On October 28, 2021, Deputy Attorney General Lisa Monaco announced changes regarding how the Department of Justice (DOJ) will prosecute corporations. The Monaco Memo, as it’s come to be known, raises the stakes, especially for corporations that are frequent flyers when it comes to enforcement actions and settlement agreements. In this article, learn five key takeaways from the Monaco Memo, including how it can be used as an educational opportunity for the Board and C-Suite.
Author: Kristy Grant-Hart, Founder & Chief Executive Officer, Spark Compliance Consulting
This article was originally published on the website of Spark Compliance Consulting on November 3, 2021.