New ISO Anti-Bribery Standard – Will It Give Companies An Absolute Defense?

ISO has published its new international anti-bribery standard, ISO 37001. You can find select information about the new standard HERE and at http://http://www.iso.org/iso/home/standards/management-standards/iso37001.htm .

The short PowerPoint presentation in part says:

The Standard benefits an organization by providing:

  • Minimum requirements and supporting guidance for implementing or benchmarking an anti-bribery management system
  • Assurance to management, investors, employees, customers, and other stakeholders that an organization is taking reasonable steps to prevent bribery
  • Evidence in the event of an investigation that an organization has taken reasonable steps to prevent bribery.

SO HERE’S AN INTERESTING QUESTION: will compliance with the standard give the company a free pass on bribery liability with the SEC and other state and federal entities and agencies if in fact a bribery occurs? I bet not. However, consider that generally liability does not result unless the person or entity charged has breached or failed to satisfy the applicable standard or duty of care (except in select situations, e.g., such as strict liability or products liability, etc.), and that breach or failure causes damages. Thus, if the applicable standard becomes ISO 37001, and if that standard is met or satisfied, it certainly is arguable that no fault or liability should result if a bribery occurs.

Best to you, Dave Tate, Esq., San Francisco and California. See also Tate’s Excellent Audit Committee Guide (updated October 2016), tates-excellent-audit-committee-guide-10202016-final-with-appendix-a

The Business Judgment Rule – a short animation (for fun, but also correct):

Audit Committee 5 Lines of Defense 07182016

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The Kroll 2016 Anti-Bribery And Corruption Report – Worthwhile Reading for D&O And Audit Committees

Below are a couple of snapshots from the Kroll 2016 Anti-Bribery and Corruption Report. The Report is worthwhile reading for audit committees, officers, directors and corporate counsel if for no other reason than to jog the thought process. The Report is 36 pages, but the below snapshots, for example, should by themselves prompt some diligence and compliance thoughts. Below the snapshots I have provided a link to the Report, along with a link to Tate’s Excellent Audit Committee Guide.

Kroll 2016 Anti-Bribery and Corruption Report Slide 1

Kroll 2016 Anti-Bribery and Corruption Report Slide 2

Kroll 2016 Anti-Bribery and Corruption Report Slide 3

The following page from Kroll contains a link to the full report – you don’t need to provide any additional information, simply click the link on the page, http://www.kroll.com/en-us/intelligence-center/press-releases/2016-anti-bribery-corruption-report-Toronto

See also Tate’s Excellent Audit Committee Guide, updated January 3, 2016, at http://wp.me/p75iWX-q

Dave Tate, Esq., San Francisco and California

Audit Committee 5 Lines of Defense 02132016 David W. Tate, Esq.

 

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