SlideShare uma empresa Scribd logo
1 de 28
Baixar para ler offline
Guide to the FCPA

                    Jim Chester
                   JD, LL.M, CCS, CHB

              Chester/Associates, PLLC
                      Dallas, Texas




3/28/08                                  1
US Trade Laws Implicated by
          Global Sales and Marketing
          - Foreign Corrupt Practices Act
          - Anti-Boycott Laws
          - Export Laws


3/28/08                                     2
Part I
          Foreign Corrupt Practices Act
                    (FCPA)



3/28/08                               3
Who is covered by the FCPA?
          • Nearly any U.S. business with foreign
            contact will be legally obligated under
            the FCPA, as will foreign subsidiaries
            of U.S. businesses, and some foreign
            companies and individuals.




3/28/08                                               4
Issuers of Securities
          • Generally, “Issuers” are publicly
            traded companies with 500 or more
            shareholders and more than
            $1,000,000 in total assets.
          • Additional responsibility for FCPA
            accounting/reporting provisions.
          • Issuers are subject to more penalties.

3/28/08                                              5
Domestic Concerns
          • A “Domestic Concern” is any
            business organized in the US, as
            well as any U.S. citizen or resident,
            even if living abroad.
          • Domestic Concerns are subject anti-
            bribery rules, but not reporting
            requirements.

3/28/08                                         6
Both Issuers & Domestic Concerns
          • Are responsible for the acts of their
            officers, employees, agents, etc.
          • Also responsible for acts of
            subsidiaries, even where they have
            less than a 50% interest in a
            subsidiary



3/28/08                                             7
Others
          • As of 1998, the FCPA contains a
            “catch all” provision that applies
            the anti-bribery rules to “any
            person” who commits bribery on
            U.S. territory.



3/28/08                                          8
What does the FCPA require?
          Issuers must keep detailed records.

          • The FCPA’s accounting provisions are
            designed prevent illegal conduct by
            publicly traded companies by requiring
            them to keep records that would reveal
            illegal payments.

          • Issuers are required to keep records that
            “accurately and fairly” reflect all of the
            issuer’s transactions and assets and must
            be kept in “reasonable detail.”
3/28/08                                                  9
Bribery of Foreign Officials
          • Issuers of securities, domestic concerns, and
            others all fall under the FCPA’s anti-bribery
            provisions.
          • All U.S. nationals and businesses, including
            their foreign subsidiaries, are prohibited
            from bribery anywhere in the world.
          • Foreign nationals and businesses also fall
            under the anti-bribery requirements when
            they are in the United States or its territory.

3/28/08                                                  10
Bribery of Foreign Officials
          • “Payments” include offers, promises,
            and authorizations to make payments
            as well as actual payments.
          • Anything of value that is offered,
            authorized, promised, or given is a
            payment.

          ____________________

3/28/08                                            11
Bribery of Foreign Officials
          • “Foreign officials” does not just mean a
            public official in foreign governments.
             • Political parties, their officials, and all
               candidates for public office also count.
             • Employees of state-owned corporations, such as
               PEMEX, have been deemed foreign officials.
             • Officers and employees of “public international
               organizations” are specifically covered by the
               FCPA.
             • Any organization whose employees enjoy
               diplomatic treatment are public international
               organizations, (e.g., the United Nations)


3/28/08                                                      12
Bribery of Foreign Officials
          • Moreover, the FCPA prohibits payments to
            any person the payor knows will use any
            portion of the payment to bribe a foreign
            official.
          • Payor does not need detailed knowledge of
            how the payment will be used. “Conscious
            disregard of suspicious circumstances” or
            “deliberate ignorance” of an illegal payment
            will not protect a company.

3/28/08                                               13
Bribery of Foreign Officials
          • The FCPA does not define “corruptly,” but U.S.
            courts have interpreted it as creating an intent
            requirement. Payors must intend “to induce the
            recipient to misuse his official or to influence
            someone else to do so.”
          • Payors must voluntarily, intentionally, and with a
            “bad purpose” seek an illegal result (judged by the
            host country’s law) or use an illegal method to
            achieve a lawful result. This intent requirement
            only applies to improper payments and not to the
            FCPA’s accounting requirements.
          • Improper advantage is any advantage that is not
            available under the host country’s written laws.


3/28/08                                                       14
Bribery of Foreign Officials
          • Any payment made with the intent to secure an
            unfair advantage or with a conscious disregard of
            circumstances likely to lead to a violation of the
            FCPA is illegal, regardless of whether it is made at
            the suggestion or request of a foreign official.
          • However, payments made by victims of actual
            extortion are not covered by the FCPA.




3/28/08                                                        15
Bribery of Foreign Officials
          • Previously, the FCPA only prohibited payments for
            the purpose of obtaining, keeping, or directing
            business to any person or entity. Thus, company
            could make a payment to a foreign official to
            obtain a lower customs rate or favorable tax
            treatment.

          • This is no longer the case.
             • 1998 amendments to the FCPA broadened the scope of
               what is considered an illegal purpose.
             • Nearly any advantage may now be considered improper.


3/28/08                                                           16
What the FCPA Allows

          • The FCPA explicitly allows three
            types of payments.

          • However, each of these exceptions is
            narrow in scope and should be
            interpreted conservatively by
            companies seeking to use them.



3/28/08                                            17
What the FCPA Allows
          • First, payments to “expedite or to secure the
            performance of a routine governmental action” are
            not covered by the FCPA.
             • These “grease” payments are generally only allowed for
               expediting non-discretionary actions by minor officials.



          • Second, payments that are explicitly
            allowed under the host country’s written
            laws are not improper.



