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The Department of Justice recently updated its guidance, leaving many corporate leaders and their counsel wondering whether their compliance programs will measure up. In Bloomberg Law, Michele Edwards and Stephen Martin outline four key takeaways and offer practical steps to best-position organizations to mitigate risk around fines, penalties, monitors or other reporting obligations that can result from government investigations.

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About the Authors

Michele Edwards

Michele Edwards

Michele Edwards, a Partner with StoneTurn, has approximately 20 years of combined experience in fraud and compliance risk management and financial statement auditing. She specializes in assessing, implementing and remediating […]

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Stephen Martin

Stephen Martin

Stephen Martin, a Partner with StoneTurn, has more than 20 years of experience in compliance & monitoring, risk assessment, and corporate internal investigations, often in connection with regulatory inquiries. Stephen […]

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