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42https://www.aisinfo.com/blog/2022/10/DOJ-announces-aggressive-policies
DOJ Announces Aggressive Policies on Corporate Monitors and Executive Accountability
10/07/2022 09:00 AM
Posted by: AIS
AIS recently informed its clients about a new U.S. Department of Justice (DOJ) policy that was more favorable to the imposition of independent monitors to oversee corporate compliance. The previous Administration disfavored such appointments. In September, Deputy Attorney General (DAG) Lisa Monaca strengthened the new DOJ policy on monitoring and holding individual company employees and executives accountable for corporate non-compliance. The policy pertains directly to criminal prosecution decisions in corporate cases, but civil enforcement components can be expected to apply the principles to a wide range of regulatory and other non-criminal actions as well, perhaps including bankruptcy violations. New DOJ PoliciesIn a speech at New York University Law School that was followed by a detailed 15-page directive to DOJ officials, the Deputy Attorney General set forth detailed revisions to "Corporate Criminal Enforcement Policies” that will bind prosecutors in making charging decisions and entering into non-prosecution settlements (the "Monaco Memorandum). Much of the policy quite conceivably could apply to civil actions taken by DOJ components as well, including in bankruptcy matters. Among the many significant features of the new DOJ policy are the following:
Implications for Bankruptcy and Other Non-compliance It would not be hard to imagine, for example, that the USTP would be aggressive again in seeking corporate monitors as it did in the past. And although there would be many hurdles to overcome before a bankruptcy court could penalize a corporate employee directly, it would not be surprising for future bankruptcy compliance settlements to encourage claw-backs of compensation and new personnel policies that give more weight to compliance. Conclusion
Commentary provided by Clifford J. White, Managing Director – Bankruptcy Compliance for AIS. Blog Search
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