3/28/08                                                                   18
What the FCPA Allows
          • Third, “reasonable and bona fide
            expenditures” that are directly related to the
            promotion or demonstration of products or
            the performance of a government contract
            are allowed.
             • These payments are designed to cover things
               “such as travel and lodging expenses” incurred
               by government officials as part of normal
               business operations.




3/28/08                                                         19
FCPA Penalties & Enforcement
          • The FCPA is enforced by the SEC and the
            Department of Justice.
             • SEC responsible civil suits and enforcement of
               the FCPA’s accounting requirements.

             • DOJ handles all criminal prosecutions.
                 • Significant overlap between these roles.
                 • SEC may refer cases to DOJ for criminal prosecution and
                   the two agencies may work together on some cases.


             • Additionally, private parties may bring FCPA
               issues to the attention of either agency.

3/28/08                                                                      20
Penalties for Organizations
          • Publicly traded companies face a wide
            range of penalties, including some not
            explicitly mentioned in the FCPA itself.
             • May be barred from doing business with
               government agencies or contractors.
             • May be debarred from government agencies
               such as the Commodity Futures Trading
               Commission or have export licenses suspended.
             • Investigation triggered by the FCPA can spread
               to other areas if it turns up problems not
               covered by the FCPA.

3/28/08                                                    21
Penalties for Organizations
          The penalties for FCPA violations can be substantial:

          • A willful violation of the FCPA can result in fines
            up to:
             – $25,000,000 for accounting violations and
             – $2,000,000 for a violation of the anti-bribery provisions.

          • Further, civil penalties of up to $10,000 per
            violation may be assessed.

          • Taken together with the cost of defending a FCPA
            case, companies face severe economic
            consequences for failure to comply with the FCPA.

3/28/08                                                                     22
Penalties for Individuals
          •   Willful violators of the accounting provisions may be:
              •   fined up to $5,000,000 for each violation, and
              •   sentenced up to twenty years in prison for each violation

          •   Criminal penalties for willful violations of the anti-bribery
              provisions –
              •   fines up to $100,000 per violation and
              •   up to five years in prison per violation

          •   Plus civil penalties up to $10,000 per violation.

          •   Corporations are forbidden from paying any portion of
              fines levied against their employees or agents under the
              FCPA.


3/28/08                                                                       23
FCPA Compliance
          •   The safest approach to compliance with the FCPA’s anti-
              bribery provisions is to refrain from making any payments to
              foreign officials.

          •   In addition, U.S. companies should:
               • Take active steps to prevent improper payments
               • Thoroughly check out any overseas business contacts
               • Include FCPA compliance provisions in all contracts with
                 foreign actors
               • Demand a right to review foreign partners’ books and audit
                 them for FCPA compliance
               • Reserve a right to terminate any contract with a party that is
                 violating the FCPA and immediately exercise that right if a
                 breach of the FCPA is discovered
               • Make all payments transparent (no cash) and reasonable for
                 goods delivered or services rendered.

3/28/08                                                                           24
FCPA Compliance
          •    U.S. companies must start at home. Any company with
               significant foreign contacts should ensure its internal FCPA
               compliance by:
              • Creating a code of conduct
              • Educating employees about the code of conduct and the
                   FCPA
              • Creating channels for employees to safely report
                   suspected FCPA violations
              • Establish and enforce penalties for violating the code of
                   conduct
              • Screen potential employees, especially those who will
                   work abroad.


3/28/08                                                                  25
FCPA Compliance Pitfalls
          •   The biggest pitfall facing U.S. companies
              is foreign affiliates/agents.
              •   U.S. companies can be held vicariously liable
                  for breaches of the FCPA, and should seek to
                  extend their normal compliance regime to their
                  subsidiaries.
              •   Integrate accounting practices where feasible.
              •   Consistency in compliance will increase
                  transparency and help spot irregularities so that
                  they may be corrected.


3/28/08                                                           26
FCPA Compliance Pitfalls
          • A second pitfall is the increasing
            number of foreign anti-bribery laws.

          • Also, US company may expose itself
            to non-FCPA liability if its FCPA
            compliance efforts cause it to exert
            too much control over a foreign
            subsidiary.

3/28/08                                            27
FCPA Compliance Pitfalls
          •   Finally, a “yes” answer to any of the following questions should
              send up a red flag that a particular arrangement may be improper:
                 1.   Is your foreign agent also a government official or related to one?
                 2.   Is the agent’s company owned by a political party, official, or the
                      family of an official?
                 3.   Is the agent’s fee more than your company would normally pay
                      that type of service?
                 4.   Is the payment excessive for the local market or under local law?
                 5.   Are an agent’s services really necessary or are they a pretext?
                 6.   Is corruption endemic in the local country?
                 7.   Is your agent reputable and respected?
                 8.   Are the foreign agent’s books and records in order?




