How To Minimize FCPA Risk In Health Care Acquisitions

M
Mintz

Contributor

Mintz is a general practice, full-service Am Law 100 law firm with more than 600 attorneys. We are headquartered in Boston and have additional US offices in Los Angeles, Miami, New York City, San Diego, San Francisco, and Washington, DC, as well as an office in Toronto, Canada.
The Department of Justice and the Securities and Exchange Commission have the health care industry on their radar screens for FCPA enforcement.
United States Food, Drugs, Healthcare, Life Sciences

When acquiring a health care company doing business abroad, there is no such thing as being too thorough with anti-corruption due diligence. The Department of Justice and the Securities and Exchange Commission have the health care industry on their radar screens for FCPA enforcement. Even if your company conducts business ethically, before, during, and after an acquisition, you can take on civil or criminal risk as a result of successor liability.

There are at least five steps that acquiring companies can take to minimize risk, according to "Avoiding the Mourning After: Minimizing FCPA Risk of Pass Through or Successor Liability," an article co-authored by Mintz Levin attorney and former federal prosecutor Paul Pelletier, published in the March 2013 issue of Compliance Today. In a nutshell, those five steps are as follows:

  1. Conduct a first-tier review of all relationships with foreign government officials.
  2. Perform a second-tier review of all contractual relationships, consultants, and third-party intermediaries.
  3. Investigate red flags and seek FCPA counsel if a FCPA violation may have occurred.
  4. Take steps to end any potentially corrupt practices, remediate past corrupt behavior at the company being acquired, and seek FCPA counsel on self-disclosure of the findings.
  5. Conduct post-merger anti-corruption trainings with employees of the acquired company.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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