It’s been awhile since we thanked those responsible for keeping the FCPA Blog running. To say we’re grateful is an understatement.
We’re overwhelmed that so many are willing to pitch in. It reminds us constantly how fortunate we are to be tending this small patch.
Our sponsors are cheerful, encouraging, and always upbeat. Some have been with us for years now, others joined more recently. But without exception they stand shoulder to shoulder with us.
Our readers not only take the time to visit, they bring news about what’s happening in the compliance world. We couldn’t possibly keep up without their hints, tips, and suggestions. And when we need to be pointed in a new direction, they do that — with courtesy and thoughtfulness. This week, for example, some let us know that our response to the U.K.’s delay in implementing part of the Bribery Act was too negative. The reminders set us straight and restored our basic optimism.
Our growing group of contributors never fail to wow us. They’re true experts who deliver on time — with facts and ideas that change the way we see things.
Finally, our sincere thanks to the people behind the other FCPA-related websites and blogs. We couldn’t ask for more generous colleagues or better friends to work with.
See you Monday.