3/28/08                                                                                28

Mais conteúdo relacionado

Mais procurados

Forensic audit ppt
Forensic audit pptForensic audit ppt
Forensic audit pptNikhil Priya
 
Anti Money Laundering
Anti Money Laundering Anti Money Laundering
Anti Money Laundering Besart Qerimi
 
How to Improve Anti-Money Laundering Investigation using Neo4j
How to Improve Anti-Money Laundering Investigation using Neo4jHow to Improve Anti-Money Laundering Investigation using Neo4j
How to Improve Anti-Money Laundering Investigation using Neo4jNeo4j
 
Investigating Trade-Based Money Laundering
Investigating Trade-Based Money LaunderingInvestigating Trade-Based Money Laundering
Investigating Trade-Based Money LaunderingCase IQ
 
Sarbanes-Oxley Act (SOX)
Sarbanes-Oxley Act (SOX)Sarbanes-Oxley Act (SOX)
Sarbanes-Oxley Act (SOX)vinaya.hs
 
Workshop on Fraud Investigation
Workshop on Fraud InvestigationWorkshop on Fraud Investigation
Workshop on Fraud InvestigationZeeshan Shahid
 
Assessing AML Geographic Risk: a Methodology (November 2020)
Assessing AML Geographic Risk: a Methodology (November 2020)Assessing AML Geographic Risk: a Methodology (November 2020)
Assessing AML Geographic Risk: a Methodology (November 2020)Alessa
 
Corporate-Espionage
Corporate-EspionageCorporate-Espionage
Corporate-EspionageSam
 
Money Laundering by Vivek Singh,Aryan College
Money Laundering  by Vivek Singh,Aryan CollegeMoney Laundering  by Vivek Singh,Aryan College
Money Laundering by Vivek Singh,Aryan CollegeAryan Ajmer
 
Business Intelligence For Anti-Money Laundering
Business Intelligence For Anti-Money LaunderingBusiness Intelligence For Anti-Money Laundering
Business Intelligence For Anti-Money LaunderingKartik Mehta
 
Fraud Prevention, Detection and Investigation in the Payday Advance Industry
Fraud Prevention, Detection and Investigation in the Payday Advance IndustryFraud Prevention, Detection and Investigation in the Payday Advance Industry
Fraud Prevention, Detection and Investigation in the Payday Advance IndustryDecosimoCPAs
 
Anti money laundering - PEPs
Anti money laundering - PEPsAnti money laundering - PEPs
Anti money laundering - PEPsBesart Qerimi
 
Workshop_on_Forensic_Audit.PPTX
Workshop_on_Forensic_Audit.PPTXWorkshop_on_Forensic_Audit.PPTX
Workshop_on_Forensic_Audit.PPTXshwetadarak
 
Chapter 8 aml and ctf
Chapter 8   aml and ctfChapter 8   aml and ctf
Chapter 8 aml and ctfQuan Risk
 
Abc del lavado de activos y la financiacion del terrorismo
Abc del lavado de activos y la financiacion del terrorismoAbc del lavado de activos y la financiacion del terrorismo
Abc del lavado de activos y la financiacion del terrorismoisaid06
 
Fraud Detection presentation
Fraud Detection presentationFraud Detection presentation
Fraud Detection presentationHernan Huwyler
 

Mais procurados (20)

Forensic audit ppt
Forensic audit pptForensic audit ppt
Forensic audit ppt
 
Anti Money Laundering
Anti Money Laundering Anti Money Laundering
Anti Money Laundering
 
How to Improve Anti-Money Laundering Investigation using Neo4j
How to Improve Anti-Money Laundering Investigation using Neo4jHow to Improve Anti-Money Laundering Investigation using Neo4j
How to Improve Anti-Money Laundering Investigation using Neo4j
 
Investigating Trade-Based Money Laundering
Investigating Trade-Based Money LaunderingInvestigating Trade-Based Money Laundering
Investigating Trade-Based Money Laundering
 
Money Laundering Presentation
Money Laundering PresentationMoney Laundering Presentation
Money Laundering Presentation
 
Sarbanes-Oxley Act (SOX)
Sarbanes-Oxley Act (SOX)Sarbanes-Oxley Act (SOX)
Sarbanes-Oxley Act (SOX)
 
Workshop on Fraud Investigation
Workshop on Fraud InvestigationWorkshop on Fraud Investigation
Workshop on Fraud Investigation
 
Financial Statement Fraud
Financial Statement FraudFinancial Statement Fraud
Financial Statement Fraud
 
Anti-money Laundering
Anti-money LaunderingAnti-money Laundering
Anti-money Laundering
 
Assessing AML Geographic Risk: a Methodology (November 2020)
Assessing AML Geographic Risk: a Methodology (November 2020)Assessing AML Geographic Risk: a Methodology (November 2020)
Assessing AML Geographic Risk: a Methodology (November 2020)
 
Corporate-Espionage
Corporate-EspionageCorporate-Espionage
Corporate-Espionage
 
Money Laundering by Vivek Singh,Aryan College
Money Laundering  by Vivek Singh,Aryan CollegeMoney Laundering  by Vivek Singh,Aryan College
Money Laundering by Vivek Singh,Aryan College
 
Business Intelligence For Anti-Money Laundering
Business Intelligence For Anti-Money LaunderingBusiness Intelligence For Anti-Money Laundering
Business Intelligence For Anti-Money Laundering
 
Aml basics
Aml basicsAml basics
Aml basics
 
Fraud Prevention, Detection and Investigation in the Payday Advance Industry
Fraud Prevention, Detection and Investigation in the Payday Advance IndustryFraud Prevention, Detection and Investigation in the Payday Advance Industry
Fraud Prevention, Detection and Investigation in the Payday Advance Industry
 
Anti money laundering - PEPs
Anti money laundering - PEPsAnti money laundering - PEPs
Anti money laundering - PEPs
 
Workshop_on_Forensic_Audit.PPTX
Workshop_on_Forensic_Audit.PPTXWorkshop_on_Forensic_Audit.PPTX
Workshop_on_Forensic_Audit.PPTX
 
Chapter 8 aml and ctf
Chapter 8   aml and ctfChapter 8   aml and ctf
Chapter 8 aml and ctf
 
