WHISTLEBLOWERS. Agenda

Similar documents
WHISTLEBLOWERS. Agenda. Qui Tam Timeline. Sarbanes-Oxley. Qui Tam Timeline. Star Wars. Civil War WWII

WHISTLEBLOWERS. Labor and Employment Briefing May 19, 2016 Robert E. Hauberg, Jr.

Whistleblowing Under the False Claims Act

Whistleblowing: What Compliance Professionals Need to Know

Whistleblowing: What Compliance Professionals Need to Know

NewYork-Presbyterian Hospital Sites: All Centers Hospital Policy and Procedure Manual Number: D160 Page 1 of 8

This Webcast Will Begin Shortly

SOUTH NASSAU COMMUNITIES HOSPITAL One Healthy Way, Oceanside, NY 11572

Corporate Whistleblower Developments Mark Oakes Partner Fulbright & Jaworski LLP June 10, 2014

Corporate Compliance Topic: False Claims Act and Whistleblower Provisions

This policy applies to all employees, including management, contractors, and agents. For purpose of this policy, a contractor or agent is defined as:

Effective Date: 1/01/07 N/A

Clinical and Administrative Policies and Procedures

Whistleblower Incentive Program What it Will Mean to You

EMPLOYMENT. Westlaw Journal Formerly Andrews Litigation Reporter

AGENCY POLICY. IDENTIFICATION NUMBER: CCD001 DATE APPROVED: Nov 1, 2017 POLICY NAME: False Claims & Whistleblower SUPERSEDES: May 18, 2009

Cardinal McCloskey Community Services. Corporate Compliance. False Claims Act and Whistleblower Provisions

FRAUD, WASTE, & ABUSE (FWA) for Brokers. revised 10/17

The Whistleblower Provisions of the Sarbanes-Oxley Act of 2002 by George R. Salem and Laura M. Franze

Fried, Frank, Harris, Shriver & Jacobson August 26, 2003

Defending Corporations and Individuals in Government Investigations Ethics & Whistleblower Issues In Investigations

COMPLIANCE DEPARTMENT. LSUHSC-S Louisiana State University Health Sciences Center Shreveport ACKNOWLEDGEMENT RECEIPT

SEC Adopts Final Rules on the Dodd-Frank Whistleblower Program But Is This a Game Changer?

False Claims Liability, Anti-Retaliation Protections, and Detecting and Responding to Fraud, Waste, and Abuse

Section (Primary Department) Medicaid Special Investigations Unit. Effective Date Date of Last Review 01/30/2015 Department Approval/Signature :

Committee Secretary Parliamentary Joint Committee on Corporation and Financial Services PO Box 6100 Parliament House Canberra ACT 2600

SEC Whistleblowing Program Post- Dodd-Frank: A Review for Internal Auditors. Marinilka B. Kimbro PhD

SUNY DOWNSTATE MEDICAL CENTER POLICY AND PROCEDURE. No:

Anti-Fraud Policy. The following non-exhaustive list provides a few examples of fraud that this Policy is designed to prevent and detect:

Corporate Compliance Program. Intended Audience: All SEH Associates 2016 Content Expert: Lisa Frey -

Effective Date: 5/31/2007 Reissue Date: 10/08/2018. I. Summary of Policy

Federal and State False Claims Act Education Policy

REPORTING UNETHICAL BEHAVIOR AND FINANCIAL AND ACCOUNTING CONCERNS (WHISTLEBLOWER POLICY)

POLICY & PROCEDURE. Policy Title: False Claims Prevention Effective Date: 3/20/2013. Department: Compliance Policy Number: N/A

Agenda 4 Key Questions

What the Supreme Court s Whistleblower Decision Means for Companies

Articles. SEC Proposes New Whistleblower Rules Under the Dodd-Frank Act of Eric R. Markus December 2, 2010

FEDERAL DEFICIT REDUCTION ACT POLICY

Peoples Bank SB Complaint Reporting Policy

FALSE CLAIMS ACT ENFORCEMENT: RECENT TRENDS AND STEPS TO ENSURE COMPLIANCE AND AVOID FRAUD ALLEGATIONS

Avoiding Individual Liability: Navigating Whistleblower, Corruption, and Financial Reporting Matters May 5, 2016

