Fine-Tuning Your Corruption Risk Management

Subscriber Content
test
Board Perspectives: Risk Oversight, Issue 42

Last year, a former Morgan Stanley managing director pleaded guilty for his role in a conspiracy to evade the company’s internal accounting controls and violate the U.S. Foreign Corrupt Practices Act. This case is significant because the U.S. Department of Justice (DoJ) declined to bring enforcement action against the executive’s employer.

The DoJ’s references to Morgan Stanley’s compliance practices in its opinion release provide an insightful benchmark for companies in all industries to use in evaluating their compliance practices.

Issue 42 discusses 10 lessons learned from the DoJ favorable opinion release for Morgan Stanley.

Free Trial

Sign up for a free, no-obligation trial to start exploring our timesaving, valuable resources.