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False Claims Act Particularity Standard Still Unclear But New York & New Jersey Cases Provide Additional Guidance

Jackson Lewis P.C.·

We are seeing a growing number of False Claims Act (“FCA”), 31 U.S.C. §§ 3729 – 3733 cases where defendants test the sufficiency of relators’ pleadings, which is the heightened pleading standard under Rule 9(b). Rule 9(b) acts as a gatekeeping function by requiring that “in alleging fraud” a “party

Department of Justice’s Asset Forfeiture Program Takes Huge Hit as Congress Eliminates Funding

Jackson Lewis P.C.·

The Department of Justice is suspending a program allowing local police departments to keep a large portion of assets seized under federal law, the Department announced December 21.

Greater Emphasis On Corporate Compliance Programs

Jackson Lewis P.C.·

Early in 2015, the FBI launched a new program aimed at routing out foreign bribery in which it established three dedicated international corruption squads, based in New York City, Los Angeles, and Washington, D.C. The FBI reported that members of these three squads—agents, analysts, and other profes

Justice Department Announces Recovery Of Over 3.5B From False Claims Act Cases In Fiscal Year 2015

Jackson Lewis P.C.·

The Justice Department announced that it secured over $3.5 billion in settlements and judgments from civil cases involving fraud against the government in the fiscal year ending September 30, 2015 (“FY2015”). This is the fourth year in a row that the Justice Department has recovered more than $3.5 b

The DOJ on D&O: What You Need to Know

Goldberg Segalla·

In September the Department of Justice released its new directive on individual accountability for corporate wrongdoing in a revived effort to fight corporate fraud. The “Yates Memo” by Deputy U.S. Attorney General Sally Quillian Yates, outlines the DOJ’s policy on targeting and pursuing corporate e

Survey Finds that Many Companies Fall Short in their Anti-Corruption Compliance Programs

Littler·

The findings from a 2013 survey of “International Business Attitudes to Corruption” conducted by Control Risks and the Economist Intelligence Unit, two independent international business risks and opportunities consultancy firms, suggest that many companies are unprepared to handle a corruption scan