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White Collar: Government Litigation and Investigations Update

Implications of the U.S. DOJ's Corporate Voluntary Self-Disclosure Policy

February 22, 2023

On February 22, 2023, the U.S. Department of Justice (DOJ) issued a Corporate Voluntary Self-Disclosure Policy (VSD Policy) to formalize its efforts to incentivize voluntary self-disclosure. The VSD Policy builds on DOJ’s revised Corporate Enforcement and Voluntary Self-Disclosure Policy (CEP) from January 2023, covered in detail here. The VSD Policy applies to all United States Attorney’s Offices (USAOs) and is effective immediately.

The new VSD Policy codifies a host of substantial benefits afforded to companies that voluntarily and timely self-disclose misconduct to DOJ. Perhaps unsurprisingly, companies seeking those benefits must meet exacting requirements. Companies should scrutinize whether the situation before them warrants disclosure to the government and, if so, should plan to make any such disclosure expeditiously.

Along with analyzing the rationale underlying the VSD Policy, the applicable standard, and potential benefits to the companies that engage in VSD, this Update also provides key considerations when assessing whether to voluntarily self-disclose known misconduct to DOJ.

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Senior Managing Associate Ankur Shingal contributed to this Sidley Update.

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