiaries

More information

ANTI-BRIBERY AND FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

ANTI-BRIBERY AND FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY Issued: November 12, 2013 ANTI-BRIBERY AND FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY SCOPE This policy applies to all Magnetek, Inc. ( Magnetek ) employees, its subsidiaries and affiliates worldwide,

More information

Fifth annual survey. Look before you leap Navigating risks in emerging markets

Fifth annual survey. Look before you leap Navigating risks in emerging markets Fifth annual survey Look before you leap Navigating risks in emerging markets Table of contents 1 Executive summary 3 Significant concerns over compliance and integrity-related risks 4 Bribery leads the

More information

An Overview of the U.S. Foreign Corrupt Practices Act of 1977. Frankfurt, 18 March 2013 Christophe Guibert de Bruet

An Overview of the U.S. Foreign Corrupt Practices Act of 1977. Frankfurt, 18 March 2013 Christophe Guibert de Bruet An Overview of the U.S. Foreign Corrupt Practices Act of 1977 Frankfurt, 18 March 2013 Christophe Guibert de Bruet OVERVIEW 1) History of the FCPA 2) Relevant Provisions 3) Enforcement and Recent Trends

More information

Complying with the U.S. Foreign Corrupt Practices Act

Complying with the U.S. Foreign Corrupt Practices Act Complying with the U.S. Foreign Corrupt Practices Act 1. About This Manual This Manual describes the Foreign Corrupt Practices Act ( FCPA ), 15 U.S.C. 78m, 78dd, 78ff (collectively, FCPA ), anti-corruption

More information

Understanding the Foreign Corrupt Practices Act. A training program for Evergreen

Understanding the Foreign Corrupt Practices Act. A training program for Evergreen Understanding the Foreign Corrupt Practices Act A training program for Evergreen 2012 Why this is Important to know The FCPA has had a significant impact on the way American firms do business since it

More information

ANTI-CORRUPTION POLICY AND PROCEDURES

ANTI-CORRUPTION POLICY AND PROCEDURES ANTI-CORRUPTION POLICY AND PROCEDURES EXECUTIVE SUMMARY The nature of the oil, gas and power industries requires STS Consulting Services, LLC ( Company ) to operate in a wide range of legal and business

More information

Anti-Corruption and FCPA Compliance Policy

Anti-Corruption and FCPA Compliance Policy Anti-Corruption and FCPA Compliance Policy Purpose and Scope Vicor Corporation ( Vicor or the Company ) must comply with the U.S. Foreign Corrupt Practices Act of 1977, as amended (the "FCPA") and all

More information

FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY Acuity Brands, Inc. is committed to maintaining the highest level of ethical and legal standards in the conduct of our business activities. The Company s

More information

Goodyear s Anti-bribery Policy July 1, 2011

Goodyear s Anti-bribery Policy July 1, 2011 Goodyear s Anti-bribery Policy July 1, 2011 Anti-bribery Policy Goodyear does not wish to obtain business advantages by offering or receiving improper payments or anything of value, even in countries where

More information

What You Need to Know About the FCPA

What You Need to Know About the FCPA What You Need to Know About the FCPA May 12, 2016 Richard E. Weiner Fredrikson & Byron, P.A. Understanding The Legal Risks The FCPA prohibits: Improper payments and other practices in connection with overseas

More information

FCPA / Anti-Corruption Due Diligence What You Don't Know Can Hurt You

FCPA / Anti-Corruption Due Diligence What You Don't Know Can Hurt You www.pwc.com FCPA / Anti-Corruption Due Diligence What You Don't Know Can Hurt You Agenda 1. Quick primer on FCPA 2. Current trends in Anti-Corruption due diligence 3. The need for Anti-Corruption due diligence

More information

MACLEAN-FOGG COMPANY FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

MACLEAN-FOGG COMPANY FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY MACLEAN-FOGG COMPANY FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY MacLean-Fogg s corporate policy prohibits all improper or unethical payments to government officials anywhere in the world. This is

More information

Anti-Corruption Enforcement and Compliance Update. Michael Volkov, Esq. Carlos Ortiz, Esq.

