Whistleblowersโprotecting them, working with them, not stifling themโcontinue to be one of the most important parts of the compliance officerโs job. This week, columnist Tom Fox reviews the SECโs recent pronouncements on how it wants whistleblowers to be treated and how the SEC itself plans to keep encouraging whistleblowers to step forward. โThe SEC is clear that it will test how your company treats whistleblowers,โ he warns. More inside.
Tom Fox
Thomas Fox has practiced law for over 40 years. Tom writes the daily award-winning blog, the FCPA Compliance and Ethics blog and founded the Compliance Podcast Network. Tom leads the discussion on AI in compliance through his best-selling book Upping Your Game. He has 38 other books on the use of AI in compliance and business ethics, leadership including the seminal work, The Compliance Handbook, with its 7th edition coming out in 2025. He is the founder of the award-winning Compliance Podcast Network.
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Still Reading Tea Leaves on FCPA Enforcement? Try Listening and Reading
Sometimes all the angst and analysis about FCPA enforcement need not happen; sometimes, voices in the enforcement community just tell us whatโs coming. That has been the case lately, Compliance Week columnist Tom Fox writes this week, as the SECโs recent settlement with KBR over confidentiality agreements proves. Inside, he examines where the KBR case came from and how your compliance team should react to it.
The Ups and Downs of FCPA Politics in Washington
Several events in Washington lately show just how well FCPA enforcement isโor more precisely, is notโunderstood there. This week, columnist Tom Fox turns his eye first to critics of the Justice Departmentโs new top FCPA prosecutor, and then to Texas Sen. Ted Cruz and his ham-handed efforts to politicize the enforcement of Americaโs foremost anticorruption law. More inside.
Slippery Slope of FCPA Enforcement Against Individuals
The compliance community has long hectored the Justice Department to prosecute more individuals, rather than corporations. Now weโre starting to see that happen, and a thicket of legal questions are arising. Inside, Compliance Week columnist Tom Fox gives a tour of the current landscape. Whatโs on the horizon is not pretty.
Painful Lessons Learned From Alstom, Avon Settlements
Two long-standing FCPA investigationsโone into Avon, the other into Alstomโwrapped up in December, with results sure to alarm any audit committee. The fines were huge, the investigation costs just as large and, above all, the costs of non-cooperation were demonstrated to be painfully high. Inside, Compliance Week columnist Tom Fox picks through the wreckage for lessons you can take back to your compliance operation.
Janus, COSO, FCPA Compliance and Enforcement
The U.S. Sentencing Guidelines have long been one path to kinder treatment from the Justice Department for FCPA violations. On the civil side enforced by the SEC, something similar may be emerging: the COSO 2013 framework for effective internal control. How different are those two paths? Not as much as you might think, Compliance Week columnist Tom Fox writes. Then again, regulators can follow clear paths too. More inside.
How Layne Christensen and Hewlett-Packard Earned Favorable Treatment After an FCPA Charge
When Layne Christensen, a global water management and construction company, and tech pioneer Hewlett-Packard were targeted for violating the Foreign Corrupt Practices Act, they both escaped harsh punishments by cooperating with enforcement authorities. Their actions serve as a how-to for earning cooperation credit. Inside, columnist Tom Fox runs down their efforts, from conducting thorough internal investigations to taking extensive remediation measures.
For FCPA Compliance, Donโt Forget the Internal Controls
They have been there all along, hiding in plain sight: the Foreign Corrupt Practices Act requirements for internal controls. The problem is that most compliance practitioners have not been reading them too carefully. What are internal controls in a FCPA compliance program? Aaron Murphy, a partner at Akin Gump and author of “Foreign Corrupt Practices […]
Bieber Case Highlights Dangers of Facilitation Payments
If there was ever an example of the insidious nature of bribery and corruption of foreign government officials, it is how pop star Justin Bieber gained entry into Canada for his entourage. It is not that Canadian border guards allowed The Bieb himself into Canada for a little something extra; he is, after all, a […]
Delawareโs Walmart Ruling Has Consequences Big and Small
Shareholder derivative actions are beginning to play a greater role in Foreign Corrupt Practices Act enforcement. They are also spurring some companies to make changes to their FCPA compliance programs. In 2011, for example, SciClone Pharmaceuticals settled a shareholder derivative action based on FCPA allegations in which it agreed to institute a wide-ranging anti-corruption compliance […]


