Lessons From 5 Months Of DOJ Corporate Policy Deals
External Article
In this article, Baker Botts Partner Brendan Quigley explores key lessons from the DOJ's recent corporate enforcement resolutions and what they reveal about the government's approach to voluntary self-disclosure, cooperation, compliance, and remediation. He notes that self-disclosure alone does not guarantee leniency, as the DOJ retains broad discretion in determining whether a company qualifies the policy's benefits.
Lessons From 5 Months Of DOJ Corporate Policy Deals - Law360
