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Deputy Assistant Attorney General Manish Kumar Delivers Remarks at Global Competition Review Live: Cartels 2023

<p>Thank you for the kind introduction&period; I appreciate the opportunity to share some thoughts with all of you today on the Antitrust Division’s global approach to criminal enforcement&period;<&sol;p>&NewLine;<p>One of our values at the Antitrust Division&comma; and the department as a whole&comma; is to be clear with the public about our enforcement priorities&comma; policies and the standards we apply in making charging decisions&period; And when we have issues and topics appropriate for reasoned discussion&comma; we want to hear from a diverse set of views&period; For this reason&comma; my colleagues and I appreciate the opportunity to participate in today’s conversations and describe the outstanding work by division prosecutors day in and day out to seek economic justice on behalf of our country&period;<&sol;p>&NewLine;<p>Economic liberty is something cherished around the world&period; Looking at the enforcers&comma; private practitioners&comma; competition law experts&comma; in-house counsel and former colleagues assembled in this room&comma; there is at least one thing we share&colon; We all want dynamic&comma; vibrant economies&comma; where innovation and entrepreneurship are encouraged&period; We need global supply chains and labor markets to work smoothly and international trade to flourish&period; Simply put&comma; we all benefit when markets are free from collusion&period;<&sol;p>&NewLine;<p>To accomplish this aim&comma; effective antitrust enforcement requires a coordinated&comma; global approach&period; When I say &OpenCurlyDoubleQuote;global” I mean international in the literal sense&period; But I also mean a holistic approach&period; We are engaging more law enforcement partners and regulators&comma; both in the U&period;S&period; and abroad&period; We are innovating as we embrace new technologies like data analytics and data science&period; We are expanding our toolkit&comma; both in the statutes that we charge and the investigative strategies that we employ&period; We are investing in technology and personnel within the division to increase our investigation and litigation capabilities&period;<&sol;p>&NewLine;<p>With that concept of &OpenCurlyDoubleQuote;global” in mind&comma; there are three topics that I’d like to address today&colon;<&sol;p>&NewLine;<p>First&comma; I want to reaffirm some core principles for our criminal enforcement program that underlie this global approach&period;<&sol;p>&NewLine;<p>Second&comma; I want to share with you more about the proactive&comma; comprehensive approach that the Antitrust Division is taking in our investigations and outreach&period; This approach both increases detection and in turn encourages companies to invest in compliance and&comma; where compliance fails to prevent a violation&comma; to avail itself of the leniency program&period;<&sol;p>&NewLine;<p>Finally&comma; I want to talk about some of the division’s important work in the international arena to deter and detect cartels and to help build capacity for antitrust enforcement around the globe&period;<&sol;p>&NewLine;<p>Before I talk about how our criminal program is evolving and innovating&comma; I want to place this work in the context of the Division’s long history of cartel enforcement&period; Over the years&comma; our core principles have remained unchanged&period; Our leniency program relies on certain cornerstones&colon; the threat of severe and significant sanctions&comma; a heightened risk of detection&comma; and transparent and predictable enforcement policies&period; As my predecessors have stated&comma; for the program to be effective&comma; rather than simply espousing these cornerstones&comma; we have to reaffirm them continuously through our actions&period;<&sol;p>&NewLine;<p>These are enduring lessons&comma; which is why you can find some version of what I just said in speeches from every one of my predecessors dating back to the birth of the leniency program&period;<&sol;p>&NewLine;<p>These cornerstones have been a constant throughout my time as a trial attorney&comma; as a manager in the San Francisco Office&comma; and now as Criminal Deputy&period; It is in this new role that I want to talk more about how we maintain transparency and predictability even as our criminal program evolves over time&period;<&sol;p>&NewLine;<p>The pandemic reminded us how the world can change&comma; and that we must adapt to those changes even though our mission remains the same&period; We cannot close our eyes to changing realities&comma; like the opportunities and threats posed by AI&comma; or the global pandemic and supply chain crisis&comma; or increasing consolidation and inflation that hurts everyday Americans&period; Nor should we ignore the lessons we learn from seeing our policies play out in action&comma; in the context of real investigations and of course&comma; litigation&period; We must update our investigative techniques to tackle new technologies and ways to collude&period; And we need to foster productive dialogue with the broader community&comma; including our fellow enforcers&comma; government counterparts