SEC whistleblower bounties: ten things companies can do right now to stay ahead
Abstract
Purpose
The purpose of this paper is to recommend proactive measures that companies should take to manage reports of securities violations under the SEC's new whistleblower program.
Design/methodology/approach
The paper explains the whistleblower bounty program and recommends ten proactive measures that companies should consider.
Findings
Companies have an incentive to investigate reports of potential violations quickly while also ensuring compliance with the anti‐retaliation protections.
Practical implications
Companies should take steps now to bolster internal reporting and investigative procedures and encourage employees to utilize internal reporting mechanisms.
Originality/value
The paper provides expert advice from experienced securities and financial services lawyers.
Keywords
Citation
McLucas, W.R., Wertheimer, L.S., Robinson, A.J., Jo Johnson, M., White, T.W., Rosenfeld, J.D., Dube, M.R. and June, A.M. (2012), "SEC whistleblower bounties: ten things companies can do right now to stay ahead", Journal of Investment Compliance, Vol. 13 No. 1, pp. 39-40. https://doi.org/10.1108/15285811211216709
Publisher
:Emerald Group Publishing Limited
Copyright © 2012, Emerald Group Publishing Limited