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News/Compliance & Enforcement/What DOJ’s New Corporate Enforcement Policy Means for Compliance Programs (Part II of II)
Expert Opinion·Compliance & Enforcement Brief

What DOJ’s New Corporate Enforcement Policy Means for Compliance Programs (Part II of II)

Volkov – The most important aspect of DOJ’s revised Criminal Division Corporate Enforcement and Voluntary Self-Disclosure Policy may be its unmistakable message to compliance professionals: a compliance program will be judged not by what it says on paper, but by whether it can drive fast, credible, and measurable action when misconduct is uncovered.

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