
Articles

🔒 Members Only · Compliance & Enforcement BriefYou’ve reached the member portion of this brief.Members read the full analysis and the source documents in every Brief, six days a week.
DOJ’s FCA Head Shares Enforcement Insights
Veterans Affairs Senior Executive Charged With Concealing Gifts and Cash Received from Government Contractors
What DOJ’s New Corporate Enforcement Policy Means for Compliance Programs (Part II of II)
Balt’s DOJ Declination: A Case Study in Why Speed, Cooperation, and Remediation Still Matter
DOJ’s New Corporate Enforcement Policy: A More Structured Path to Cooperation Credit (Part I of II)
GSA Extends Comments on Sweeping AI Clause After Industry Pushback
DCMA Selects Craig Morgan to Lead Contracts Directorate
Some DHS Contractors Told White House Officials They Were Asked to Pay Corey Lewandowski
Areas of Heightened DOJ Scrutiny in the Second Trump Administration
Section 508 Report Eyes Acquisition ‘Lever’
DOJ Announces Corporate Enforcement and Voluntary Self-Disclosure Policy for All Criminal Cases
DOJ’s FCA Head Shares Enforcement Insights
DOJ’s New Corporate Enforcement & Voluntary Self-Disclosure Policy: Implications for Government Contractors
Army Eyeing Four Categories for New FMS Weapons Catalog
FCC Undertakes Major Overhaul With New Suspension and Debarment Rules
One Policy For All: DOJ Unveils First Ever Department-Wide Corporate Enforcement Policy
Federal Agencies Are at Risk of Overpaying for Products in the Multiple Award Schedule Program Due to Significant Price Variability
Cybersecurity Noncompliance as a Deal Risk: FCA Exposure in Government Contracts M&A and Private Equity
Federal Enforcement Under Trump 2.0: What Government Contractors Need to Know
Keep reading


