Categories
31 Days to More Effective Compliance Programs

One Month to a More Effective Compliance Program for Business Ventures-Distributor Liability Under the FCPA

Three enforcement actions which made clear that there were no distinctions between agents and distributors. They were the Smith & Nephew, Inc., Oracle (2012 and 2022) and Eli Lilly and Company. Each of these enforcement actions had different FCPA violations and they each revealed separate steps which a company should take to both prevent and detect FCPA violations in their company.

These three separate bribery schemes call for three different but overlapping responses. The Lilly enforcement action also makes clear the need for internal audit to follow up with ongoing monitoring and auditing. Internal audit can be used to help determine the reasonableness of a commission rate outside the accepted corporate norm. The 2012 & 2022 Oracle enforcement actions demonstrated that Oracle needed to institute the proper controls to prevent its employees at Oracle India from creating and misusing the parked funds in the distributor’s account. The Company needed to audit and compare the distributor’s margin against the end user price to ensure excess margins were not being built into the pricing structure. Smith & Nephew did not perform sufficient due diligence on these distributors nor did they document any. Further, the distributor was domiciled in a location separate and apart, the UK, from the sole location it was designed to deliver products or services into, Greece. This clearly demonstrated that the entities were used for a purpose that the company wished to hide from Greek authorities. While it is true that a distributor might sell products into a country different than its domicile, if the products are going into a single country, this should have raised several Red Flags.
Three Key Takeaways

  1. Use auditing and monitoring.
  2. Distributors will be treated the same as other business ventures.
  3. Robust due diligence must be performed.
Categories
The Walden Pond

Improving Internal Investigations with Steve Spiegelhalter


 
Steve Spiegelhalter is the North American Investigations Practice Leader and Managing Director at Alvarez & Marsal. As a former federal prosecutor with the US Department of Justice’s Criminal Division, Fraud Section, and the Foreign Corrupt Practices Act (FCPA) Unit, Steve has intimate experience in investigating complex criminal and civil affairs and implementing compliance programs. He joins Vince Walden to discuss the future of conducting internal investigations.
 

 
Steve talks about the improvements GCs and CCOs have made in internal investigations over the last five years. They have evolved their in-house skills and resources. Additionally, they have gotten better at interacting with external counsel to solve matters more efficiently. 
COVID-19 has highlighted that foreign corrupt practices and corruption are long-term risks that are becoming more prominent. There has been a rise in fraud issues since the workplace has shifted to remote. Behaviors of malpractice that would have gone unnoticed are now being laid bare. 
Resources
Steve Spiegelhalter on LinkedIn
AlvarezandMarsal.com

Categories
Daily Compliance News

October 29, 2020-FCPA Day edition

In today’s edition of Daily Compliance News:

  • Another FCPA enforcement action. (DOJ)
  • TLI President sentenced after trial. (DOJ Press Release)
  • PayPal puts its money where its mouth is. (NYT)
  • ICE agents unaware of First Amendment. (WaPo)
Categories
Across the Board

Andrea Bonime-Blanc on a Board Role for Compliance


In this episode of Across the Board, I visit with Andrea Bonime-Blanc, founder of GEC Risk Advisory. She recently joined the Advisory Board of the Crisp Thinking Group. We visit about the need for compliance expertise on a Board. Some of the highlights include:

  1. What Crisp is and what products/services they provide?
  2. What is your role at Crisp?
  3. We have long urged for a Compliance SME on Boards. Why is this such a critical need?
  4. Were you brought on to the Board to be the ‘adult in the room’?
  5. You have another book out, Gloom to Boom. Can you tell us about it? How has it been received, most particularly during the pandemic?

Resources
For more information on Crisp Thinking click here.
For a copy of Andrea’s book Gloom to Boom, click here.