Abc del lavado de activos y la financiacion del terrorismo
Abc del lavado de activos y la financiacion del terrorismoAbc del lavado de activos y la financiacion del terrorismo
Abc del lavado de activos y la financiacion del terrorismo
 
Fraud Detection presentation
Fraud Detection presentationFraud Detection presentation
Fraud Detection presentation
 

Semelhante a FCPA Overview

Foreign Corrupt Practices Act Compliance (Series: Corporate & Regulatory Comp...
Foreign Corrupt Practices Act Compliance (Series: Corporate & Regulatory Comp...Foreign Corrupt Practices Act Compliance (Series: Corporate & Regulatory Comp...
Foreign Corrupt Practices Act Compliance (Series: Corporate & Regulatory Comp...Financial Poise
 
Foreign Corrupt Practices Act Compliance
Foreign Corrupt Practices Act ComplianceForeign Corrupt Practices Act Compliance
Foreign Corrupt Practices Act ComplianceFinancial Poise
 
Is your company prepared for the new era of fcpa... (para mi primer debate...)
Is your company prepared for the new era of fcpa... (para mi primer debate...)Is your company prepared for the new era of fcpa... (para mi primer debate...)
Is your company prepared for the new era of fcpa... (para mi primer debate...)Andres Baytelman
 
1 The FCPA and why it Matters October 04, 2010 .docx
1  The FCPA and why it Matters October 04, 2010 .docx1  The FCPA and why it Matters October 04, 2010 .docx
1 The FCPA and why it Matters October 04, 2010 .docxhoney725342
 
RG-PracticalTaxStrategies-Theestateandtaxplanningbenefitsofshellcorporat...
RG-PracticalTaxStrategies-Theestateandtaxplanningbenefitsofshellcorporat...RG-PracticalTaxStrategies-Theestateandtaxplanningbenefitsofshellcorporat...
RG-PracticalTaxStrategies-Theestateandtaxplanningbenefitsofshellcorporat...George L. Metcalfe Jr., Esq., LLM
 
Fcpa blog tour bogota v3
Fcpa blog tour bogota v3Fcpa blog tour bogota v3
Fcpa blog tour bogota v3Mayer Brown LLP
 
Comparision FCBA and UKBA
Comparision FCBA and UKBAComparision FCBA and UKBA
Comparision FCBA and UKBAShehroz Adil
 
Venable Sponsored Workshop 2
Venable Sponsored Workshop 2Venable Sponsored Workshop 2
Venable Sponsored Workshop 2adtech_fan
 
Anti-Corruption Update: Naughty or Nice? When Giving Gifts Will Get You a Lum...
Anti-Corruption Update: Naughty or Nice? When Giving Gifts Will Get You a Lum...Anti-Corruption Update: Naughty or Nice? When Giving Gifts Will Get You a Lum...
Anti-Corruption Update: Naughty or Nice? When Giving Gifts Will Get You a Lum...Ethisphere
 
The Cost of Doing Business? Laws Against Bribery of Foreign Public Officials
The Cost of Doing Business? Laws Against Bribery of Foreign Public OfficialsThe Cost of Doing Business? Laws Against Bribery of Foreign Public Officials
The Cost of Doing Business? Laws Against Bribery of Foreign Public OfficialsNow Dentons
 
Fcpa enforcement-aerospace-defense-industry
Fcpa enforcement-aerospace-defense-industryFcpa enforcement-aerospace-defense-industry
Fcpa enforcement-aerospace-defense-industryAlberto Garcia Romera
 
Chapter 1 presents a list of the top ten Foreign.docx
Chapter 1 presents a list of the top ten Foreign.docxChapter 1 presents a list of the top ten Foreign.docx
Chapter 1 presents a list of the top ten Foreign.docxwrite31
 
Fatca high cost initiative to curb tax evasion
Fatca high cost initiative to curb tax evasionFatca high cost initiative to curb tax evasion
Fatca high cost initiative to curb tax evasionAranca
 
Understanding fatca icatt 07-01-15
Understanding fatca   icatt 07-01-15Understanding fatca   icatt 07-01-15
Understanding fatca icatt 07-01-15Derren Joseph
 
FCPA Guidance for High Risk Regions - Haynes and Boone
FCPA Guidance for High Risk Regions - Haynes and BooneFCPA Guidance for High Risk Regions - Haynes and Boone
FCPA Guidance for High Risk Regions - Haynes and BooneMiles Indest
 

Semelhante a FCPA Overview (20)

Foreign Corrupt Practices Act Compliance (Series: Corporate & Regulatory Comp...
Foreign Corrupt Practices Act Compliance (Series: Corporate & Regulatory Comp...Foreign Corrupt Practices Act Compliance (Series: Corporate & Regulatory Comp...
Foreign Corrupt Practices Act Compliance (Series: Corporate & Regulatory Comp...
 
Foreign Corrupt Practices Act Compliance
Foreign Corrupt Practices Act ComplianceForeign Corrupt Practices Act Compliance
Foreign Corrupt Practices Act Compliance
 
Is your company prepared for the new era of fcpa... (para mi primer debate...)
Is your company prepared for the new era of fcpa... (para mi primer debate...)Is your company prepared for the new era of fcpa... (para mi primer debate...)
Is your company prepared for the new era of fcpa... (para mi primer debate...)
 
