What DOJ’s Highest-Ever FCA Recoveries Signal for Cybersecurity, Customs and DEI EnforcementFebruary 17, 2026
How Far Can DoD Contract Enforcement Go Without Undercutting Small‑Business Programs?February 16, 2026
2025 DOJ Fraud Section Year in Review: Sustained High-Impact Enforcement, Organizational Expansion, and Priorities for 2026February 16, 2026
Commercial Litigation Branch Head Outlines DOJ Enforcement Priorities, Reinforces (c)(2)(a) Dismissal AuthorityFebruary 4, 2026
GAO Discovers Inconsistent Implementation of Practices for Managing Foreign Adversary Risks in SBIR/STTRFebruary 3, 2026
GAO Discovers Inconsistent Implementation of Practices for Managing Foreign Adversary Risks in SBIR/STTRFebruary 2, 2026
Billions to Boundaries: What Record False Claims Act Recoveries Mean for 2026 ComplianceJanuary 28, 2026
Authorized Investigations Shouldn’t Mean Unpredictability, Why Transparency and Clear Deadlines Matter for Agency FairnessJanuary 27, 2026
Here They Come: DOJ Brings False Claims Act to Tariffs and Duty Enforcement (Part II of II)January 23, 2026