Anti-Corruption Enforcement and Compliance Update. Michael Volkov, Esq. Carlos Ortiz, Esq. Anti-Corruption Enforcement and Compliance Update Michael Volkov, Esq. Carlos Ortiz, Esq. November 2012 Today s presenters and some notes... Mike Volkov Washington, D.C. Carlos Ortiz Washington, D.C. Welcome.

More information

The Foreign Corrupt Practices Act in Transactions: Plan Ahead or Pay Later

The Foreign Corrupt Practices Act in Transactions: Plan Ahead or Pay Later The Foreign Corrupt Practices Act in Transactions: Plan Ahead or Pay Later Gary DiBianco and Charles F. Smith 1 Skadden, Arps, Slate, Meagher & Flom LLP I. Introduction As U.S. based companies and foreign

More information

MUELLER INDUSTRIES, INC. ANTICORRUPTION POLICY

MUELLER INDUSTRIES, INC. ANTICORRUPTION POLICY MUELLER INDUSTRIES, INC. ANTICORRUPTION POLICY THIS POLICY HAS BEEN APPROVED BY THE BOARD OF DIRECTORS OF MUELLER INDUSTRIES, INC. ON FEBRUARY 11, 2010 AND IS APPLICABLE TO ALL DIRECTORS, OFFICERS, EMPLOYEES,

More information

THE US FOREIGN CORRUPT PRACTICES ACT ( FCPA ) COMPLIANCE POLICY AND GUIDELINES

THE US FOREIGN CORRUPT PRACTICES ACT ( FCPA ) COMPLIANCE POLICY AND GUIDELINES THE US FOREIGN CORRUPT PRACTICES ACT ( FCPA ) COMPLIANCE POLICY AND GUIDELINES 1. INTRODUCTION 1.1 The purpose of this policy is to provide all employees, directors and officers of DRDGOLD Limited, its

More information

MICROSEMI CORPORATION FOREIGN CORRUPT PRACTICES ACT CORPORATE LEGAL MANUAL 1. POLICY 2. PURPOSE 3. SCOPE 4. PROVISIONS

MICROSEMI CORPORATION FOREIGN CORRUPT PRACTICES ACT CORPORATE LEGAL MANUAL 1. POLICY 2. PURPOSE 3. SCOPE 4. PROVISIONS 1. POLICY Compliance with Foreign Corrupt Practices Act ( FCPA ) is required by law and also coincides with our culture of conducting business in an ethical manner. Everyone at Microsemi, including the

More information

Fraud Risk Management and Internal Audting

Fraud Risk Management and Internal Audting Fraud Risk Management and Internal Audting Waheed Alkahtani CFE and CCEP-I Saudi Aramco Internal Auditing Special Audits Division Copyright 2015, Saudi Aramco. All rights reserved. February 2015 What do

More information

FCPA: Handling Increased Global Anti-Corruption Enforcement

FCPA: Handling Increased Global Anti-Corruption Enforcement FCPA: Handling Increased Global Anti-Corruption Enforcement Allison Hoffman, Incisive Media David Krakoff, Mayer Brown LLP Claudius Sokenu, Mayer Brown LLP David Wilkins, The Dow Chemical Company Mayer

More information

Global Anti-Corruption Compliance Requirements for International Business

Global Anti-Corruption Compliance Requirements for International Business Global Anti-Corruption Compliance Requirements for International Business Doreen Edelman Co-Chair of the Global Business Team Joe Whitley Chair of the Government Enforcement & Investigations Group The

More information

Course 4800: Understanding the Foreign Corrupt Practices Act - FCPA (1 day)

Course 4800: Understanding the Foreign Corrupt Practices Act - FCPA (1 day) Course 4800: Understanding the Foreign Corrupt Practices Act - FCPA (1 day) Course introduction This one-day course provides a detailed review of the anti-bribery provisions of the Foreign Corrupt Practices

More information

SEMGROUP CORPORATION. Anti-Corruption Compliance Policy August, 2011

SEMGROUP CORPORATION. Anti-Corruption Compliance Policy August, 2011 SEMGROUP CORPORATION Anti-Corruption Compliance Policy August, 2011 SCOPE This is a global policy (the Policy ) applicable to the worldwide operations of SemGroup Corporation ("SemGroup") and all of its

