Foreign Corrupt Practices Act:



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Venable LLP Foreign Corrupt Practices Act: Charities, Colleges and Other Nonprofits: The Foreign Corrupt Practices Act Really Does Apply to You Value Added, Values Driven November 9, 2010 DEW, Jr. Venable LLP 1

FCPA: A Brief History FCPA: A Brief History Product of Watergate Investigation revealed payments to foreign officials to obtain/retain business Books and record keeping requirement Internal procedures requirement evolved over time Civil and criminal penalties apply Civil: $10,000 for company, $100,000 for individual. Criminal: $100,000 plus 5 years for individual $2 million for organization November 9, 2010 DEW, Jr. Venable LLP 2

FCPA: Evolution of International Regime U.S. alone for a number of years. Legal in FRG to deduct foreign bribes from corporate income tax Development of Multilateral Agreements Organization for International Cooperation and Development (OECD) Organization of American States United Nations November 9, 2010 DEW, Jr. Venable LLP 3

FCPA/OECD OECD Anti-Corruption Convention (1999) Leading instrument Increasing number of countries signing on every year (38 as of July 1, 2010) Requires signatory countries to Cautions Enact conforming laws Allow compliance inspection Signatory country laws unique Multiple countries laws may apply November 9, 2010 DEW, Jr. Venable LLP 4

FCPA: To Whom It Applies FCPA: To Whom It Applies All U.S. Citizens, wherever located. Includes real persons and fictitious entities Overseas subs not included if no U.S. control Anyone in the U.S. Permanent residents of the U.S. Note on U.S. organizations: Applies to all officers, directors, employees and agents November 9, 2010 DEW, Jr. Venable LLP 5

FCPA: Actions to Which Applies FCPA: Actions to Which Applies Any payment, offer or promise to pay, or gift To a foreign official, political party, or candidate for public office For the purpose of Obtaining or retaining business Securing and improper advantage November 9, 2010 DEW, Jr. Venable LLP 6

FCPA: Red Flags FCPA: Red Flags U.S. organization may not ignore actions of Offshore employees Agents, wherever located. Commissions greater than industry norm (over 10% is suspect) Payments to third countries without reason Unnecessary or unusual middle men Special Invoices Charitable Contributions November 9, 2010 DEW, Jr. Venable LLP 7

FCPA Enforcement: Focus on Individuals 2009, 40 individuals charged with FCPA crimes. 2010, 23 charged through Q1, 2010 2010, 19 Convicted or Pled Out (DOJ) 140 active investigations in 2009 Current Examples November 9, 2010 DEW, Jr. Venable LLP 8

FCPA: Due Diligence FCPA: Due Diligence Establish compliance policy Establish internal controls Two signature rule Due diligence check list Assess risk of doing business in each country Check for status under OECD anti-bribery convention Transparency International U.S. Embassy Assess risk of line of business Match degree of due diligence to risk On-going monitoring November 9, 2010 DEW, Jr. Venable LLP 9

FCPA: Affirmative Assent FCPA: Affirmative Assent U.S. & Overseas Employees Annual Training Sign training certificate Agents Affirmative obligation by contract to comply with FCPA/host and third country laws. Consider annual certification November 9, 2010 DEW, Jr. Venable LLP 10

FCPA: Related Laws (1) FCPA: Related Laws (1) Economic embargoes against Countries Entities Individuals Application to Universities, Charities and Other Non-profits: E.O. 13224 (2001) Office of Foreign Assets Control, U.S. Treasury, maintains list of prohibited parties November 9, 2010 DEW, Jr. Venable LLP 11

FCPA: Related Laws (2) FCPA: Related Laws (2) Antiboycott law U.S. persons must report any request to abide by Arab boycott of Israel Report on IRS or Commerce form IRS Form 5713 BIS Form 621P Questions? Office of General Counsel, U.S. Treasury & Department of Commerce, Office of Antiboycott Compliance. November 9, 2010 DEW, Jr. Venable LLP 12

FCPA: Related Laws (3) FCPA: Related Laws (3) Foreign Bank Account Report ( FBAR ) Form 990, Part V, line 4a Financial Interest Signature or Other Authority Report on TD F 90-22.1 ( FBAR form) Questions? Internal Revenue Service Penalties? Civil and Criminal. Enforcement Focus -- Amnesty Period Over November 9, 2010 DEW, Jr. Venable LLP 13

FCPA: Employee Responsibilities Understand and fulfill responsibilities Complete regular training Willful blindness = liability Conduct appropriate due diligence on agent(s) Use standard form contract Know red flags If in doubt, ask organization management. Keep good records. November 9, 2010 DEW, Jr. Venable LLP 14

Venable LLP Foreign Corrupt Practices Act Foreign Corrupt Practices Act Charities, Colleges and Other Nonprofits: The Foreign Corrupt Practices Act Really Does Apply to You Ed Wilson Venable LLP 202-344-4819 dwilson@venable.com Value Added, Values Driven November 9, 2010 DEW, Jr. Venable LLP 15