and practitioners and incorporate the valuable feedback and new ideas we hear&period;<&sol;p>&NewLine;<p>So how can we ensure transparency and predictability even as our work evolves to meet our mission&quest; We do this by ensuring our policies and practices are accessible&period; We write them down in the Justice Manual and in accessible public documents&comma; and we speak publicly about our enforcement priorities and the concerns we’re seeing&period; And of course&comma; the cases we file are the best guidance of all&period;<&sol;p>&NewLine;<p>Our experience updating the Leniency Policy last year illustrates this point&period;<&sol;p>&NewLine;<p>In our first revision to the Leniency Policy since 1993&comma; the policy was incorporated into the Justice Manual&period; And the division also published a substantial update to our frequently asked questions as a means of clarifying the policy and consolidating the guidance from numerous speeches into a single source&period;<&sol;p>&NewLine;<p>The goal of all of this was to increase transparency and predictability for everyone&colon; from small mom-and-pop businesses to sophisticated multinationals&period;<&sol;p>&NewLine;<p>The substantive changes were incremental&comma; largely reflecting places where our practices had begun to diverge from the written policy&period; The core of the leniency policy has always been to encourage timely self-reporting by providing nonprosecution protection to only the first company or individual to self-report&comma; and this of course is unchanged&period;<&sol;p>&NewLine;<p>The policy updates also reflect the division’s consistent approach with the rest of the department&period; For example&comma; the requirement that an applicant promptly self-report its misconduct mirrors the prompt reporting requirements in the Criminal Division’s Voluntary Self-Disclosure and Corporate Enforcement Policy and the USAO’s recent Voluntary Self-Disclosure Policy&period; In other respects&comma; of course&comma; the Leniency Policy differs from every other self-disclosure policy at the department in that it provides non-prosecution protections for executives&period;<&sol;p>&NewLine;<p>Policies and priorities can and should evolve over time to ensure we are best meeting our mandate&period; But as the division has long done&comma; when we make these changes&comma; they are incremental&comma; predictable&comma; and clear to the public&period; Here today&comma; the division is reaffirming its commitment to a criminal enforcement program that is predictable and transparent&period;<&sol;p>&NewLine;<p>As I turn to my next topic of proactive investigations and outreach&comma; I will begin by referencing another cornerstone&colon; the risk of detection&period;<&sol;p>&NewLine;<p>As the division has long recognized&comma; this cornerstone is critical to an effective leniency program&period; The more a company is concerned that we will discover its criminal conduct&comma; the more likely it is to report its wrongdoing and provide valuable cooperation in exchange for leniency&period;<&sol;p>&NewLine;<p>So under Assistant Attorney General Kanter’s leadership&comma; we are laser-focused on increasing the risk that cartel conduct will be detected — not only to maintain the incentives for a wrongdoer to seek leniency&comma; but also to make sure that antitrust risk is front and center when companies are deciding where to invest in compliance&comma; and to best position our prosecutors to investigate and bring cases without a leniency applicant when necessary&period; As time and experience has shown&comma; conspiracy cases based on immunized testimony have unique challenges&period;<&sol;p>&NewLine;<p>With all that said&comma; how do we maximize detection&quest;<&sol;p>&NewLine;<p>We start with law enforcement&comma; by expanding the reach of the Antitrust Division by working with partners who are force multipliers&period;<&sol;p>&NewLine;<p>Increasingly&comma; antitrust investigations and prosecutions are not being run by the Antitrust Division alone but are being conducted in consultation and often coordination with local U&period;S&period; Attorneys’ Offices&period;<&sol;p>&NewLine;<p>The Procurement Collusion Strike Force &lpar;PCSF&rpar;&comma; first launched in 2019 and led by my colleague Dan Glad&comma; serves as a model for this interagency approach&period;<&sol;p>&NewLine;<p>The PCSF initiative shows the force multiplier concept at work&period; Through the PCSF&comma; antitrust prosecutors in the five criminal offices of the Antitrust Division can collaborate through preexisting partnerships with more than twenty U&period;S&period; Attorneys’ Offices around the country&period;<&sol;p>&NewLine;<p>In addition to the FBI&comma; the PCSF also adds ten more federal law enforcement agencies that can assist in Antitrust Division investigations&comma; including investigators in Offices of Inspector General that have subject matter expertise in everything from defense contracting to energy production&period;<&sol;p>&NewLine;<p>We are also bringing new tools to bear&comma; such as data analytics&period; To that end&comma; the PCSF Data Analytics Project works to encourage the application of data analytics to procurement data throughout the federal