More information

SPIES AMONG US? Understanding and Demystifying the New Dodd-Frank Whistleblower Provisions

SPIES AMONG US? Understanding and Demystifying the New Dodd-Frank Whistleblower Provisions SPIES AMONG US? Understanding and Demystifying the New Dodd-Frank Whistleblower Provisions Deborah S. Birnbach David B. Pitofsky Heidi Goldstein Shepherd December 9, 2010 1 2010 Speakers Deborah S. Birnbach

More information

Foreign Corrupt Practices Act Policy August 19, 2015

Foreign Corrupt Practices Act Policy August 19, 2015 I. PURPOSE To provide guidelines to all officers, directors, employees, consultants and agents that are employed by the Company to ensure compliance with the Foreign Corrupt Practices Act of the United

More information

Foreign Corrupt Practices Act Summary and Policy

Foreign Corrupt Practices Act Summary and Policy I. Introduction/Overview Foreign Corrupt Practices Act Summary and Policy It is the policy of Cantel Medical Corp. and its subsidiaries (the Company ) to comply with all applicable laws, rules and regulations,

More information

Platform Specialty Products Corporation Foreign Corrupt Practices Act/Anti-Corruption Policy

Platform Specialty Products Corporation Foreign Corrupt Practices Act/Anti-Corruption Policy 1. Introduction. Platform Specialty Products Corporation Foreign Corrupt Practices Act/Anti-Corruption Policy 1.1 Combating Corruption. Platform Specialty Products Corporation, including its subsidiaries,

More information

The Foreign Corrupt Practices Act, the Anti-Kickback Statute, and Healthcare Fraud Enforcement. Anti-Bribery Provisions

The Foreign Corrupt Practices Act, the Anti-Kickback Statute, and Healthcare Fraud Enforcement. Anti-Bribery Provisions The Foreign Corrupt Practices Act, the Anti-Kickback Statute, and Healthcare Fraud Enforcement James M. Lord* Martie Ross Charles R Hacker, Jr. Assistant United States Spencer Fane Partner Attorney Britt

More information

a. employees Company; or

a. employees Company; or Code of Busines ss Conduct and Ethics 1. Introduction a. This Code of Business Conduct and Ethics (the Code ) applies to all directors, officers, employees and third parties employed or directly engaged

More information

Non-U.S. Companies May Also be Subject to the FCPA

Non-U.S. Companies May Also be Subject to the FCPA Corporate Investigations & White Collar Defense Japan Practice International Trade Foreign Corrupt Practices Act April 30, 2009 Non-U.S. Companies May Also be Subject to the FCPA by Daniel Margolis and

More information

LANTHEUS HOLDINGS, INC. Foreign Corrupt Practices Act and Anti-Bribery Compliance Policy

LANTHEUS HOLDINGS, INC. Foreign Corrupt Practices Act and Anti-Bribery Compliance Policy LANTHEUS HOLDINGS, INC. Foreign Corrupt Practices Act and Anti-Bribery Compliance Policy 1. Introduction. Applicability. This Foreign Corrupt Practices Act and Anti-Bribery Compliance Policy (this Policy

More information

Compliance with the Foreign Corrupt Practices Act

Compliance with the Foreign Corrupt Practices Act l Compliance with the Foreign Corrupt Practices Act Howard O. Weissman Vice President and Associate General Counsel-International Lockheed Martin Corporation Foreign Corrupt Practices Act U.S. statute

More information

Foreign business partners under the FCPA

Foreign business partners under the FCPA Foreign business partners under the FCPA by Tom Fox 1 TITLE about the writer Thomas Fox has practiced law in Houston for 25 years. He is now assisting companies with FCPA compliance, risk management and

More information

FOREIGN CORRUPT PRACTICES ACT POLICY

FOREIGN CORRUPT PRACTICES ACT POLICY FOREIGN CORRUPT PRACTICES ACT POLICY Purpose The purpose of this Policy is to ensure compliance from SWOP's employees and representatives with the US Foreign Corrupt Practices Act ("FCPA"). The Lay Person's

More information

Anti-Corruption Compliance: Dealing with Regulators When a Company is Under Investigation

