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Revised DOJ Compliance Guidance Highlights Risk, Training, More, Compliance Week

June 02, 2020

Morgan Lewis partner Kenneth Polite addressed the US Department of Justice’s (DOJ’s) updated guidance regarding corporate compliance programs in a Compliance Week article. In the piece, he discussed changes to the compliance program structure. “A rubber stamp compliance department with no ability to act or report up to the board simply will not pass muster,” said Kenneth. “The guidance also amplifies the notion that effective compliance is a journey, not a destination. Ongoing, continual revision; monitoring; and assessment of compliance risk is essential.”

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