New DOJ guidance on executive compensation, compliance programs, and monitor selection

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In March, the Criminal Division of the U.S. Department of Justice (DOJ) announced several policy updates consistent with the initiatives announced in the September 2022 memorandum by Deputy Attorney General Lisa O. Monaco (the Monaco Memo).[1] Specifically, DOJ released:

  • A three-year “Compensation Incentives and Clawbacks Pilot Program” that will go into effect on March 15, 2023;[2]

  • Updated guidance on the Evaluation of Corporate Compliance Programs;[3] and

  • A “Revised Memorandum on Selection of Monitors in Criminal Division Matters” (the Monitor Memo).[4]

The clawbacks pilot program and elements of the updated Evaluation of Corporate Compliance Programs provide more details regarding DOJ expectations related to the role of incentives and clawbacks in compliance programs and as part of remediation during DOJ investigations of potential wrongdoing by companies. The pilot program also offers companies potential benefits in DOJ penalty calculations if companies pursue clawbacks of compensation from employees deemed responsible for conduct under investigation. 

The Evaluation of Corporate Compliance Programs also provides additional details regarding DOJ expectations of companies’ management of corporate data on employees’ personal devices and when using third-party applications—especially those with end-to-end encryption or features that automatically delete communications. DOJ continues to emphasize that enforcement authorities consider companies’ abilities to produce such data during investigations to be a key component in DOJ assessments of whether such companies have fully cooperated. 

The Monitor Memo updates DOJ’s policies on monitor selection and management to conform with policies announced by the Monaco Memo, such as including self-disclosure as a factor in determining whether a monitor is necessary and confirming that “prosecutors should not apply presumptions for or against monitors.”

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