Lionel André

DOJ Launches Civil Rights Fraud Initiative Targeting Compliance Misrepresentations

On May 19, 2025, the U.S. Department of Justice (“DOJ”) announced the launch of its Civil Rights Fraud Initiative, a […]

June 18, 2026

Lionel André

Lionel André is the advocate companies and executives turn to when the SEC, DOJ, CFTC, or another enforcement agency launches […]

June 8, 2026

The SEC’s Elimination of the “No Deny” Rule: The Good, The Bad, and The Ugly

Lionel AndréOn May 19, 2025, the U.S. Department of Justice (“DOJ”) announced the launch of its Civil Rights Fraud Initiative, […]

May 28, 2026

Promises and Pitfalls: Department of Justice Releases Department-Wide Corporate Enforcement and Voluntary Self-Disclosure Policy

On March 10, 2026, the Department of Justice (DOJ) released a DOJ-wide Corporate Enforcement and Voluntary Self-Disclosure Policy (CEP) applicable […]

March 12, 2026

The Supreme Court’s Reversal of IEEPA-Based Tariffs Ushers in Refund Rush

Lionel AndréOn May 19, 2025, the U.S. Department of Justice (“DOJ”) announced the launch of its Civil Rights Fraud Initiative, […]

February 24, 2026

The White Deer Management LLC Case – Why Swift Internal Investigations and Voluntary Disclosure Are Smart Business

Lionel AndréOn May 19, 2025, the U.S. Department of Justice (“DOJ”) announced the launch of its Civil Rights Fraud Initiative, […]

June 25, 2025

Regulatory Recalibration: What Trump’s FCPA Pause and DAG Blanche’s June 9 Memo Mean for Corporate Counsel

President Trump’s February 10, 2025, executive order initiating a 180-day pause on Foreign Corrupt Practices Act enforcement marked the most […]

June 16, 2025

Navigating Political Terminations in the Federal Government: What DOJ Lawyers, FBI Agents, and Other Federal Employees Need to Know

The February 10, 2025, Executive Order pausing new enforcement actions under the Foreign Corrupt Practices Act (FCPA) for 180 days […]

June 5, 2025

Navigating Compliance Amid the White House’s 180-Day Pause in FCPA Investigations and Enforcement Actions

The February 10, 2025, Executive Order pausing new enforcement actions under the Foreign Corrupt Practices Act (FCPA) for 180 days […]

June 3, 2025