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2023 Year-in-Review: Developments and Trends in White Collar Enforcement Litigation

By Lisa Vicens, Matthew C. Solomon, David A. Last, Andres Felipe Saenz, Samuel Levander & Amira Perryman on January 29, 2024
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The following post was originally included as part of our recently published memorandum “Selected Issues for Boards of Directors in 2024”.

The Securities and Exchange Commission (SEC) and Department of Justice (DOJ) both accelerated their enforcement efforts in 2023, and seem poised to further intensify these efforts in 2024.  At the same time, the SEC disseminated new disclosure requirements across sectors, including disclosures related to cybersecurity and artificial intelligence (AI), and renewed its focus on the corporate and social aspects of environmental, social and governance (ESG) guidance.  Its Enforcement Division remained focused on litigating high-stakes cases in the digital assets space and expanded its sweep related to off-channel communications. 

The DOJ has also charged several cases in the fraud and anti-money laundering space related to digital assets, including the recent trial conviction of Sam Bankman-Fried and the guilty pleas of Binance and its Chief Executive Officer, Changpeng Zhao.  In addition, the DOJ made a number of announcements related to guidance and policies concerning corporate criminal enforcement, much of which is focused on fostering a culture of compliance within companies while continuing to pursue actions against alleged individual wrongdoers.  The recent adoption of the Foreign Extortion Prevention Act (FEPA), companion legislation to the Foreign Corrupt Practices Act (FCPA), adds a new tool in the DOJ’s arsenal to prosecute the recipients of foreign bribes, closing a notable gap and providing a mechanism to charge the “demand side” of foreign bribery.  This new legislation is particularly timely as the DOJ continues to prioritize and remain active in its anti-corruption efforts involving both companies and individuals, including a number of significant FCPA matters in 2023.

To read the full post, please click here.

For a PDF of the full memorandum, please click here.

Photo of Lisa Vicens Lisa Vicens

Lisa Vicens regularly represents public companies and their boards in internal and governmental investigations, in particular with respect to anti-bribery and corruption and other cross-border issues.

Read more about Lisa VicensEmail
Photo of Matthew C. Solomon Matthew C. Solomon

Matthew C. Solomon’s practice focuses on securities enforcement and litigation, white-collar criminal defense, and complex commercial litigation.

Read more about Matthew C. SolomonEmail
Photo of David A. Last David A. Last

David A. Last’s practice focuses on government and internal investigations, including defending companies and individuals in a wide range of high-stakes domestic and international enforcement actions and trials with a particular focus on Foreign Corrupt Practices Act (FCPA) matters.

Read more about David A. LastEmail
Photo of Andres Felipe Saenz Andres Felipe Saenz

Andrés Felipe Sáenz’s practice focuses on white-collar defense, regulatory enforcement, and complex civil litigation, particularly with respect to cross-border issues.

Read more about Andres Felipe SaenzEmail
  • Posted in:
    Other
  • Blog:
    Cleary Enforcement Watch
  • Organization:
    Cleary Gottlieb Steen & Hamilton LLP
  • Article: View Original Source

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