Deputy AG Rosenstein Assumes Causation in Calling the FCPA Pilot Program “Successful”December 12, 2017
Mum’s the Word as DOJ Declines to Provide Clarity About the “Aggravating Circumstances” in Its New FCPA Corporate Enforcement PolicyDecember 12, 2017
Seventh Circuit Looks to “Separate the Wheat from the Chaff” by Adopting a New FCA Causation TestDecember 12, 2017
Ten Reasons Why the Corporate Community Should Take DOJ’s “FCPA Corporate Enforcement Policy” With A Grain of SaltDecember 8, 2017
The DOJ’s New FCPA Corporate Enforcement Policy: Dangling Presumptive Declination as an Incentive for Voluntary DisclosureDecember 8, 2017