Covington & Burling has translated into Chinese the DOJ’s April 2019 Guidance Document for the Evaluation of Corporate Compliance Programs.
Covington’s unofficial translation includes both English and Chinese.
It can be found here (pdf).
Our thanks to Covington & Burling and Eric Carlson, a contributing editor of the FCPA Blog and Covington partner based in Shanghai, for making this resource available to readers of the FCPA Blog.
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Harry Cassin is the publisher and editor of the FCPA Blog.
1 Comment
It would be great if it were also translated into Spanish!!!! Thanks
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