government&period; This training&comma; which has included investigators&comma; analysts&comma; auditors&comma; and data scientists for various federal agencies with procurement and investigation functions&comma; focuses on recognizing suspicious bid patterns and identifying other red flags of collusion&period;<&sol;p>&NewLine;<p>In addition&comma; the Antitrust Division is investing in cutting-edge collusion detection methods by building our internal capacity&period; As has been publicly announced&comma; the division is actively hiring data scientists to work alongside its attorneys and economists&period;<&sol;p>&NewLine;<p>I want to address my final point to the in-house counsel in the room&comma; which is the affirmative outreach that we conduct and the complaints that we receive from industry participants&period;<&sol;p>&NewLine;<p>While many of these efforts are not in public view&comma; there are important outreach efforts that the Antitrust Division does publicly announce for purposes of deterrence and lead generation&period; For example&comma; in February 2022&comma; the Antitrust Division announced a global supply chain initiative to deter and detect price fixing and other collusive schemes aimed at exploiting global supply chain disruptions and other inflationary pressures following the Covid-19 pandemic&period;<&sol;p>&NewLine;<p>When talking to would-be complainants&comma; a question that we get often is whether the Antitrust Division will treat the information they provide confidentially&period; The answer is yes&period;<&sol;p>&NewLine;<p>It is the Antitrust Division’s consistent practice to &OpenCurlyDoubleQuote;protect the identity of complainants and the information they provide to the full extent of the law&period;” We treat this information like we would if it came from any confidential human source that is assisting an investigation&period; We know it is a difficult decision to blow the whistle on a trading partner&comma; even if it the right thing to do to prevent wrongdoing against other victims&period; For this reason&comma; we are happy to have off-the-record&comma; anonymous conversations with complainants to further explain how confidentiality works in practice during our investigations&period;<&sol;p>&NewLine;<p>I say all of this in this forum because many of the members of this audience work for companies that might be witnesses to anticompetitive conduct&period; These risks are especially acute given continued supply chain disruptions and inflationary pressures that impact the macroeconomy&period;<&sol;p>&NewLine;<p>Upstream suppliers&comma; downstream customers&comma; distributors&comma; retailers&comma; and other types of market participants are uniquely positioned to detect cartel behavior in their respective industries&period; These companies can serve as an early warning system&period;<&sol;p>&NewLine;<p>It may be an overlooked aspect of corporate compliance training&period; You are likely to see red flags and indicia of collusion before we do&comma; especially in your procurement departments&period;<&sol;p>&NewLine;<p>Such training can limit or even avoid criminal sanctions on the one hand&comma; and potentially allow for recovering damages on the other&period;<&sol;p>&NewLine;<p>I can say that the Antitrust Division currently is — and will continue — working with individuals and responsible corporate citizens in the business community as part of our ongoing efforts to identify criminal conduct&period;<&sol;p>&NewLine;<p>As part of those efforts&comma; we are taking steps to encourage and protect individual whistleblowers&period; As you may be aware&comma; individual whistleblowers now receive protection under the Criminal Antitrust Anti-Retaliation Act &lpar;CAARA&rpar; when assisting in antitrust investigations&period; We are also looking at ways to promote access via our website and Citizen Complaint Center so that members of the public can register antitrust complaints and concerns more efficiently&period;<&sol;p>&NewLine;<p>As a result of these efforts&comma; and others that I have not mentioned&comma; the Antitrust Division is pursuing proactive investigations at a pace not seen in decades&period;<&sol;p>&NewLine;<p>Many of these matters are intelligence-driven at their inception and involve consultation with other antitrust enforcers&period; Other proactive investigations are predicated on complaints from industry participants&comma; tips from citizens&comma; and referrals from other agencies&period;<&sol;p>&NewLine;<p>Having now visited with prosecutors in all five of our offices with acting director Emma Burnham&comma; we are continually impressed by the creativity and persistence with which they are pursing investigative leads across a range of industries and geographies alongside their law enforcement partners&comma; using the full complement of investigative techniques&period; It is truly something behold and one of the best parts of my new role&period;<&sol;p>&NewLine;<p>My final topic today is how engagement at the international level is a critical component of our global approach to cartel detection and deterrence&period;<&sol;p>&NewLine;<p>For decades&comma; the United States has promoted international engagement and the adoption of criminal cartel