Peixoto e Cury Advogados
Peixoto e Cury AdvogadosPeixoto e Cury Advogados
Peixoto e Cury Advogados
 
Steele R3
Steele R3Steele R3
Steele R3
 
1 The FCPA and why it Matters October 04, 2010 .docx
1  The FCPA and why it Matters October 04, 2010 .docx1  The FCPA and why it Matters October 04, 2010 .docx
1 The FCPA and why it Matters October 04, 2010 .docx
 
FCPA basics
FCPA basicsFCPA basics
FCPA basics
 
RG-PracticalTaxStrategies-Theestateandtaxplanningbenefitsofshellcorporat...
RG-PracticalTaxStrategies-Theestateandtaxplanningbenefitsofshellcorporat...RG-PracticalTaxStrategies-Theestateandtaxplanningbenefitsofshellcorporat...
RG-PracticalTaxStrategies-Theestateandtaxplanningbenefitsofshellcorporat...
 
Fcpa blog tour bogota v3
Fcpa blog tour bogota v3Fcpa blog tour bogota v3
Fcpa blog tour bogota v3
 
Comparision FCBA and UKBA
Comparision FCBA and UKBAComparision FCBA and UKBA
Comparision FCBA and UKBA
 
Venable Sponsored Workshop 2
Venable Sponsored Workshop 2Venable Sponsored Workshop 2
Venable Sponsored Workshop 2
 
Anti-Corruption Update: Naughty or Nice? When Giving Gifts Will Get You a Lum...
Anti-Corruption Update: Naughty or Nice? When Giving Gifts Will Get You a Lum...Anti-Corruption Update: Naughty or Nice? When Giving Gifts Will Get You a Lum...
Anti-Corruption Update: Naughty or Nice? When Giving Gifts Will Get You a Lum...
 
Foreign Corrupt Practices Act
Foreign Corrupt Practices ActForeign Corrupt Practices Act
Foreign Corrupt Practices Act
 
The Cost of Doing Business? Laws Against Bribery of Foreign Public Officials
The Cost of Doing Business? Laws Against Bribery of Foreign Public OfficialsThe Cost of Doing Business? Laws Against Bribery of Foreign Public Officials
The Cost of Doing Business? Laws Against Bribery of Foreign Public Officials
 
Fcpa enforcement-aerospace-defense-industry
Fcpa enforcement-aerospace-defense-industryFcpa enforcement-aerospace-defense-industry
Fcpa enforcement-aerospace-defense-industry
 
Chapter 1 presents a list of the top ten Foreign.docx
Chapter 1 presents a list of the top ten Foreign.docxChapter 1 presents a list of the top ten Foreign.docx
Chapter 1 presents a list of the top ten Foreign.docx
 
Fatca high cost initiative to curb tax evasion
Fatca high cost initiative to curb tax evasionFatca high cost initiative to curb tax evasion
Fatca high cost initiative to curb tax evasion
 
Understanding fatca icatt 07-01-15
Understanding fatca   icatt 07-01-15Understanding fatca   icatt 07-01-15
Understanding fatca icatt 07-01-15
 
Wlf fcpa slides
Wlf fcpa slidesWlf fcpa slides
Wlf fcpa slides
 
FCPA Guidance for High Risk Regions - Haynes and Boone
FCPA Guidance for High Risk Regions - Haynes and BooneFCPA Guidance for High Risk Regions - Haynes and Boone
FCPA Guidance for High Risk Regions - Haynes and Boone
 

Mais de Jim Chester

Startup Legal Issues
Startup Legal IssuesStartup Legal Issues
Startup Legal IssuesJim Chester
 
Protect Intellectual Property At Border
Protect Intellectual Property At BorderProtect Intellectual Property At Border
Protect Intellectual Property At BorderJim Chester
 
Keys To Trade Compliance
Keys To Trade ComplianceKeys To Trade Compliance
Keys To Trade ComplianceJim Chester
 
Overview of International Business Legal Issues
Overview of International Business Legal IssuesOverview of International Business Legal Issues
Overview of International Business Legal IssuesJim Chester
 
Overlap between IP and International Trade
Overlap between IP and International TradeOverlap between IP and International Trade
Overlap between IP and International TradeJim Chester
 
Basics of Trademark Rights
Basics of Trademark RightsBasics of Trademark Rights
Basics of Trademark RightsJim Chester
 

Mais de Jim Chester (6)

Startup Legal Issues
Startup Legal IssuesStartup Legal Issues
Startup Legal Issues
 
Protect Intellectual Property At Border
Protect Intellectual Property At BorderProtect Intellectual Property At Border
Protect Intellectual Property At Border
 
Keys To Trade Compliance
Keys To Trade ComplianceKeys To Trade Compliance
Keys To Trade Compliance
 
Overview of International Business Legal Issues
Overview of International Business Legal IssuesOverview of International Business Legal Issues
Overview of International Business Legal Issues
 
Overlap between IP and International Trade
Overlap between IP and International TradeOverlap between IP and International Trade
Overlap between IP and International Trade
 
Basics of Trademark Rights
Basics of Trademark RightsBasics of Trademark Rights
Basics of Trademark Rights
 

Último

Call Girls In Noida 959961⊹3876 Independent Escort Service Noida
Call Girls In Noida 959961⊹3876 Independent Escort Service NoidaCall Girls In Noida 959961⊹3876 Independent Escort Service Noida
Call Girls In Noida 959961⊹3876 Independent Escort Service Noidadlhescort
 
Call Girls in Delhi, Escort Service Available 24x7 in Delhi 959961-/-3876
Call Girls in Delhi, Escort Service Available 24x7 in Delhi 959961-/-3876Call Girls in Delhi, Escort Service Available 24x7 in Delhi 959961-/-3876
Call Girls in Delhi, Escort Service Available 24x7 in Delhi 959961-/-3876dlhescort
 
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort Service
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort ServiceMalegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort Service
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort ServiceDamini Dixit
 
