
Advice

The New DOJ Position on Self-Disclosure Demands High-Functioning Compliance
- Information governance
In remarks to an industry group, Matthew R. Galeotti, head of the Department of Justice (DOJ) Criminal Division, emphasized that companies may avoid criminal resolutions if they voluntarily self-disclose misconduct, fully cooperate with the government, remediate promptly, and do not present aggravating factors.
This statement underscores a shift in DOJ enforcement posture — potentially avoiding criminal exposure for companies, their executives, and employees. Self-disclosure is not a free pass and companies that come forward should be prepared to demonstrate the effectiveness of their compliance programs. Disclosure opens a dialogue with the DOJ, not a monologue — questions will be asked, and follow-up is likely.
For nearly a decade, DOJ prosecutors have examined the design and performance of corporate compliance programs. While leadership changes with new administrations, prosecutors remain well-equipped to assess whether a company has the right culture, controls, and commitment to compliance. Meanwhile, multinational corporations must navigate increased enforcement efforts by foreign regulators in coordination with U.S. authorities.
Importantly, enforcement priorities shift. In less than four years, a new administration could reintroduce aggressive stances or roll back current policies.
The window of opportunity for reform and investment is now.
A Call to Action for Leadership
Independent Directors, executive leaders, General Counsels, and Chief Compliance Officers should ask themselves:
“Do we have the culture, awareness, and internal controls to prevent, detect, and respond to misconduct?”
If the answer is uncertain, now is the time to invest. A strong compliance function is more than a legal safeguard — it’s a business enabler and strategic differentiator.
Learn more about Epiq Regulatory Compliance Solutions.
Jerry Kral co-leads the Epiq Compliance Advisory and Technology Practice, based in Epiq’s Chicago office.
For over 25 years, Jerry has served as a trusted advisor to General Counsel and Chief Compliance Officers, helping to establish, enhance, and automate risk-based compliance programs and infrastructure. Jerry understands that an effective compliance program is grounded in trust and driven by collaboration, transparency, and mutual respect.
Drawing on his expertise in communication, project management, and data analytics, Jerry helps organizations assess, build, and operate strong, scalable compliance programs. He has deep knowledge of controls that mitigate and provide insight into anti-corruption and fraud, conflicts of interest, human rights, privacy, and trade sanctions.
Jerry has been recognized by Compliance Week as a “Top Mind” in the field and holds a B.S. in Economics from Grinnell College.
The contents of this article are intended to convey general information only and not to provide legal advice or opinions.