Quick Look at Recent DOJ Policy Changes

Looking back at the Anti-Corruption Report’s coverage over the course of 2018, it is clear that the DOJ is on a kick of making policy changes and tweaks. Starting with the FCPA Corporate Enforcement Policy, announced at the very end of 2017, and moving through the introduction of changes to the Yates Memo almost exactly 12 months later, the guidance provided to companies on how anti-corruption and other corporate crimes will be enforced is welcome but the sheer number of updates left some of our heads spinning. To help keep track of the developments, we’ve put together this quick guide to what was said and what it means for compliance and enforcement. Our other helpful Quick Looks can be found here.

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