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Alex M. Duarte OSB No. 020459 Alex.Duarte@stanfordalumni.org Foreign Corrupt Practices Act and UK Bribery Act OSB Corporate Counsel and Business.

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Presentation on theme: "Alex M. Duarte OSB No. 020459 Alex.Duarte@stanfordalumni.org Foreign Corrupt Practices Act and UK Bribery Act OSB Corporate Counsel and Business."— Presentation transcript:

1 Alex M. Duarte OSB No. 020459 Alex.Duarte@stanfordalumni.org
Foreign Corrupt Practices Act and UK Bribery Act OSB Corporate Counsel and Business Law Sections Corporate Compliance Roundtable April 26, 2012 Alex M. Duarte OSB No

2 Key Anti-Bribery/Anti-Corruption Laws
US Foreign Corrupt Practices Act UK Bribery Act 2010 Most other countries have their own anti-corruption laws

3 What is the FCPA? FCPA (15 USC §§ 78dd-1, et seq.) generally prohibits
Giving or offering money or “anything of value” To a foreign official (includes employees of State-owned entity) To influence official or obtain improper advantage To obtain or retain business FCPA also prohibits Giving money/anything of value To a third person Knowing that it will be offered or given To a foreign official DOJ (Department of Justice) enforces this part of FCPA

4 What is the FCPA? (cont.) “Anything of value” Not just cash
Has a very broad interpretation by governmental enforcement authorities Can include numerous improper benefits, including Cash equivalents (such as gift cards) Kickbacks Gifts Loans Special favors

5 Anything of value (cont.)
What is the FCPA? (cont.) Anything of value (cont.) Specific examples Extravagant gifts Political donations/charitable contributions Hiring of a third party or family member Luxury goods Lavish travel or entertainment Fancy meals Tickets to expensive sporting events (World Cup)

6 What is the FCPA? (cont.) “Foreign Official”
Broad interpretations, and includes: Any governmental or public official Any employee (even low-level clerk) Employees of State-owned/State-run companies Common in certain countries (e.g., China, India) Common in certain industries (e.g., utilities, power-generation, oil and gas, telecom)

7 What is the FCPA? (cont.) Third Parties
Applies to any party doing business with a company: Sales agents Distributors Customers/suppliers/vendors Consultants and Contractors Other intermediaries Pay special attention to independent sales agents (many bribery cases have involved sales agents) Liability even if Company did not make bribe itself If Company knew, or should have known, of bribery No ostrich defense - “Willful blindness”/“head in sand” Don’t ignore “red flags”

8 What is the FCPA? (cont.) Narrow Exceptions and Defenses
Facilitating payments (“grease” payments) for “routine government action by a foreign official” (but be careful- gray area/“sticky wicket”) Lawful in country - the payment is lawful under the written laws of the foreign country Promotional and marketing activities and expenses Expenses for promotion or demonstration of a product or service Expenses in connection with the performance of a contract with a foreign government or agency Example- reasonable travel expenses for official to tour facility: Must still be reasonable, not extravagant directly related to legitimate business purpose of product/contract

9 FCPA - Accounting Provisions
The FCPA requires a corporation to: Keep and maintain books, records and accounts that fairly and accurately reflect transactions Maintain an adequate system of internal accounting controls The SEC (Securities and Exchange Commission) enforces above

10 Recent FCPA Accounting Violations
One recent example- $23M fine in 2010 alleged $3.6M bribes in U.N. “Oil for Food” program in Iraq SEC found GE violated the FCPA: “GE failed to maintain adequate internal controls to detect and prevent these illicit payments, and it failed to properly record the true nature of the payments in its accounting records.”

11 What is the FCPA? (cont.) Penalties
Penalties can be severe (corporations/individuals) Corporations- fines, penalties and settlements can include millions of dollars Individuals- fines can include $100K/violation, and up to five years of imprisonment Fines and settlements- US (DOJ) and other countries have collected billions of dollars in fines, penalties and settlements (more than $3 billion since 2009)

12 Potential Fines/Imprisonment
FINES US: Corporation = 2x profit Individual = $100K per violation UK: Unlimited Siemens $800M 2008 KBR/Halliburton $579M 2009 BAE $400M 2010 Technip SA $338M PRISON US: Up to 5 years/violation UK: Up to 10 years

13 US Prosecutions are Increasing

14 Top 11 Corporate FCPA Settlements
The past four years have seen the 11 largest FCPA settlements, totaling more than $3 billion from 11 companies

