ARTICLE
18 December 2020

Above Board: Changes To DOJ's Compliance Guidance

MF
Morrison & Foerster LLP

Contributor

Known for providing cutting-edge legal advice on matters that are redefining industries, Morrison & Foerster has 17 offices located in the United States, Asia, and Europe. Our clients include Fortune 100 companies, leading tech and life sciences companies, and some of the largest financial institutions. We also represent investment funds and startups.
In this episode of Above Board, Morrison & Foerster partner Dave Lynn speaks with James Koukios and Chuck Duross, heads of the firm's FCPA and Global Anti-corruption practice...
United States Corporate/Commercial Law

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In this episode of Above Board, Morrison & Foerster partner Dave Lynn speaks with James Koukios and Chuck Duross, heads of the firm's FCPA and Global Anti-corruption practice, about the Department of Justice's revised guidance on the evaluation of corporate compliance programs.

Listen to the episode to learn:

  1. The two most important things that the Department of Justice now considers when evaluating a company's compliance program;
  2. The ways in which the DOJ's expectations for compliance programs have changed;
  3. The steps that directors can take to oversee a company's corporate compliance function; and
  4. Other guidance from the DOJ that is relevant to compliance programs.

Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations.

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