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Regarding Dismissal Of Criminal FCPA Charges
Could Your Routine Customs Payment Actually Be a Bribe?
New York FCPA Conviction Reminds Companies To Remain Vigilant About Anticorruption Compliance
Former DOJ Compliance Counsel Now Says That Corporations And Individuals “Can Fight The Government In Its Investigation”
The Scoular Company FCPA Resolution, Part 1: The Settlement and the Corporate Enforcement Factors Behind It
DOJ’s First FCPA Deferred Prosecution Agreement of 2026 Highlights Cartel-Linked Corruption Risks
FCPA Enforcement And The “C” Word
Scoular Resolves $10.2 Million FCPA Enforcement Action
A Look At The FCPA’s Facilitation Payments Exception
DOJ Picks Up the Pace in False Claims Act Litigation: 5 Considerations for Employers Facing Fraud Allegations
One Door Closes, Another Opens: U.S. FCPA Pullback Meets the EU Anti-Corruption Directive
A Rare Peek Into FCPA Settlement Amount Negotiations
Seventh Circuit Decision Touches Upon FCPA’s Books And Records Provision
Commerce Department Enforcement Actions Signal Urgent Need to Strengthen Export Control Compliance Programs
It Has Been A While Since A DOJ FCPA Opinion Was Released
DOJ Alleges That U.S. Defense Contractor Bribed Kurdish Official In Connection With Jet Fuel Contracts
What Detractors Keep Getting Wrong About the FCPA
The Continuing Threat of Individual FCPA Enforcement Actions in 2026
Further Thoughts On “The FCPA Reinforcement Act”
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