Whistleblower Law Update

BOYD GAMING CORPORATION. CODE OF BUSINESS CONDUCT AND ETHICS (As Amended July 19, 2017)

DEFICIT REDUCTION ACT AND FALSE CLAIMS POLICY INFORMATION FOR All NEW YORK WORKFORCE MEMBERS

Federal Deficit Reduction Act of 2005, Section 6032 on Fraud, Waste, and Abuse

WYOMING PRIMARY CARE ASSOCIATION (WYPCA) Document Destruction and Whistle-Blower/Code of Conduct Policy

This Webcast Will Begin Shortly

What Real Estate Lawyers Need to Know About the Sarbanes-Oxley Act of 2002

Impact on FCPA Compliance Enhancing Internal Reporting Procedures and Meeting New Investigation and Disclosure Challenges

2017 Renne Sloan Holtzman Sakai Public Law Group 1

THE ENFORCEMENT POWERS OF THE CONSUMER FINANCIAL PROTECTION BUREAU JONATHAN FOXX President and Managing Director Lenders Compliance Group, Inc.

What To Do When The Feds Come Knocking. Christine Williams Dave Taylor

The False Claims Act. False Claims Act Basics (I)

DEFICIT REDUCTION ACT AND FALSE CLAIMS POLICY INFORMATION FOR All MASSACHUSETTS WORKFORCE MEMBERS

Anti-Kickback Statute and False Claims Act Enforcement

Whistle Blowing. Raising Concerns

Mark Bartlett Davis Wright Tremaine LLP

This Webcast Will Begin Shortly

Accountability Report Card Summary 2013 Hawaii

False Claims Act and Whistleblower Protections

BAY-ARENAC BEHAVIORAL HEALTH AUTHORITY POLICIES AND PROCEDURES MANUAL

False Claims Prevention

Whistleblowing in the Dodd- Frank Era: The Perfect Storm

Self Funded Provider Manual. Self Funded Provider Manual 1. Section 8: Compliance

Institutional Compliance New Employee Orientation 2017

D E B R A S C H U C H E R T, C O M P L I A N C E O F F I C E R

JAMAICA HOSPITAL MEDICAL CENTER

THE NEW YORK FOUNDLING

CODE OF CONDUCT AND ETHICS OF URBAN OUTFITTERS, INC.

Gregory Keating. Practice Group Leader PRACTICE FOCUS. EDUCATION Boston College Law School JD, 1993, cum laude. Trinity College BA, 1987

Complaint Procedures for Accounting and Auditing Matters

November 1, 2010 NEW ROBUST RETALIATION PROTECTIONS FOR WHISTLEBLOWERS

MEDISYS AMBULANCE SERVICES, INC.

Eric H. Cottrell Partner

Whistleblower Policy

Protecting Your Company and Executives from FCPA Liability in Jonathan T. Cain Aaron M. Tidman

Whistleblowing Policy & Procedures. GFH Financial Group

Conducting Internal Investigations: Staying Ethical in a Cost-Effective World November 7, 2014

Co r p o r at e a n d

C. Enrollees: A Medicaid beneficiary who is currently enrolled in the MCCMH PIHP.

Act language and concepts. David T. Mittelman

NEXUS UGANDA Ltd. WHISTLE BLOWING POLICY OCTOBER 2015

Ten Questions About Internal Investigations

CODE OF CONDUCT AND ETHICS OF URBAN OUTFITTERS, INC.

What is a Compliance Program?

SEC Proposes Rules To Implement Dodd-Frank Whistleblower Provisions

Whistleblower Update MAPI LAW COUNCIL MEETING FALL Miriam Fisher Eric Swibel November 9, 2017

INTERGLOBE AVIATION LIMITED WHISTLE BLOWER POLICY AND VIGIL MECHANISM

Whistleblower Claims on the Rise

EFFECTIVE DATE November 1, ISSUED BY: Compliance and Legal Department APPROVED BY: Board of Directors

New Federal Initiatives Project. FERA 2009 Brings U.S. Broad New Government Enforcement Powers

The False Claims Act and Financial Institutions: A New Role for an Old Statute

EDGE. Who s Afraid of Sarbanes-Oxley?

