(How) Should You Change Your Company's Compliance Program(s) In Response To The DOJ's Recent Guidance? (Video)

AP
Arnold & Porter

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Arnold & Porter is a firm of more than 1,000 lawyers, providing sophisticated litigation and transactional capabilities, renowned regulatory experience and market-leading multidisciplinary practices in the life sciences and financial services industries. Our global reach, experience and deep knowledge allow us to work across geographic, cultural, technological and ideological borders.
(How) Should You Change Your Company's Compliance Program(s) in Response to the DOJ's Recent Guidance.
United States Corporate/Commercial Law
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During this webinar, a cross-disciplinary team of Arnold & Porter compliance professionals discuss of the US Department of Justice's (DOJ) April 30 guidance on how it evaluates the effectiveness of corporate compliance programs when it makes charging decisions, sentencing recommendations, and decides whether to impose reporting requirements or appoint an outside compliance monitor.

The team also discusses the guidance itself, its impact, and the practical takeaways for companies of any size, whether they have existing, sophisticated compliance programs or less developed ones.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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(How) Should You Change Your Company's Compliance Program(s) In Response To The DOJ's Recent Guidance? (Video)

United States Corporate/Commercial Law

Contributor

Arnold & Porter is a firm of more than 1,000 lawyers, providing sophisticated litigation and transactional capabilities, renowned regulatory experience and market-leading multidisciplinary practices in the life sciences and financial services industries. Our global reach, experience and deep knowledge allow us to work across geographic, cultural, technological and ideological borders.
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