Larry Buterman (left) from Chadbourne & Parke’s New York office sent us an article he published in the Bloomberg Law Reports. It explains why the Justice Department’s enforcement actions in the U.N. oil for food cases don’t allege antibribery offenses under the Foreign Corrupt Practices Act. The reason: the kickbacks typically went directly to the Iraqi government and not to foreign officials. “[B]y their express terms,” he says, “the FCPA’s antibribery provisions apply only to payments made to those connected to the government. Payments to a government itself, in contrast, are not covered by the FCPA.” (Also see our post here.)
The oil for food program probably helped a lot of average Iraqis. But it also funded the pre-war regime in a systematic, unaccountable and illegal way. Buterman says, “According to a United Nations’ Independent Inquiry Committee, between 1999 and 2003, over 2,200 separate companies abused the [program] by making improper payments, totaling over $1.5 billion, to the Iraqi government in order to obtain goods contracts.” The entities charged with violations have settled, taken deferred prosecution agreements, and paid about $170 million in fines, penalties and disgorgements. “And,” he says, “given the DOJ’s July 31, 2009 announcement that it plans to seek extradition of Ousama Naaman—a Canadian national charged with violating the FCPA in connection with the OFFP—it appears the government’s vigorous enforcement efforts in the area are continuing.”
We turned to footnote 3 in the article for the following list of OFFP-related enforcement actions by the DOJ and SEC (we’ve added last week’s case involving AGCO Corporation). The Netherlands, Denmark, and the U.K have also punished companies for violating the U.N. Iraqi sanctions.
Here’s the DOJ / SEC list (with related cases grouped together and linked to our original posts):
U.S. v. AGCO Limited, No. 09-cr-00249 (D.D.C. 2009); U.S. Sec. & Exch. Comm’n v. AGCO Corporation, No. 09-cv-01865 (D.D.C. 2009) (here)
U.S. v. Novo Nordisk A/S, No. 09-cr-00126 (D.D.C. 2009); U.S. Sec. & Exch. Comm’n v. Novo Nordisk A/S, No. 09-cv-00862 (D.D.C. 2009) (here)
U.S. v. Naaman, No. 08-cr-00246 (D.D.C. 2008); U.S. v. CNH Frances S.A., No. 08-cr-00379 (D.D.C. 2008) (here)
U.S. v. CNH Italia S.p.A., No. 08-cr-00378 (D.D.C. 2008); U.S. v. Iveco S.p.A., No. 08-cr-00377 (D.D.C. 2008); U.S. Sec. & Exch. Comm’n v. Fiat S.p.A., No. 08-cv-02211 (D.D.C. 2008) (here)
U.S. v. Volvo Constr. Equip., AB, No. 08-cr-00069 (D.D.C. 2008); U.S. v. Renault Trucks SAS, No. 08-cr-00068 (D.D.C. 2008); U.S. Sec. & Exch. Comm’n v. AB Volvo, No. 08-cv-00473 (D.D.C. 2008) (here)
U.S. Sec. & Exch. Comm’n v. Flowserve Corp., No. 08-cv-00294 (D.D.C. 2008) (here)
U.S. Sec. & Exch. Comm’n v. Akzo Nobel, N.V., No. 07-cv-02293 (D.D.C. 2007) (here)
U.S. Sec. & Exch. Comm’n v. Chevron Corp., No. 07-cv-10299 (S.D.N.Y 2007) (here)
U.S. v. Ingersoll-Rand Italiana S.p.A., No. 07-cr-00294 (D.D.C. 2007); U.S. Sec. & Exch. Comm’n v. Ingersoll-Rand Co. Ltd., No. 07-cv-01955 (D.D.C. 2007) (here)
U.S. v. York Int’l Corp., No. 07-cr-00253 (D.D.C. 2007); U.S. Sec. & Exch. Comm’n v. York Int’l Corp., No. 07-cv-01750 (D.D.C. 2007) (here)
U.S. Sec. & Exch. Comm’n v. El Paso Corp., 07-cv-00899 (S.D.N.Y. 2007) (here)
U.S. Sec. & Exch. Comm’n v. Textron Inc., No. 07-cv-01505 (D.D.C. 2007) (here)
A copy of “Enforcement Without a Violation: FCPA Lessons From the Government’s Investigation Into the Oil for Food Program,” by Lawrence E. Buterman, originally published in the Vol. 1, No. 3 edition of the Bloomberg Law Reports—White Collar Crime, can be downloaded here.
RIP Craig Johnson. A founder of both Venture Law Group and, more recently, Virtual Law Partners, Craig was an inspirational figure in Silicon Valley and far beyond. He was many things — great lawyer, venture capitalist and entrepreneur. With Guy Kawasaki and Rich Karlgaard he co-founded the influential Garage Technology Ventures. We knew him as a warm and engaging colleague, a man with the courage to think for himself; to many others he was a generous, good-humored mentor, unstinting with his encouragement. Our sympathies to his wife, RoseAnn Rotandaro, and his entire family.