Second and Fifth Circuits Split on Who is Entitled to Whistleblower Protection Under Dodd-Frank

Code of Conduct. This Code of Conduct covers all associates. When appropriate, it also covers all members of the Company's Board of Directors.

CODE OF BUSINESS CONDUCT AND ETHICS

PROPOSED AMENDMENTS TO THE FALSE CLAIMS ACT

Risk Oversight Committee

FCPA Investigations The Pitfalls and the Pendulum. November 10, 2010

ARNOLD & PORTER ADVISORY

Transcription:

WHISTLEBLOWERS AN HISTORICAL OVERVIEW FROM THE CIVIL WAR TO DODD-FRANK PAUL FIORELLI, J.D., M.B.A.,C.C.E.P PROFESSOR OF LEGAL STUDIES, XAVIER UNIVERSITY FIORELLI@XAVIER.EDU, (513)745-2050 1 Agenda BOUNTY Qui Tam Timeline Dodd-Frank PROTECTION Sarbanes-Oxley Dodd-Frank 2

Qui Tam Timeline Civil War 1863 1943 Star 2009 Wars Today WWII 1986 3 Qui Tam Timeline Shoddy - poor sleezy stuff, woven open enough for sieves, and then filled with shearman s dust... Soldiers, on the first day s march or in the earliest storm, found their clothes, overcoats, and blankets, scattering to the wind in rags or dissolving into their primitive elements of dust under the pelting rain. Civil War Today 4

Qui Tam Timeline Civil War Today 5 Qui Tam Timeline You can sell anything to the government at almost any price you ve got the guts to ask. Civil War Jim Fisk Today 6

Qui Tam Timeline False Claims Act passed by Congress on March 2, 1863 Before the FBI and DoJ Private bar brought lawsuits on behalf of the government "qui tam pro domino rege quam pro se ipso in hac parte sequitur," he who brings an action for the king as well as for himself." Double damages fines, plus $2,000 civil fine per violation Relator entitled to 50% of the amount recovered Civil War Today 1863 7 Qui Tam Timeline Professional Relators Waited outside courthouse After Government filed criminal claim they copied this information into a Civil False Claims Actions Collecting 50% of the Government s claim 1943 WWII Today 8

Qui Tam Timeline Congress changed FCA Give DoJ supporting evidence DoJ had 60 days to intervene Relator could receive fair & reasonable compensation 10% cap if Government intervened 25% if they did not 1943 WWII Today 9 Qui Tam Timeline Strategic Defense Initiative doubled Defense spending, fraud also increased 1986 FCA Amendments From $2,000 to $10,000 per violation From Double to Triple damages Relator - increased from 10% cap to 10-20% if the government intervened Increased from 10-25% to 20-35% Star Wars 1986 Today 10

Qui Tam Timeline Awards Fraud Enforcement and Recovery Act (FERA) Troubled Asset Relief Program (TARP) Congress wanted to make sure individuals could sue, unscrupulous mortgage brokers and Wall Street financiers. 2009 Today FERA 11 Qui Tam Awards Qui Tam Awards 10000000000 9767949095 7500000000 5000000000 2500000000 4149188395 5888379685 0 1085574146 128468802 1987-1991 1992-1996 1997-2001 2002-2006 2007-2011 Fraud Statistic - Overview, October 1, 1987-September 30, 2011, Civil Division, U.S. Department of Justice http://www.crowell.com/pdf/falseclaimstat.pdf 12

WHISTLEBLOWER PROTECTION Sarbanes-Oxley Dodd- Frank 13 Sarbanes-Oxley I ve seen a mini-explosion of whistleblower claims by people who are marginal performers, if not malingerers. Victor Schacter, employment partner, Fenwick & West Once high-performing, well-respected employees blow the whistle, suddenly they become, in retrospect, terrible, if not incompetent, employees. Jeffrey Ross, plaintiffs attorney, Dickson Ross 14

