Please ensure Javascript is enabled for purposes of website accessibility

Author Archives: david.gebler

The SEC Wants Your Company To Be 'Cultured' – Creating an Effective Compliance Program

For many corporate counsel, “culture” and “compliance” seem to be mutually exclusive concepts. Culture is squishy and conceptual. Compliance is definitive and measurable. Follow the seven steps in the Federal Sentencing Guidelines, and, voila, you have a compliance program. Why ...

Read More »