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Guest Post: Deferred Prosecution Agreements – Should They Be Taken Off the Shelves?
Compliance Strategies Under the Benczkowski Memo: Proactive Monitoring
Second of Three Videos: Anti-Bribery and Foreign Corrupt Practices Act Compliance for U.S. Companies Doing Business in India
Temporary Shutdown Shut Down Temporarily — Now What?
GOP Leaders Signal No Taste for Renewing Shutdown Over Wall
Partially Intervened Qui Tam Cases Cannot Have Two Masters: Court Bars Relators From Proceeding With Their Non-Intervened Claims
DOJ Answers Key Questions About False Claims Act Reform Efforts
False Claims Act: 2018 and the Road Ahead
A New Year’s Resolution: Updating Your Compliance Plan
Husch Blackwell Must Face Claims It Aided Client’s Fraud
Wells Fargo, Others Under Contractor Watchdog’s Scrutiny
AG Nominee William Barr Confirms He Will “Diligently Enforce” the FCA
Merging Trade Compliance and Ethics and Compliance Silos
Global Anti-Corruption Insights: Winter 2019
INSIGHT: DOJ Nominee Barr Walks Back FCA Stand, But Not Entirely
DOJ Formalizes Previous Directives Regarding Limiting Use of Guidance Documents to Prove Violations of Law
INSIGHT: Representing Executives in Government Investigations—You’re Engaged. Now What?
Top 10 International Anti-Corruption Developments for December 2018
“Pilot” Program No More: Proposed FAR Amendment Makes Whistleblower Protections Permanent
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