Sarbanes-Oxley 301 806 1107 15 Section 301 Audit Committees of Publicly held companies Establish procedures for the receipt, retention & treatment of complaints Re: accounting, internal accounting controls, or auditing matters Confidential, anonymous reporting 16

Section 806 18 USC 1514A (2005) - Whistleblower Protection (Sec. 806) No publicly traded company will discharge, demote or threaten an employee who reasonably believes a securities fraud or SEC violation has occurred, and reports to: Federal regulatory or law enforcement agency Member of Congress or Congressional committee Supervisor or person with authority to investigate File with D.O.L. (OSHA handles investigation and prosecution) Entitled to compensatory damages, reinstatement, back pay (with interest), litigation expenses and reasonable attorneys fees 17 Section 1107 Whoever knowingly with the intent to retaliate, takes ANY ACTION harmful to ANY PERSON, including interference with the lawful employment or livelihood of ANY PERSON for providing to the law enforcement officer ANY TRUTHFUL INFORMATION relating to the commission, or possible commission of ANY FEDERAL OFFENSE, shall be fined under this title, or imprisoned for not more than 10 years, or both. 18 USC 1513 - Retaliating against a witness, victim or informant. 18

Dodd-Frank 922 of Dodd-Frank amended Securities Exchange Act of 1934 19 922 Bounty Provision Anti-retaliation provisions 20

922 - Bounty Amended Securities Exchange Act of 1934 If SEC levies sanction exceeding $1,000,000 Whistleblower providing original information entitled to 10-30% of the sanctions imposed Applies to both public and private companies 21 922 - Bounty Whistleblower may report to the SEC without reporting internally first May create a tension, and incentive to let problems fester, to grow larger for bigger bounty 22

Dealing with Concerns Possible Problem Identification Contact your supervisor Contact the Director of Operational Risk or Employee Relations Contact your supervisor s supervisor May 25, 2011 SEC Adopts Rules for Whistleblowers under Dodd-Frank Contact the Helpline/Hotline 23 SEC COMPLIANCE LINE 24 24

25 25 26 26

922- Anti-retaliation Protection of Whistleblowers No employer may discharge, demote, suspend, threaten, harass... or discriminate against a whistleblower... Relief Reinstatement with same seniority 2 x back pay owed litigation costs, expert witness, reasonable attorneys fees 27 28

29 Action Items Increase Awareness Promote a sense of Agency Help Employees Feel Secure Help Employees Develop a Sense of Connectedness 30

Awareness resources available to employees who have questions Behaviors the company considers wrong (for managers) the situations that constitute reports of misconduct 31 Agency Demonstrate to employees that they make a difference when they report Communications campaign Acknowledge and reward reporter s courage 32

Security Communicate the well-being of the company Provide resources to seek advice In high risk situations, give increased support Provide stories about those who reported, and were supported by the company 33 Connectedness Give opportunities for employees to connect around common interests in ethics Support employee involvement in their communities 34

Support Train managers to respond to reports Develop ombuds programs Provide rewards to employees who report Offer support to families of employees who report misconduct 35 Listening to the Quietest Voice in the Room If everyone has a sense of long-term stewardship over our assets every day, then people will also start to speak up more if they have concerns. I want us to sharpen our everyday attitude to operational and technical risk, to ensure it is the norm for people on the frontline to speak about risk, and for managers to listen. Bob Dudley, CEO of BP Replaced former CEO, Tony Haywood July 27, 2010 I don t assume that I always know the answer to something. I can draw on years of experience and intuition, but we need to be constantly enquiring and learning and listening to everyone including the quietest voice in the room. We have to keep thinking the unthinkable be it operational, financial or compliance risk. Nobody has all the answers. Only by working together and making the most of everyone s capabilities will we begin to move the company forward. 36

ALL THAT IS NECESSARY FOR EVIL TO TRIUMPH IS FOR GOOD MEN (AND WOMEN) TO DO NOTHING. EDMUND BURKE 37 ANY QUESTIONS? Please Contact Paul Fiorelli Fiorelli@xavier.edu (513)745-2050 38