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WASHINGTON DC | NORTHERN VIRGINIA | NEW JERSEY | NEW YORK | DALLAS | DENVER | ANCHORAGE | DOHA | ABU DHABI
Government Investigations – an Inspector General’s perspective
Robert K. Tompkins & Clark K. ErvinPatton Boggs, LLPOctober 29, 2013
INSPECTOR GENERAL PURPOSE, FUNCTIONS, AND POWERS
• What is an Inspector General and what is the IG’s purpose?
• Types of reviews IGs may conduct• Auditing and other standards IGs follow• IG powers• Role with respect to other investigative
bodies and decision-makers
WHAT TO DO IF AN IG CONTACTS YOUR COMPANY
• Engage counsel and define counsel’s role • Designate counsel as the primary point of
contact • Counsel should politely attempt to open and
control the dialogue (but remember, the IG may have the right to interview employees and others without you)
WHAT TO DO…(cont.)
• Understand what type of inquiry is being conducted (program review, audit, investigation, etc.)
• Determine, as best you can, the scope and subject matter the IG is interested in
• Determine, if you can, what prompted the inquiry (a whistleblower? Is this part of a broader inquiry?)
ENGAGING COUNSEL AND OTHER SUPPORT
• IG investigations are very different than litigation; In addition to investigative experience, counsel should have: – knowledge of the program (i.e. SBA, government
contracting, etc.), – the statutes and regulations, – the broader policy backdrop.
SELECTING COUNSEL (cont.)
• When: right away and almost certainly before contacting the IG directly.
• Let your counsel act as a buffer with the IG; counsel can probe the IG in ways you may not be able to.
• It may be necessary and prudent to hire other professionals, such as an accountants, this should be done through counsel.
MANAGING THE PROCESS INTERNALLY
• Consider a document hold notice and/or information preservation process
• The IG may know more than you, so it’s important to conduct your own parallel internal investigation (see below)
• BUT…Be prepared to share your findings
INTERNAL INVESTIGATION
• Sources of information: internal and external• Preserving information and documenting the
review• Be mindful that your findings likely must be
disclosed– Mandatory Disclosure requirements; – suspension and debarment considerations; – federal sentencing guidelines
ACTING ON INFORMATION
• Be proactive:– Assess compliance – is there a violation? Is there
a difference of interpretation of program rules or requirements?
– Assess internal controls – can they be enhanced?– Determine the need for corrective action, and take
it where appropriate– Communicate your efforts to the IG
MANAGING THE RELATIONSHIP WITH THE IG -- SOME COMMON ISSUES
• Manage the scope of the inquiry – narrowing and refining the scope of IG requests
• Understand and anticipate the IG’s concerns and be prepared to mitigate/explain issues
• Understand and act on the IG’s investigative requirements and standards
• Seek the opportunity to comment on findings/draft reports before they are finalized
WHAT DOES THE IG DO WITH THE INFORMATION IT COLLECTS?
• The IG’s role is to gather facts and make recommendations
• For investigations, the investigator will draft a report, but it may be for internal government use only
• In other cases the IG may prepare a public report• The IG may seek comments on a draft report, but
they are not required to do so• Remember: the IG has no enforcement authority BUT
works closely with those with enforcement power
CONSIDER HOW THE IG REPORT WILL BE USED
• Some possibilities--– As a precursor or basis for other government
action (i.e. administrative, civil, criminal)– As a basis for further inquiry (i.e. related to the
agency actions above, by Congress, by the Press)– Be prepared to manage the impact of the release
of the IG’s report
BEST PRACTICES
• Adopt and maintain a sound ethics and compliance program
• Establish an early warning system• Be proactive in responding to any
government inquiry• Take any IG inquiry very seriously• Do your best to get ahead of the curve and
be proactive in your response
For Further Information
Robert K. Tompkins
Partner,
Chair Government Contracts Practice
Patton Boggs, LLP
2550 M Street, NW,
Washington, DC 20037
Clark Ervin,
Partner
Patton Boggs, LLP
2550 M Street, NW,
Washington, DC 20037