Foreign Corrupt Practices

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A brief primer on the US Foreign Corrupt Practices Act (FCPA), including Red Flags for exporters.

Transcript of Foreign Corrupt Practices

The U.S. Foreign Corrupt Practices Act

Thomas O’DeaVP International Sales

March 15, 2010

5 Elements• Five elements must be met to constitute a violation of the act:

1. Who (is acting)

2. Corrupt Intent

3. Payment

4. Recipient

5. Business Purpose

1. Actor• Individual, firm, officer, director,

employee, agent or any stockholder acting on behalf of a firm

– Individuals and firms may be penalized if they order, authorize or assist someone else to violate the anti-bribery provisions or if they conspire to violate those provisions

2. Corrupt Intent• Inducing a foreign official to do or omit to do any act in violation of

his or her lawful duty to obtain improper advantage

• To induce a foreign official to use his or her influence to affect or influence any act or decision

– Attempt does not have to be successful

3. Payment• Paying or offering to pay (or

authorizing to pay or offer) money or “anything of value”

4. Recipient

• Foreign official

• Foreign political party

• Candidate for foreign political office

• Public international organization

• Any person acting in an official capacity for a foreign government

• Obtaining or retaining business

• Directing business to any person

5. Business Purpose

Intermediaries

• Unlawful to make a payment to a third party while knowing that all or a portion is going to a foreign official

– Includes “conscious disregard and deliberate ignorance”

• Intermediaries include:

– Agents, partners

Due Diligence• To avoid being held liable, U.S.

companies are encouraged to exercise due diligence:

– Investigating potential partners and agents

– References and reputation

– Banking information

Red Flags• Unusual payment or financial arrangements

• History of corruption in the country

• Refusal to provide FCPA certification

• Unusually high commission

• Lack of transparency in accounting records

• Lack of qualifications or resources on the part of the partner to perform the services offered

• Partner has been recommended by an official of the potential foreign customer

Sanctions• Criminal:

– Fines of up $2M or more

– Employee fines of $100k or more & imprisonment of up to 5 years

• Firms are barred from paying employees’ fines

• Civil

– SEC may bring a civil action against firm and individuals & impose fine

• Private cause of action

– RICO

Sanctions• Other Governmental Action

– Barring from doing business with the govt

– Indictment alone can lead to suspension of the right to do business with the government

– Ineligibility to receive export licenses

Ethics Hotline• 954-xxx-xxxx

• Fraud

• Abuse

• Improper Behavior

• FCPA Red Flags

• Violations