enforcement&period; Today&comma; more jurisdictions than ever before are effectively investigating and seriously punishing cartel offenses&period;<&sol;p>&NewLine;<p>This topic could not be more timely&period; Next week&comma; the division will be participating in meetings of the OECD’s Competition Committee&comma; including a roundtable on Cooperation and Enforcement&period; The Competition Committee facilitates exchanges of views on competition policy issues&comma; and since adopting its Hard Core Cartel Recommendation 25 years ago&comma; it has played a critical role in making cartel enforcement a priority around the globe&period; Those meetings are an important opportunity for the Antitrust Division and our international counterparts to learn from each other&period;<&sol;p>&NewLine;<p>That regular engagement with our fellow enforcers runs a broad spectrum from case-specific cooperation&comma; to sharing leads and ideas for investigative methods&comma; to productive dialogues that inform our respective policies&period; All of those collaborations make us more effective enforcers within our respective jurisdictions&comma; many of which now prosecute collusion criminally&period; They help us root out transnational collusion&period; In an increasingly globalized economy&comma; they maximize our ability to promote competitive markets around the world&period;<&sol;p>&NewLine;<p>Much of this engagement among enforcers&comma; including at OECD&comma; happens outside the view of the defense bar and business community&period; There are good reasons why not all of our conversations can be public&comma; including to preserve confidentiality and maximize candor on sensitive issues&period; But we balance those needs against another set of critically important values&colon; transparency&comma; predictability&comma; and equal access to justice — a key priority of the entire Justice Department&period; That is why I am pleased to preview a few of the topics that have been on my mind as I engage with my colleagues around the world&comma; why these remarks will be published on our public website&comma; and why I look forward to further engagement with the broader bar&comma; business community&comma; and public&period;<&sol;p>&NewLine;<p>The OECD event is one of several ways in which we are working to bring the international antitrust enforcement community closer together&comma; perhaps more so than at any point in the history of the division&period;<&sol;p>&NewLine;<p>In March 2023&comma; the Antitrust Division&comma; along with our sister agency the Federal Trade Commission&comma; hosted an Enforcers’ Summit in Washington&comma; D&period;C&period; The summit convened enforcement agencies from the United States and around the globe &OpenCurlyDoubleQuote;to discuss enforcement priorities and strategies for effective coordination&period;”<a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;&num;&lowbar;ftn1" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">&lbrack;1&rsqb;<&sol;a><&sol;p>&NewLine;<p>The Antitrust Division also serves as a co-chair of the International Competition Network’s Cartel Working Group&period; Alongside our counterparts from Chile and Italy&comma;<a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;&num;&lowbar;ftn2" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">&lbrack;2&rsqb;<&sol;a> the Antitrust Division launched a multi-year project called &OpenCurlyDoubleQuote;Back to Basics&comma;” a series of experiential learning programs designed to help ICN members improve cartel detection and enforcement techniques&period;<&sol;p>&NewLine;<p>The Antitrust Division is also working to expand successful national initiatives to the international level&period; Building on the success of the Procurement Collusion Strike Force&comma; the PCSF&colon; Global initiative was launched with an inaugural presentation to the OECD’s Competition Committee in 2020&period; PCSF&colon; Global has already conducted workshops&comma; trainings&comma; and presentations in countries ranging from the Republic of Korea to Bosnia-Herzegovina&comma; and to audiences including U&period;S&period; and foreign criminal investigators&comma; prosecutors&comma; analysts&comma; and auditors&period; Not surprisingly&comma; the PCSF has already recorded its first successful international prosecution&comma; which yielded a significant criminal fine for a price-fixing conspiracy targeting the United States Department of Defense&period;<a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;&num;&lowbar;ftn3" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">&lbrack;3&rsqb;<&sol;a><&sol;p>&NewLine;<p>Finally&comma; as I previously mentioned&comma; as part of the global supply chain initiative&comma; the Antitrust Division is working with a number of antitrust enforcers around the globe&comma; including the United Kingdom’s Competition and Markets Authority — I understand that you will be hearing from my colleague Juliette Enser later today&comma; European Commission’s Directorate General for Competition&comma; the Australian Competition and Consumer Commission&comma; the Canadian Competition Bureau&comma; and the New Zealand Commerce Commission&period;<a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;&num;&lowbar;ftn4" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">&lbrack;4&rsqb;<&sol;a> The