Law Firm Posts DOJ Compliance Evaluation Criteria Translated to Chinese Language
Covington & Burling recently released a Chinese language version of DOJ’s revised Evaluation of Corporate Compliance Programs. The translated document, posted by the Foreign Corrupt Practices Act Blog, includes DOJ’s March update that introduced changes to how it assesses corporate compliance programs’ approach to communications platforms (see 2303030056, 2304050081 and 2304240019).