Anti-Corruption Compliance: Dealing with Regulators When a Company is Under Investigation Anti-Corruption Compliance: Dealing with Regulators When a Company is Under Investigation Carrie Di Santo Aon Corporation Vice President and Global Chief Compliance Officer University of Illinois Combating

More information

Overview of Recently Issued FCPA Guidance by DOJ and the SEC

Overview of Recently Issued FCPA Guidance by DOJ and the SEC Overview of Recently Issued FCPA Guidance by DOJ and the SEC George J. Terwilliger III Daniel Levin Alison Tanchyk www.morganlewis.com December 13, 2012 Presenters George J. Terwilliger III Washington,

More information

Supplier Anti-Corruption and Anti- Bribery Policy

Supplier Anti-Corruption and Anti- Bribery Policy Supplier Anti-Corruption and Anti- Bribery Policy 2014 Dwellworks Contents Purpose and Scope... 3 Core Principles... 4 Guidelines for Anti-Corruption and Anti-Bribery Compliance... 5 Applicable Definitions...

More information

DRAFT. Anti-Bribery and Anti-Corruption Policy. Introduction. Scope. 1. Definitions

DRAFT. Anti-Bribery and Anti-Corruption Policy. Introduction. Scope. 1. Definitions DRAFT Change History: Anti-Bribery and Anti-Corruption Policy Control Risks Group Ltd Commercial in confidence Introduction This document defines Control Risks policy on the avoidance of bribery and corruption.

More information

STAYING AHEAD OF THE PACK: EMERGING TRENDS & ISSUES WHISTLEBLOWING AFTER DODD-FRANK: A NEW WORLD

STAYING AHEAD OF THE PACK: EMERGING TRENDS & ISSUES WHISTLEBLOWING AFTER DODD-FRANK: A NEW WORLD STAYING AHEAD OF THE PACK: EMERGING TRENDS & ISSUES WHISTLEBLOWING AFTER DODD-FRANK: A NEW WORLD The Dodd-Frank Wall Street Reform and Consumer Protection Act created incentives for whistleblowers to report

More information

EAGLE PARENT, INC EPICOR SOFTWARE CORPORATION ACTIVANT SOLUTIONS, INC. FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY. (As Adopted - July 2011)

EAGLE PARENT, INC EPICOR SOFTWARE CORPORATION ACTIVANT SOLUTIONS, INC. FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY. (As Adopted - July 2011) EAGLE PARENT, INC EPICOR SOFTWARE CORPORATION ACTIVANT SOLUTIONS, INC. FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY (As Adopted - July 2011) 1.0 FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY ( FCPA

More information

Simplify the Complexity of Managing 3rd Party Anti-Bribery / FCPA Compliance

Simplify the Complexity of Managing 3rd Party Anti-Bribery / FCPA Compliance Simplify the Complexity of Managing 3rd Party Anti-Bribery / FCPA Compliance Arm Stakeholders with Critical Information to Assess 3rd Party Relationships and Comply with the Foreign Corrupt Practices Act

More information

INNOSPEC INC. ( INNOSPEC ) FOREIGN CORRUPT PRACTICES ACT POLICY INTRODUCTION

INNOSPEC INC. ( INNOSPEC ) FOREIGN CORRUPT PRACTICES ACT POLICY INTRODUCTION INNOSPEC INC. ( INNOSPEC ) FOREIGN CORRUPT PRACTICES ACT POLICY INTRODUCTION The vast majority of countries have adopted anti-bribery laws. Innospec s securities are registered on the NASDAQ in the United

More information

Regulation for Compliance with Anti-Corruption Acts

Regulation for Compliance with Anti-Corruption Acts Regulation for Compliance with Anti-Corruption Acts 2014. 2. 24. Samsung Techwin Co., Ltd. Table of Contents Chapter 1 Article 1 Article 2 Article 3 General Rules Purpose Applicability Definition Chapter

More information

of the US Foreign Corrupt Practices

of the US Foreign Corrupt Practices The Foreign Corrupt Practices Act US legislation with global implications Dick Thornburgh, Edward J Fishman, Michael J Missal, Jeffrey B Maletta and Matt T Morley of K&L Gates LLP examine anti-corruption

More information