Division’s investigative efforts have benefitted greatly from these and other bilateral and multilateral conversations&comma; and I expect that you will be seeing the fruits of these collaborations in our future enforcement activities&period;<a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;&num;&lowbar;ftn5" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">&lbrack;5&rsqb;<&sol;a><&sol;p>&NewLine;<p>Today&comma; you will hear from a number of division leaders and highly experienced cartel practitioners&period; I encourage you to attend the panels with my colleagues Jim Fredricks&comma; the chief of our Washington Criminal II Section&comma; Carolyn Olson&comma; who is acting chief of our Washington Criminal I section and Special Counsel Andrew Schupanitz&period; I know that you will appreciate their insights&comma; which are informed by their exemplary work leading the Division’s investigations and litigation&period;<&sol;p>&NewLine;<p>We welcome the opportunity to share our thoughts with you all today and facilitate a public dialogue based on shared values&comma; like promoting competition&period; While the adversarial setting of a courtroom is like second nature to many of us&comma; let us not forget that there is also much we accomplish when we listen to each other&period; I look forward to today’s conversations&period; Thank you&period;<&sol;p>&NewLine;<p><a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;&num;&lowbar;ftnref1" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">&lbrack;1&rsqb;<&sol;a> <a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;pr&sol;justice-department-and-federal-trade-commission-hold-annual-spring-enforcers-summit" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;pr&sol;justice-department-and-federal-trade-commission-hold-annual-spring-enforcers-summit<&sol;a>&period;<&sol;p>&NewLine;<p><a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;&num;&lowbar;ftnref2" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">&lbrack;2&rsqb;<&sol;a> Chile’s Fiscalía Nacional Económica &lpar;FNE&rpar; and Italy’s Autorità Garante Della Concorrenza e del Mercato &lpar;AGCM&rpar;&period;<&sol;p>&NewLine;<p><a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;&num;&lowbar;ftnref3" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">&lbrack;3&rsqb;<&sol;a> See U&period;S&period; DOJ Office of Public Affairs&comma; <em>Belgian Security Services Firm Agrees to Plead Guilty to Criminal Antitrust Conspiracy Affecting Department of Defense Procurement<&sol;em>&comma; &lpar;June 2021&rpar; available at <a href&equals;"https&colon;&sol;&sol;media&period;defense&period;gov&sol;2021&sol;Jul&sol;09&sol;2002758992&sol;-1&sol;-1&sol;1&sol;210625&lowbar;BELGIAN-SECURITY-SERVICES-FIRM-A&period;PDF" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">ttps&colon;&sol;&sol;media&period;defense&period;gov&sol;2021&sol;Jul&sol;09&sol;2002758992&sol;-1&sol;-1&sol;1&sol;210625&lowbar;BELGIAN-SECURITY-SERVICES-FIRM-A&period;PDF<&sol;a>&period;<&sol;p>&NewLine;<p><a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;&num;&lowbar;ftnref4" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">&lbrack;4&rsqb;<&sol;a> Richard A&period; Powers&comma; <em>Keynote at the University of Southern California Global Competition Thought Leadership Conference<&sol;em>&comma; &lpar;June 2022&rpar; available at <a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;deputy-assistant-attorney-general-richard-powers-delivers-keynote-university-southern" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;deputy-assistant-attorney-general-richard-powers-delivers-keynote-university-southern<&sol;a>&period;<&sol;p>&NewLine;<p><a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;&num;&lowbar;ftnref5" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">&lbrack;5&rsqb;<&sol;a> Manish Kumar&comma; Deputy Assistant Attorney General&comma; <em>Remarks at Second Annual Spring Enforcers Summit<&sol;em>&comma; &lpar;March 2023&rpar; available at <a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;deputy-assistant-attorney-general-manish-kumar-delivers-remarks-second-annual-spring" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;deputy-assistant-attorney-general-manish-kumar-delivers-remarks-second-annual-spring<&sol;a>&period;<&sol;p>&NewLine;<p> Speaker&colon; <a href&equals;"https&colon;&sol;&sol;www&period;justice&period;gov&sol;atr&sol;staff-profile&sol;manish-kumar-deputy-assistant-attorney-general-criminal-enforcement" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">Manish Kumar&comma; Deputy Assistant Attorney General for Criminal Enforcement<&sol;a>Topic&lpar;s&rpar;&colon; AntitrustComponent&lpar;s&rpar;&colon; <a href&equals;"http&colon;&sol;&sol;www&period;justice&period;gov&sol;atr&sol;" rel&equals;"noreferrer noopener" target&equals;"&lowbar;blank">Antitrust Division<&sol;a> <&sol;p>&NewLine;<p> Updated June 7&comma; 2023<a href&equals;https&colon;&sol;&sol;www&period;justice&period;gov&sol;opa&sol;speech&sol;deputy-assistant-attorney-general-manish-kumar-delivers-remarks-global-competition-review>Original Article<&sol;a><&sol;p>&NewLine;

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