In the ever-expanding realm of corporate liability, it is vital that multijurisdictional companies understand and appreciate the differences between anticorruption regimes in the various countries where they operate. This Insight provides a comparison of the anti-bribery and anticorruption regimes in France, the United Kingdom, and the United States, which have adopted slightly differing systems in many areas, including in deferred prosecution agreements and whistleblowing regimes.
If you have any questions or would like more information on the issues discussed in this LawFlash, please contact any of the following Morgan Lewis lawyers:
Kelly A. Moore
Susan D. Resley