LTN Law Technology News
  • Home
  • News
  • Reviews
  • Commentary
  • Surveys
  • Events
  • LegalTech® Directory
  • About LTN
  • Register
  • Topics:
  • E-Discovery & Compliance
  • Litigation Support
  • Practice Management
  • Office Tech
  • Mobile Lawyer
  • Research & Libraries
  • Tech Law

Home > Clean Tech Getting Soiled by Dirty Money

Font Size: increase font decrease font

Clean Tech Getting Soiled by Dirty Money

Green tech companies risk the oldest game in town: corruption.

By Alexandra Wrage Contact All Articles 

Corporate Counsel

March 7, 2013

  •    
  •    
  •    
  •      
 

Image by clipart.com

Clean tech is new: solar, wind, biofuels, water purification. It's exciting, and both the financial and the green communities are optimistic about the possibilities. And yet the industry runs the very ordinary risk of getting bogged down in perhaps the oldest business challenge of all: corruption.

In a nutshell, the U.S. Foreign Corrupt Practices Act (FCPA) prohibits companies and individuals from corruptly paying, offering, or promising to pay anything of value, directly or indirectly, to foreign officials to obtain or retain business or an improper advantage. To comply with the FCPA, clean tech companies must overcome the challenges typical of two of the most bribery-prone sectors — infrastructure and energy — as well as a handful of new challenges.

To understand the costs associated with FCPA violations, clean tech companies should look to the $1.6 billion in fines levied by U.S. and foreign governments against German conglomerate Siemens AG. Involved in energy and infrastructure projects worldwide, including in some particularly challenging countries, Siemens had a strategy of paying bribes to foreign officials to win contracts. Siemens typically paid these bribes using a variety of accounting measures, including off-book accounts and slush funds, to disguise the payments.

Of the $1.4 billion in bribes paid by Siemens during the period for which it was investigated, 2001-07, well over half were funneled through third parties. Siemens routinely entered into consulting agreements in which the consultants would not perform any services apart from conveying bribes. These are alleged to have included payments to a partially state-owned company in Italy in connection with two power plant projects, payments to a former director of the Israel Electric Company for four contracts to build and service power plants, and payments to government customers in China for the installation of high-voltage transmission lines.

In addition to longstanding issues faced by the infrastructure and energy sectors, the clean tech industry faces some new challenges. A recent Washington Post article highlights such "eco-corruption" cases, exploring the link between massive state subsidies for wind and solar development in Italy and a market ripe for fraud. According to the article, a series of sting operations in Italy have revealed the Mafia's infiltration into the renewable energy sector in that country. Crime families would enlist local officials to expedite application processes and approach foreign investors eager to profit from Italy's subsidies program and sometimes willing to turn a blind eye to corruption.

In spite of these challenges, many clean tech companies, which are often fledgling, startup companies, fail to make compliance a priority and fail to implement measures that could protect them from both legal and reputational fallout. Why are so many clean tech companies taking a serious regulatory gamble? One theory is that their tepid response is bolstered by the mistaken belief that because they work toward a socially conscious goal, they are somehow exempt from scrutiny by the U.S. government. It's a risky assumption. The enforcement agencies have long focused on the infrastructure and energy industries, levying increasingly heavy fines on these sectors. Given the overlap among these industries, the hybrid clean tech sector may not be far behind in attracting the government's attention.

Lots of funding, few controls: The clean tech industry is awash with funding right now. FCPA compliance concerns are exacerbated by the sheer volume of funding. And because spending is largely on research and development, internal controls should be more, not less, rigorous. In challenging compliance environments like China, funding is routinely allocated at a local level, making meaningful formal controls more challenging. For example, one solar industry expert described a situation in which a foreign minister promoted the possibility of a solar project in his developing country. However, after doing some due diligence, the company discovered that the minister actually owned an interest in the project himself through a shell company.

Clean tech companies should implement measures, such as centralizing accounting systems to ease corporate headquarter review, to ensure that money is both coming from and going to legitimate sources. Companies should also have FCPA controls addressing the use of petty cash; third-party contracts and payments, including sales and marketing agents; contracts for the lease of facilities and equipment; gifts, entertainment, and hospitality payments; and employee status, including current or previous government employment for employees and their immediate family members.