Call Girls Kengeri Satellite Town Just Call 👗 7737669865 👗 Top Class Call Gir...
Call Girls Kengeri Satellite Town Just Call 👗 7737669865 👗 Top Class Call Gir...Call Girls Kengeri Satellite Town Just Call 👗 7737669865 👗 Top Class Call Gir...
Call Girls Kengeri Satellite Town Just Call 👗 7737669865 👗 Top Class Call Gir...amitlee9823
 
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...lizamodels9
 
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756dollysharma2066
 
Uneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration PresentationUneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration Presentationuneakwhite
 
Phases of Negotiation .pptx
 Phases of Negotiation .pptx Phases of Negotiation .pptx
Phases of Negotiation .pptxnandhinijagan9867
 
Al Mizhar Dubai Escorts +971561403006 Escorts Service In Al Mizhar
Al Mizhar Dubai Escorts +971561403006 Escorts Service In Al MizharAl Mizhar Dubai Escorts +971561403006 Escorts Service In Al Mizhar
Al Mizhar Dubai Escorts +971561403006 Escorts Service In Al Mizharallensay1
 
How to Get Started in Social Media for Art League City
How to Get Started in Social Media for Art League CityHow to Get Started in Social Media for Art League City
How to Get Started in Social Media for Art League CityEric T. Tung
 
Cracking the Cultural Competence Code.pptx
Cracking the Cultural Competence Code.pptxCracking the Cultural Competence Code.pptx
Cracking the Cultural Competence Code.pptxWorkforce Group
 
Cheap Rate Call Girls In Noida Sector 62 Metro 959961乂3876
Cheap Rate Call Girls In Noida Sector 62 Metro 959961乂3876Cheap Rate Call Girls In Noida Sector 62 Metro 959961乂3876
Cheap Rate Call Girls In Noida Sector 62 Metro 959961乂3876dlhescort
 
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...daisycvs
 
PHX May 2024 Corporate Presentation Final
PHX May 2024 Corporate Presentation FinalPHX May 2024 Corporate Presentation Final
PHX May 2024 Corporate Presentation FinalPanhandleOilandGas
 
Dr. Admir Softic_ presentation_Green Club_ENG.pdf
Dr. Admir Softic_ presentation_Green Club_ENG.pdfDr. Admir Softic_ presentation_Green Club_ENG.pdf
Dr. Admir Softic_ presentation_Green Club_ENG.pdfAdmir Softic
 
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756dollysharma2066
 
Call Girls Zirakpur👧 Book Now📱7837612180 📞👉Call Girl Service In Zirakpur No A...
Call Girls Zirakpur👧 Book Now📱7837612180 📞👉Call Girl Service In Zirakpur No A...Call Girls Zirakpur👧 Book Now📱7837612180 📞👉Call Girl Service In Zirakpur No A...
Call Girls Zirakpur👧 Book Now📱7837612180 📞👉Call Girl Service In Zirakpur No A...Sheetaleventcompany
 
Famous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st CenturyFamous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st Centuryrwgiffor
 
Organizational Transformation Lead with Culture
Organizational Transformation Lead with CultureOrganizational Transformation Lead with Culture
Organizational Transformation Lead with CultureSeta Wicaksana
 

Último (20)

Call Girls In Noida 959961⊹3876 Independent Escort Service Noida
Call Girls In Noida 959961⊹3876 Independent Escort Service NoidaCall Girls In Noida 959961⊹3876 Independent Escort Service Noida
Call Girls In Noida 959961⊹3876 Independent Escort Service Noida
 
Call Girls in Delhi, Escort Service Available 24x7 in Delhi 959961-/-3876
Call Girls in Delhi, Escort Service Available 24x7 in Delhi 959961-/-3876Call Girls in Delhi, Escort Service Available 24x7 in Delhi 959961-/-3876
Call Girls in Delhi, Escort Service Available 24x7 in Delhi 959961-/-3876
 
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort Service
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort ServiceMalegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort Service
Malegaon Call Girls Service ☎ ️82500–77686 ☎️ Enjoy 24/7 Escort Service
 
Call Girls Kengeri Satellite Town Just Call 👗 7737669865 👗 Top Class Call Gir...
Call Girls Kengeri Satellite Town Just Call 👗 7737669865 👗 Top Class Call Gir...Call Girls Kengeri Satellite Town Just Call 👗 7737669865 👗 Top Class Call Gir...
Call Girls Kengeri Satellite Town Just Call 👗 7737669865 👗 Top Class Call Gir...
 
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
 
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Majnu Ka Tilla, Delhi Contact Us 8377877756
 
Uneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration PresentationUneak White's Personal Brand Exploration Presentation
Uneak White's Personal Brand Exploration Presentation
 
Phases of Negotiation .pptx
 Phases of Negotiation .pptx Phases of Negotiation .pptx
Phases of Negotiation .pptx
 
Al Mizhar Dubai Escorts +971561403006 Escorts Service In Al Mizhar
Al Mizhar Dubai Escorts +971561403006 Escorts Service In Al MizharAl Mizhar Dubai Escorts +971561403006 Escorts Service In Al Mizhar
Al Mizhar Dubai Escorts +971561403006 Escorts Service In Al Mizhar
 
How to Get Started in Social Media for Art League City
How to Get Started in Social Media for Art League CityHow to Get Started in Social Media for Art League City
How to Get Started in Social Media for Art League City
 
unwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabi
unwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabiunwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabi
unwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabi
 
Cracking the Cultural Competence Code.pptx
Cracking the Cultural Competence Code.pptxCracking the Cultural Competence Code.pptx
Cracking the Cultural Competence Code.pptx
 
Cheap Rate Call Girls In Noida Sector 62 Metro 959961乂3876
Cheap Rate Call Girls In Noida Sector 62 Metro 959961乂3876Cheap Rate Call Girls In Noida Sector 62 Metro 959961乂3876
Cheap Rate Call Girls In Noida Sector 62 Metro 959961乂3876
 
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...
Quick Doctor In Kuwait +2773`7758`557 Kuwait Doha Qatar Dubai Abu Dhabi Sharj...
 
