In a recent speech, John Cronan, the Principal Deputy Assistant Attorney General of the DOJ’s Criminal Division, explained how the DOJ’s approach to FCPA cases is being applied to other types of corporate conduct, strengthening the agency’s focus on robust compliance. The Anti-Corruption Report sorts out the details. See also our three-part series on the DOJ’s FCPA Corporate Enforcement Policy: “What’s New and What’s Not” (Jan. 10, 2018); “How Important Is the Presumption of Declination?” (Jan. 24, 2018); and “Cooperation and Compliance Expectations” (Feb. 7, 2018).