Emerging industry, sometimes opaque regs: Regulations like "energy audits" are often ill-defined and subject to abusive practices. Similarly, government funding and subsidies surrounding projects, particularly in developing countries, can lack regulatory transparency. In challenging markets, clean tech companies can face such risks as confusion over which ministry controls allocation of a project or whether demands from a foreign official are legitimate. Clean tech companies need to have clear FCPA compliance policies in place to deal with opaque regulations and overreaching foreign officials. Antibribery training can also be used to teach employees how to respond to bribe demands. Tone at the top is crucial. Senior management must foster a culture of compliance and let their employees know that bribery will not be tolerated, even if it means walking away from business.

The middleman problem: Many clean tech projects involve extensive dealings with foreign governments, from contract bidding to permitting to environmental review and enforcement. Many of these dealings, some of which involve the discretion of a foreign official, are handled through third parties. Business agents can pose a particular risk, as they might have formerly served in the government or be related to a senior government official. The FCPA specifically bans committing a prohibited action through a third party while knowing that the third party will perform that action. Clean tech companies may be pressured to work with business agents. Companies must balance this pressure to be well connected with the prospect of an agent making an improper payment to secure that connection. Under the FCPA, companies may be vicariously liable for the conduct of their consultants, distributors, sales agents, and other third parties, even if the company lacks knowledge of their wrongdoing.

A browser or device that allows javascript is required to view this content.

Continue reading

  • 1
  • 2

Next



Subscribe to Corporate Counsel

You must be signed in to comment on an article

Find similar content

Companies, agencies mentioned

    
  • United States Securities & Exchange Commission
  • Siemens AG
  • Israel Electric Corporation Ltd.
  • The Washington Post Company
  • United States Department of Justice

Key categories

    
  • International Law
  • Executive Agencies
  • White Collar Crime
  • Ethics

Most viewed stories

    
  1. iPad Competition Heats Up
    •      
  2. How to Pick the Best Cloud
    •      
  3. What to Do About High Data Breach Costs
    •      
  4. 7 Cybersecurity, Forensics Tools to Watch
    •      
  5. kCura Releases Relativity 8
    •      
  6. 12-on-12 What to Read When the Heat Arrives
    •      
  7. YesLaw Integrates With LexisNexis CaseMap and TextMap
    •      
  8. 5 Data Breach Risks You Can Prevent
    •      
  9. Discovery on Discovery Demands Cost-Shifting
    •      
  10. Laptops Are So 2007
    •      
lawjobs.com

TOP JOBS

MORE JOBS

POST A JOB

From the Law.com Network

Corporate Cyberattacks Come Out of the Shadows

Minority-Owned Firm Makes Microsoft's Premier List

Proskauer, Former CFO Settle Bias Suit

Global Firms Cope With Istanbul Unrest

D.C. Circuit Nominations a Defining Moment

D.C. Circuit Nominees Widely Respected Within the Bar

iPad Competition Heats Up

Discovery on Discovery Demands Cost-Shifting

The Recorder 25: California Golden Again for Many Firms
  •      
    • Subscription Required

Capital Accounts: Judicial Branch's Brothers Don't See Eye to Eye
  •      
    • Subscription Required

Miami Photographer Sues Pop Star Justin Bieber
  •      
    • Subscription Required

Jeremy Alters Settles With Argentinian Firm For $1 Million
  •      
    • Subscription Required

Court Sets Down Procedure for Discovery in Child Porn Cases
  •      
    • Subscription Required

Fixes Urged for Jury Questions in Complex Medical Malpractice Suits

The Affordable State-Specific Practice Solution
Available in NY, NJ, PA and CT editions - research, draft and prepare even the most complex cases with ease.

NYLJ 100

Circuit Orders Return of Child to Singapore
  •      
    • Subscription Required

Pa. Justices Uphold Mandatory Judicial Retirement

Senate Mulling Bill Aimed at Redefining Child Abuse

Sorry, Charlie, Your Wife Won't Support You

Top Reasons to Take Your Husband's Name

DA Rosemary Lehmberg Faces Second Removal Suit
  •      
    • Subscription Required

Court Upholds Disqualification of Bickel & Brewer
  •      
    • Subscription Required

'Gideon's Army' Rallies Its Troops For Justice

Kia Case To Put New Open Records Act To Test
  •      
    • Subscription Required

Chimp Attack Victim Is Denied $150M State Lawsuit

Auto Body Case May Lead To CUTPA Reassessment
  •      
    • Subscription Required

  • About LTN   |
  • Contact LTN   |
  • Advertise with Us   |
  • Sitemap
  • About |
  • ALM Properties |
  • ALM Reprints |
  • Customer Support |
  • Privacy Policy (updated 6/14/13) |
  • Terms & Conditions |
  • ALM User License Agreement
ALM Media