PHX May 2024 Corporate Presentation Final
PHX May 2024 Corporate Presentation FinalPHX May 2024 Corporate Presentation Final
PHX May 2024 Corporate Presentation Final
 
Dr. Admir Softic_ presentation_Green Club_ENG.pdf
Dr. Admir Softic_ presentation_Green Club_ENG.pdfDr. Admir Softic_ presentation_Green Club_ENG.pdf
Dr. Admir Softic_ presentation_Green Club_ENG.pdf
 
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756
FULL ENJOY Call Girls In Mahipalpur Delhi Contact Us 8377877756
 
Call Girls Zirakpur👧 Book Now📱7837612180 📞👉Call Girl Service In Zirakpur No A...
Call Girls Zirakpur👧 Book Now📱7837612180 📞👉Call Girl Service In Zirakpur No A...Call Girls Zirakpur👧 Book Now📱7837612180 📞👉Call Girl Service In Zirakpur No A...
Call Girls Zirakpur👧 Book Now📱7837612180 📞👉Call Girl Service In Zirakpur No A...
 
Famous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st CenturyFamous Olympic Siblings from the 21st Century
Famous Olympic Siblings from the 21st Century
 
Organizational Transformation Lead with Culture
Organizational Transformation Lead with CultureOrganizational Transformation Lead with Culture
Organizational Transformation Lead with Culture
 

