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News/Compliance & Enforcement/The DOJ’s New FCPA Corporate Enforcement Policy: Dangling Presumptive Declination as an Incentive for Voluntary Disclosure
Expert Opinion·Compliance & Enforcement Brief

The DOJ’s New FCPA Corporate Enforcement Policy: Dangling Presumptive Declination as an Incentive for Voluntary Disclosure

In a new advisory, Steptoe & Johnson break down the Department of Justice’s new FCPA declination policy, which creates a presumption that a company meeting all standards relating to “voluntary self-disclosure, full cooperation, and timely and appropriate remediation” (each of…

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