Compliance
Pressures Grow On Companies To Squash Bribery, Corruption – Study

Enforcement agencies and regulators around the world are expanding their definition of corporate crime and political landscapes continue to shift, extending the compliance obligations on businesses, the report said.
Companies are expected to exert more control over their staff,
subsidiaries and third parties in the fight against corruption
and bribery, a report by Hogan Lovells
says.
The firm’s Investigations, White Collar and Fraud (IWCF) practice
said that it expects law enforcement and regulatory agencies to
turn on the pressure as the world moves on from the disruptions
and lockdowns over the past two years.
“One of the big shifts in the regulatory environment that we’ve
seen is that companies are expected to have greater oversight of
their employees, subsidiaries, and third parties,” Hogan Lovells
partner Stephanie Yonekura, global leader of the IWCF practice
area, said. (She is based in Los Angeles.)
Among other trends are an increase in ESG responsibilities, the
impact of fundamental changes to working practices post-Covid,
and economic sanctions being used as both legal and political
tools.
In the US, the US Department of Justice has made fighting bribery
and corruption a top priority. As part of this effort, it has
recently revised its Corporate Enforcement Policy (CEP) to
encourage companies to cooperate fully with government
investigations.
Shanghai-based partner Calvin Ding, who also co-edited the
report, said there are a number of non-US developments at
work.
“China abandoning its zero-Covid strategy should spur a return to
better growth in China. At the same time, we are seeing renewed
appetite for enforcement wherever Chinese companies operate and
invest, and that includes in Africa and Latin America. Political
and leadership changes, particularly in the latter region, are
also likely to create more investigative pressure,” Ding
said.
The report looks at regulatory developments worldwide, such as the changes at the Serious Fraud Squad, regulatory changes in Southeast Asia and Latin America, more aggressive law enforcement in Germany, and China's heavy investment in Africa, and the implications of that.
The authors of the report said: "The expectation is on compliance teams to mitigate risk and catch misconduct that may slip through. Where it is found, the onus is on you to self-disclose relevant, non-privileged information about the conduct. Even then, disclosure alone isn’t enough: it must be fast; it must be full. True, complex corporate structures can obscure your oversight of compliance. And yes, data privacy laws, foreign laws, and blocking statutes can make it hard to collect evidence."