FCPA Overview

  • 1. Guide to the FCPA Jim Chester JD, LL.M, CCS, CHB Chester/Associates, PLLC Dallas, Texas 3/28/08 1
  • 2. US Trade Laws Implicated by Global Sales and Marketing - Foreign Corrupt Practices Act - Anti-Boycott Laws - Export Laws 3/28/08 2
  • 3. Part I Foreign Corrupt Practices Act (FCPA) 3/28/08 3
  • 4. Who is covered by the FCPA? • Nearly any U.S. business with foreign contact will be legally obligated under the FCPA, as will foreign subsidiaries of U.S. businesses, and some foreign companies and individuals. 3/28/08 4
  • 5. Issuers of Securities • Generally, “Issuers” are publicly traded companies with 500 or more shareholders and more than $1,000,000 in total assets. • Additional responsibility for FCPA accounting/reporting provisions. • Issuers are subject to more penalties. 3/28/08 5
  • 6. Domestic Concerns • A “Domestic Concern” is any business organized in the US, as well as any U.S. citizen or resident, even if living abroad. • Domestic Concerns are subject anti- bribery rules, but not reporting requirements. 3/28/08 6
  • 7. Both Issuers & Domestic Concerns • Are responsible for the acts of their officers, employees, agents, etc. • Also responsible for acts of subsidiaries, even where they have less than a 50% interest in a subsidiary 3/28/08 7
  • 8. Others • As of 1998, the FCPA contains a “catch all” provision that applies the anti-bribery rules to “any person” who commits bribery on U.S. territory. 3/28/08 8
  • 9. What does the FCPA require? Issuers must keep detailed records. • The FCPA’s accounting provisions are designed prevent illegal conduct by publicly traded companies by requiring them to keep records that would reveal illegal payments. • Issuers are required to keep records that “accurately and fairly” reflect all of the issuer’s transactions and assets and must be kept in “reasonable detail.” 3/28/08 9
  • 10. Bribery of Foreign Officials • Issuers of securities, domestic concerns, and others all fall under the FCPA’s anti-bribery provisions. • All U.S. nationals and businesses, including their foreign subsidiaries, are prohibited from bribery anywhere in the world. • Foreign nationals and businesses also fall under the anti-bribery requirements when they are in the United States or its territory. 3/28/08 10
  • 11. Bribery of Foreign Officials • “Payments” include offers, promises, and authorizations to make payments as well as actual payments. • Anything of value that is offered, authorized, promised, or given is a payment. ____________________ 3/28/08 11
  • 12. Bribery of Foreign Officials • “Foreign officials” does not just mean a public official in foreign governments. • Political parties, their officials, and all candidates for public office also count. • Employees of state-owned corporations, such as PEMEX, have been deemed foreign officials. • Officers and employees of “public international organizations” are specifically covered by the FCPA. • Any organization whose employees enjoy diplomatic treatment are public international organizations, (e.g., the United Nations) 3/28/08 12
  • 13. Bribery of Foreign Officials • Moreover, the FCPA prohibits payments to any person the payor knows will use any portion of the payment to bribe a foreign official. • Payor does not need detailed knowledge of how the payment will be used. “Conscious disregard of suspicious circumstances” or “deliberate ignorance” of an illegal payment will not protect a company. 3/28/08 13
  • 14. Bribery of Foreign Officials • The FCPA does not define “corruptly,” but U.S. courts have interpreted it as creating an intent requirement. Payors must intend “to induce the recipient to misuse his official or to influence someone else to do so.” • Payors must voluntarily, intentionally, and with a “bad purpose” seek an illegal result (judged by the host country’s law) or use an illegal method to achieve a lawful result. This intent requirement only applies to improper payments and not to the FCPA’s accounting requirements. • Improper advantage is any advantage that is not available under the host country’s written laws. 3/28/08 14
  • 15. Bribery of Foreign Officials • Any payment made with the intent to secure an unfair advantage or with a conscious disregard of circumstances likely to lead to a violation of the FCPA is illegal, regardless of whether it is made at the suggestion or request of a foreign official. • However, payments made by victims of actual extortion are not covered by the FCPA. 3/28/08 15
  • 16. Bribery of Foreign Officials • Previously, the FCPA only prohibited payments for the purpose of obtaining, keeping, or directing business to any person or entity. Thus, company could make a payment to a foreign official to obtain a lower customs rate or favorable tax treatment. • This is no longer the case. • 1998 amendments to the FCPA broadened the scope of what is considered an illegal purpose. • Nearly any advantage may now be considered improper. 3/28/08 16
  • 17. What the FCPA Allows • The FCPA explicitly allows three types of payments. • However, each of these exceptions is narrow in scope and should be interpreted conservatively by companies seeking to use them. 3/28/08 17
  • 18. What the FCPA Allows • First, payments to “expedite or to secure the performance of a routine governmental action” are not covered by the FCPA. • These “grease” payments are generally only allowed for expediting non-discretionary actions by minor officials. • Second, payments that are explicitly allowed under the host country’s written laws are not improper. 3/28/08 18
  • 19. What the FCPA Allows • Third, “reasonable and bona fide expenditures” that are directly related to the promotion or demonstration of products or the performance of a government contract are allowed. • These payments are designed to cover things “such as travel and lodging expenses” incurred by government officials as part of normal business operations. 3/28/08 19
  • 20. FCPA Penalties & Enforcement • The FCPA is enforced by the SEC and the Department of Justice. • SEC responsible civil suits and enforcement of the FCPA’s accounting requirements. • DOJ handles all criminal prosecutions. • Significant overlap between these roles. • SEC may refer cases to DOJ for criminal prosecution and the two agencies may work together on some cases. • Additionally, private parties may bring FCPA issues to the attention of either agency. 3/28/08 20
  • 21. Penalties for Organizations • Publicly traded companies face a wide range of penalties, including some not explicitly mentioned in the FCPA itself. • May be barred from doing business with government agencies or contractors. • May be debarred from government agencies such as the Commodity Futures Trading Commission or have export licenses suspended. • Investigation triggered by the FCPA can spread to other areas if it turns up problems not covered by the FCPA. 3/28/08 21
  • 22. Penalties for Organizations The penalties for FCPA violations can be substantial: • A willful violation of the FCPA can result in fines up to: – $25,000,000 for accounting violations and – $2,000,000 for a violation of the anti-bribery provisions. • Further, civil penalties of up to $10,000 per violation may be assessed. • Taken together with the cost of defending a FCPA case, companies face severe economic consequences for failure to comply with the FCPA. 3/28/08 22
  • 23. Penalties for Individuals • Willful violators of the accounting provisions may be: • fined up to $5,000,000 for each violation, and • sentenced up to twenty years in prison for each violation • Criminal penalties for willful violations of the anti-bribery provisions – • fines up to $100,000 per violation and • up to five years in prison per violation • Plus civil penalties up to $10,000 per violation. • Corporations are forbidden from paying any portion of fines levied against their employees or agents under the FCPA. 3/28/08 23
  • 24. FCPA Compliance • The safest approach to compliance with the FCPA’s anti- bribery provisions is to refrain from making any payments to foreign officials. • In addition, U.S. companies should: • Take active steps to prevent improper payments • Thoroughly check out any overseas business contacts • Include FCPA compliance provisions in all contracts with foreign actors • Demand a right to review foreign partners’ books and audit them for FCPA compliance • Reserve a right to terminate any contract with a party that is violating the FCPA and immediately exercise that right if a breach of the FCPA is discovered • Make all payments transparent (no cash) and reasonable for goods delivered or services rendered. 3/28/08 24
  • 25. FCPA Compliance • U.S. companies must start at home. Any company with significant foreign contacts should ensure its internal FCPA compliance by: • Creating a code of conduct • Educating employees about the code of conduct and the FCPA • Creating channels for employees to safely report suspected FCPA violations • Establish and enforce penalties for violating the code of conduct • Screen potential employees, especially those who will work abroad. 3/28/08 25
  • 26. FCPA Compliance Pitfalls • The biggest pitfall facing U.S. companies is foreign affiliates/agents. • U.S. companies can be held vicariously liable for breaches of the FCPA, and should seek to extend their normal compliance regime to their subsidiaries. • Integrate accounting practices where feasible. • Consistency in compliance will increase transparency and help spot irregularities so that they may be corrected. 3/28/08 26
  • 27. FCPA Compliance Pitfalls • A second pitfall is the increasing number of foreign anti-bribery laws. • Also, US company may expose itself to non-FCPA liability if its FCPA compliance efforts cause it to exert too much control over a foreign subsidiary. 3/28/08 27
  • 28. FCPA Compliance Pitfalls • Finally, a “yes” answer to any of the following questions should send up a red flag that a particular arrangement may be improper: 1. Is your foreign agent also a government official or related to one? 2. Is the agent’s company owned by a political party, official, or the family of an official? 3. Is the agent’s fee more than your company would normally pay that type of service? 4. Is the payment excessive for the local market or under local law? 5. Are an agent’s services really necessary or are they a pretext? 6. Is corruption endemic in the local country? 7. Is your agent reputable and respected? 8. Are the foreign agent’s books and records in order? 3/28/08 28