Practice Areas
The Supreme Court’s Reversal of IEEPA-Based Tariffs Ushers in Refund Rush
By David Carney, Adriaen Morse, Lionel Andre, and Cory Kirchert, Partners, SECIL Law PLLC | Washington, DC On February 20, […]
February 24, 2026
Record-Breaking False Claims Act Settlements and Judgments in FY25 Highlight Trump Administration Enforcement Priorities
By David Carney, Cory Kirchert, and Adriaen Morse, Partners, SECIL Law PLLC | Washington, D.C. The DOJ recently announced that in […]
January 29, 2026
SECIL Law Continues Strategic Growth in White-Collar Defense and Investigations
By Deana Mary, Fractional Chief Growth Officer, SECIL Law PLLC | Washington, D.C. Washington, D.C. - SECIL Law PLLC continues its strategic […]
January 27, 2026
The White Deer Management LLC Case – Why Swift Internal Investigations and Voluntary Disclosure Are Smart Business
By Lionel André and John P. Rowley III, Partners, SECIL Law PLLC | Washington, D.C. When private equity firm White […]
June 25, 2025
Regulatory Recalibration: What Trump’s FCPA Pause and DAG Blanche’s June 9 Memo Mean for Corporate Counsel
Regulatory Recalibration: What Trump’s FCPA Pause and DAG Blanche’s June 9 Memo Mean for Corporate Counsel President Trump’s February 10, […]
June 16, 2025
DOJ Launches Civil Rights Fraud Initiative Targeting Compliance Misrepresentations
DOJ Launches Civil Rights Fraud Initiative Targeting Compliance Misrepresentations On May 19, 2025, the U.S. Department of Justice (“DOJ”) announced […]
June 12, 2025
Beyond the Headlines: DOJ’s 2025 Corporate Enforcement Strategy, Government Contractors, and the C-Suite
If you're a general counsel, chief legal officer, or C-suite executive at a company that does business with the federal […]
June 10, 2025
Navigating Political Terminations in the Federal Government: What DOJ Lawyers, FBI Agents, and Other Federal Employees Need to Know
The unprecedented terminations currently unfolding within the federal government raise serious legal and ethical questions about politically motivated firings and […]
June 5, 2025
Navigating Compliance Amid the White House’s 180-Day Pause in FCPA Investigations and Enforcement Actions
The February 10, 2025, Executive Order pausing new enforcement actions under the Foreign Corrupt Practices Act (FCPA) for 180 days […]
June 2, 2025