15 Costs of FCPA Investigations Companies are devoting significant resources (attorneys and accountant fees) associated with FCPA investigations (often much more than the amount of bribe)

16 U.K. Bribery Act (2010) Broader than FCPA:
No public official requirement - prohibits any bribes, to anyone (i.e., private sector) Applies to offenses committed in UK, and outside UK where person has a “close connection” with UK No exceptions for “facilitating” payments or marketing and promotional activities or expenses Unlimited fines possible; up to 10 years in prison Adds crime for corporation unless it can show “adequate procedures in place to prevent bribery”

17 COMMON BRIBERY RISK AREAS
Promotional and Marketing Expenses - must be reasonable and not extravagant, and related to business purpose “Facilitating” (“grease”) payments - allowed by FCPA, but must be nominal amounts and for routine actions (gray area) Travel- must be reasonable, not extravagant and be related to business purpose (e.g., tour of a manufacturing facility) Gifts and Entertainment - prohibited to any public official; must be reasonable for private parties Charitable Contributions Political Donations and Lobbying Activities

18 Bribery “Red Flags” Country- country known for corruption (“BRIC” countries) Agent and Governmental/Public Official Red Flags Background/Structure - agent has questionable background or reputation, or shell company or other unusual structure Recommendations - public official recommends agent Objections to written contract Objections to compliance representations Close ties- agent and public official have close personal, family or business ties Business interest in agent - public official has ownership interest in or business relationship with third-party agent Agent not qualified/competent

19 Bribery “Red Flags” (cont.)
Not want to disclose identity Anonymity/lack of transparency Suspicious statements - “don’t want to know,” “don’t ask” Compensation and Invoice Documentation Red Flags Payment in cash or another country’s currency Payment different from invoice Other unusual payment arrangements Fees/commissions excessive (exceed “going rate”) Invoices- invoices are unusual, such as: lack standard terms do not reflect actual services rendered have vague descriptions/“miscellaneous” charges

20 Bribery Red Flags[keep this one?]
Country and Political red flags Country is known for corruption Agent close ties with public official Public official recommends or requires use of certain agent Agent not qualified or competent Agent requests anonymity Agent’s questionable background Payment Request red flags Fees/commissions are excessive Agent requests cash or payment in another country’s currency Agent requests payment to someone other than the agent or to accounts in another country Invoice red flags Lack standard invoicing terms Do not reflect actual services rendered or are inconsistent with underlying agreement Contain vague descriptions of services rendered, or out-of-pocket expenses incurred “Miscellaneous” charges Consider above flags on a case-by-case basis using a totality of the circumstances approach

21 Corruption Perceptions Index 2011

22 Corruption Perceptions Index 2011
1. New Zealand 8. Australia 16. United Kingdom 19. Ireland 24. United States 25. France 57. Czech Republic 69. Italy 73. Brazil 75. China 95. India 100. Mexico 143. Russia 182. Somalia

23 Wal-Mart de Mexico Last Sunday- blockbuster article in the New York Times about a $24 million bribery scandal by Wal-Mart’s Mexican subsidiary On-going bribes for years, throughout the country Allegedly used attorney fixers (“gestores”) to pay off public officials to obtain licenses and permits to build new stores Sham accounting- suspicious documentation and mysterious codes masquerading as “facilitating” payments Scheme allegedly known by senior executives and in-house counsel, including current CEO, Chair, Vice Chair and CAO Alleged intervention by senior executives to pressure auditors from conducting a full or aggressive investigation

24 Wal-Mart de Mexico (cont.)
Investigation duties given to Mexico subsidiary GC- who was a target of the investigation! Mexican sub GC conducted superficial “investigation” and promptly cleared all of wrong-doing (cover-up) Wal-Mart failed to notify US or Mexican authorities until late (allegedly due to NYT investigating scandal) DOJ and SEC now investigating- this won’t be the last you have heard about Wal-Mart de Mexico and FCPA/anti-corruption Fines and penalties- possibly tens/hundreds of millions of dollars? Moral (learned from Watergate)- Cover-up is worse than the crime

25 Take-aways for Corporate Counsel
Importance of Companies having strong FCPA/anti-corruption policies and procedures FCPA has been big focus by DOJ and SEC in the past 4-5 years- companies large and small FCPA policies and procedures- key aspect of Company’s internal Ethics and Code of Conduct policies Preventative measures and training are key Focus on “red flags” and third parties to reduce risk (know your customers and business partners) FCPA violations can lead to more than fines and penalties (prison, reputational damage, stock price, careers, etc.) Zero tolerance corporate policy/culture for bribery and corruption of anyone, by anyone


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