Categories
FCPA Compliance Report

MTS Foreign Corrupt Practices Act Enforcement Action: Part III – Missed Red Flags and Overridden Controls

In a stunning resolution to one of the longest running bribery, corruption and money-laundering sagas on the international stage, the Department of Justice and Securities Exchange Commission both announced settlement of a Foreign Corrupt Practices Act (FCPA) enforcement action against the Russian telecom company, Mobile TeleSystems PJSC (MTS). This podcast continues a five-part series will examine the background facts of the case, provide a detailed review of the bribery schemes involved, the compliance failures of MTS and its actions during the investigation which contributed to the size of the penalty, the individual criminal prosecutions brought by the Department of Justice as a part of this action and the key lessons learned by the compliance practitioner. In this Part 3, I discuss the failures in the MTS compliance regime, the override of internal controls and local business unit management actions which facilitated the bribery schemes.
The schemes involved:
a. Purchase of entities controlled by or through Karimova;
b. Purchase of telecom licenses at inflated prices; and
c. Fraudulent charitable donations.
The documents which are the subject of this series are:
  1. MTS Deferred Prosecution Agreement (DPA);
  2. MTS Criminal Information (MTS Information);
  3. SEC Cease and Desist Order (Order);
  4. Karimova and Akhmedov Indictment (Indictment);
  5. Kolorit Dizayn Ink LLC Plea Agreement (Plea Agreement); and
  6. Kolorit Dizayn Ink Information (Kolorit Information);
  7. DOJ Press Release and
  8. SEC Press Release.
Categories
Compliance Into the Weeds

Compliance into the Weeds: Episode 115-Regulatory Capture and Regulatory Approval at the FAA

Compliance into the Weeds is the only weekly podcast which takes a deep dive into a compliance related topic, literally going into the weeds to more fully explore a subject. In this episode, Matt Kelly (the coolest guy in compliance) and I take a deep dive into the circumstances around the FAA approval process regarding the Boeing 737 MAX in the context of the crash in Ethiopia.We consider regulatory capture and what it might mean for US leadership in the aviation industry worldwide.

Some of the highlights include:

  • What was the process by which the plane was approved by the FAA?
  • How did the Boeing CEO persuade President Trump to prevent the FAA from grounding the Boeing fleet during the investigation process?
  • Why did the Ethiopian government send the plane’s black box to France, rather than the US, for analysis?
  • How did the US lose the world’s leadership in aviation safety?
  • Where was Boeing’s compliance function during all of this?
  • What are the lessons for the compliance practitioner?

For additional reading, see articles discussed in this podcast:

  1. In the Seattle Times, Flawed analysis, failed oversight: How Boeing, FAA certified the suspect 737 MAX flight control system, by Dominick Gates
  2. In the Wall Street Journal, Prosecutors, Transportation Department Scrutinize Development of Boeing’s 737 MAXby Andrew Tangel, Andy Pasztor and Robert Wall
  3. In Slate.com, Where Did Boeing Go Wrong? by Jeff Wise.
Categories
Daily Compliance News

Daily Compliance News: March 20, 2019-the Risky Business edition

MARCH 20, 2019 BY TOM FOX


In today’s edition of Daily Compliance News:

  • Cambridge Analytica cover up? (The Daily Beast)
  • SEC ‘stunned’ Musk violated court order. (Bloomberg)
  • Japanese Olympic Committee head resigns amid bribery scandal. (Fox Sports)
  • It’s risky business to loan money to Donald Trump. (New York Times)