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SEC Enforcement Speaks in 2026: Enforcement Division Moves “Full Steam Ahead” with Focus on Quality over Quantity, Procedural Fairness, and Targeted Pursuit of Non-Fraud Violations

By E. Andrew Southerling, Gary Leung, James Hornsby, Louis D. Greenstein & McGuireWoods LLP on April 3, 2026
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SEC Acting Enforcement Director Sam Waldon declared recently that his division is moving “full steam ahead” against those who “lie, cheat, and steal” but also is focusing on quality over quantity. He rejected traditional metrics — case counts, penalty totals and aggregate dollar amounts — as effective measures of the SEC’s enforcement program.

At the 2026 SEC Speaks Conference held last month in Washington, D.C., Waldon and senior enforcement leaders emphasized the division’s commitment to transparency and procedural fairness, as embodied by recent revisions to its Enforcement Manual. The more prominent revisions are intended to foster robust two-way engagement with defense counsel during the Wells process and articulate clearer guideposts for the staff’s assessment of public company cooperation under the Seaboard factors and corporate penalties under the Commission’s 2006 Penalty Statement. Waldon also confirmed that the division will continue to bring non-fraud cases in the right circumstances — with a more thoughtful approach. He said his division aims to distinguish between an entity that makes “an honest mistake, recognizes the mistake, fixes the mistake, takes steps to remediate and improves internal controls” and one that “engages in multiple mistakes, doesn’t think it’s a mistake, covers up the mistake, [and] didn’t take steps to remediate.”

Read on to learn more about Waldon’s remarks and what companies should take away from them.

Photo of E. Andrew Southerling E. Andrew Southerling

Andrew has more than two decades of experience in securities regulation and enforcement and has successfully represented corporations, financial institutions and individuals in a wide range of high-stakes and novel civil and criminal investigations and enforcement actions. He is a former co-chair of…

Andrew has more than two decades of experience in securities regulation and enforcement and has successfully represented corporations, financial institutions and individuals in a wide range of high-stakes and novel civil and criminal investigations and enforcement actions. He is a former co-chair of the firm’s Securities Enforcement & Regulatory Counseling practice group. Drawing on his experience in government service and private practice, clients look to Andrew for counsel on securities enforcement matters, securities litigation and regulatory compliance counseling. He represents corporate and individual clients in U.S. Securities and Exchange Commission (SEC), U.S. Department of Justice (DOJ), Financial Industry Regulatory Authority (FINRA), state attorneys general, and Congressional investigations and enforcement proceedings. Andrew also conducts internal investigations on behalf of corporate management and boards of directors and advises clients on developing and implementing effective compliance programs. Prior to entering private practice, Andrew served a six-year tenure at the SEC in the Division of Enforcement.

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Photo of Gary Leung Gary Leung

As a former senior officer of the Securities and Exchange Commission (SEC), Gary brings deep enforcement experience, complex civil litigation, and trial skills to clients navigating government investigations and regulatory matters. In his most recent government role, Gary served as an Associate Director…

As a former senior officer of the Securities and Exchange Commission (SEC), Gary brings deep enforcement experience, complex civil litigation, and trial skills to clients navigating government investigations and regulatory matters. In his most recent government role, Gary served as an Associate Director of the SEC’s Division of Enforcement and Regional Director of the SEC’s Los Angeles Regional Office. As co-head of the Los Angeles office’s enforcement program, he supervised approximately 70 investigative attorneys, litigators, and enforcement accountants responsible for investigating and litigating federal securities law violations across Southern California, Arizona, Nevada, Hawaii, and Guam. In that role, he collaborated with SEC staff across the agency’s regulatory divisions, its regional offices, and at the SEC’s home office in Washington, D.C. Gary’s investigative and litigation docket covered the full spectrum of the federal securities laws, including matters concerning public company financial reporting and disclosure, securities registration and offering fraud, insider trading, market manipulation, private funds, investment advisers and broker-dealers, anti-money laundering enforcement, and the Foreign Corrupt Practices Act. Gary also has significant experience conducting parallel investigations with the Department of Justice, FBI, Commodity Futures Trading Commission, FinCEN, and state and foreign regulators.

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Photo of James Hornsby James Hornsby

James is a member of the firm’s Financial Services & Securities Enforcement department.

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Photo of Louis D. Greenstein Louis D. Greenstein

Louis a member of the firm’s Financial Services & Securities Enforcement Department. For more than 20 years, Louis has represented financial services firms, corporations, their boards, officers, directors and employees in investigations by the Securities and Exchange Commission (SEC), the Financial Industry Regulatory…

Louis a member of the firm’s Financial Services & Securities Enforcement Department. For more than 20 years, Louis has represented financial services firms, corporations, their boards, officers, directors and employees in investigations by the Securities and Exchange Commission (SEC), the Financial Industry Regulatory Authority, the United States Department of Justice (DOJ), and state regulatory agencies. Louis also has substantial experience conducting internal investigations and counseling clients on corporate governance and disclosure issues, including strategies for avoiding potential regulatory issues through preventive remedial measures.

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  • Posted in:
    Administrative and Regulatory, Banking, Finance and Securities
  • Blog:
    Subject to Inquiry
  • Organization:
    McGuireWoods LLP
  • Article: View Original Source

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