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To complete the assignment you will need the U.S. Department of Justice, Criminal Division, Evaluation of Corporate Compliance Programs (updated June 2020) memo. Assume that

To complete the assignment you will need the U.S. Department of Justice, Criminal Division, Evaluation of Corporate Compliance Programs (updated June 2020) memo. Assume that you are the head of compliance and risk management at Multi-Faceted, Inc. ("Multi-Faceted"), a Delaware corporation with diamond, gold, and uranium mining operations in the United States and 19 other countries, spread out over four continents. In order to be able to mine diamond, gold, and uranium, Multi-Faceted has had to enter into agreementsmining concessionswith the governments of each of these 19 countries. Negotiating a mining concession outside of the U.S. is a difficult, often drawn-out process. A U.S. company, such as Multi-Faceted, seeking a mining concession must usually compete with myriad other foreign and domestic companies vying for the same concession. Mining and other government officials in some countries routinely ask for quid pro quos (aka: side-payments or bribes) in return for their "helping make negotiations go more smoothly" and "helping increase the likelihood of a successful negotiation." Multi-Faceted is listed on the New York Stock Exchange and is registered with the SEC pursuant to the Securities Exchange Act of 1934. Multi-Faceted has been subject to two major criminal penalties in the last yearone for violation of the Sarbanes-Oxley Act (the provisions studied in this class) and the second for violation of the Foreign Corrupt Practices Act (FCPA). The board of directors has handed you a copy of the U.S. DEPARTMENT OF JUSTICE, CRIMINAL DIVISION, EVALUATION OF CORPORATE COMPLIANCE PROGRAMS (updated June 2020) memo (the "Justice Department Memo") and asked you to answer the two questions set forth below. Question 1 Read carefully the first substantive section of the Justice Department MemoIs the Corporation's Compliance Program Well-Designed? (Justice Department Memo pp. 2-9). Describe the three compliance program design issues from this first section of the Justice Department Memo that you believe are the most important for addressing Multi-Faceted potential future criminal liability issues related to: The Sarbanes-Oxley Act, and The FCPA For each of the three compliance program design issue that you choose, explain why you believe that compliance program design issue is important for a company like Multi-Faceted. In doing so, make sure that you refer to either the Sarbanes-Oxley Act or the FCPA (or both). Also make sure that you support your arguments with specifics facts related to: Multi-Faceted (its type of business, location of operations, etc.) and The negotiation of mining concessions. Please include the following heading in answering Question 1: Question 1: Compliance Program Design Issue #1 for Multi-Faceted Compliance Program Design Issue #2 for Multi-Faceted Compliance Program Design Issue #3 for Multi-Faceted Question 2 Note: your answer to Question 2 . "Having an integrated governance, compliance, and risk management system helps corporations reduce the risk of being subject to FCPA criminal " Please write a 2 memo to convince the board of directors that this statement is true. In doing so please make use of: The materials in the last two sections of the Justice Department Memo Is the Corporation's Compliance Program being Implemented Effectively? pp. 9-14, and Does the Corporation's Compliance Program Work in Practice? pp. 14-18) Please include the following heading in answering Question 2: Question 2: Is the Corporation's Compliance Program being Implemented Effectively? Does the Corporation's Compliance Program Work in Practice?

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