DOJ and the SEC had a good year – in fact, a very good year.
… In fact, FCPA enforcement in 2014 should be characterized a different way – call it the maturation of FCPA enforcement, with some twists and turns, some of which may portend significant trends down the road.
While 2013 was the year of individual prosecutions, 2014 was a return to corporate blockbuster settlements.
‘Enforcement 40’ for 2020
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