Gregory F. Linsin and Holli B. Packer ● The Department of Justice (“DOJ” or the “Department”) released its new Corporate Enforcement and Voluntary Self-Disclosure Policy (“CEP”) on March 10, 2026, establishing, for the first time, a single, comprehensive framework governing all corporate criminal matters handled by the Department, with the exception of antitrust offenses. While the CEP shares … Continue reading “Navigating DOJ’s New Corporate Enforcement Landscape: Key Considerations for Environmental Voluntary Self-Disclosures”
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