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His practice focuses primarily on white-collar criminal litigation and corporate internal investigations, including defending individuals and companies in investigations by the Department of Justice, the Securities and Exchange Commission, Congress, the Department of the Treasury, the Food and Drug Administration, the Department of Health and Human Services Office of the Inspector General, numerous State Attorneys General and other state regulatory agencies.\u003c/p\u003e\n\u003cp\u003e[[--readmore--]]\u003c/p\u003e\n\u003cp\u003eIn addition, he has conducted various internal investigations relating to financial fraud and government enforcement, and has helped clients to develop comprehensive compliance and training programs. Recently, his practice has focused on substantive legal areas such as the Foreign Corrupt Practices Act (\u0026ldquo;FCPA\u0026rdquo;) and anti-corruption/anti-bribery compliance, financial institutions fraud, FinTech and cryptocurrency/virtual asset regulation, U.S. economic sanctions and money laundering, cybersecurity and data privacy regulatory compliance and incident response, drug and medical device enforcement matters (e.g., healthcare fraud, anti-kickback, \"off-label\" promotion, and the False Claims Act), as well as e-discovery management and the attorney-client privilege and work product doctrine. He has a long history of pro bono work, including significant experience representing disabled Iraq and Afghanistan combat veterans in their disability claims process.\u003c/p\u003e\n\u003cp\u003e\u003cstrong\u003ePublications\u003c/strong\u003e\u003c/p\u003e\n\u003cul\u003e\n\u003cli\u003e\u0026ldquo;Courts Diverge on the Reach of Personal Jurisdiction in FCPA Cases against Foreign Defendants,\u0026rdquo; \u003cem\u003eFinancial Fraud Law Report, \u003c/em\u003eGary Grindler, Russ Ryan and Ehren Halse (April 2013).\u003c/li\u003e\n\u003cli\u003e\u0026ldquo;FCPA Demands Close Eye On Third Parties,\u0026rdquo; \u003cem\u003eThe Compliance Reporter\u0026rsquo;s \u0026lsquo;Adopting Best Practice In Compliance\u0026rsquo;\u003c/em\u003e, Zachary Harmon and Ehren Halse (September 1, 2010).\u003c/li\u003e\n\u003cli\u003e\u0026nbsp;\u0026ldquo;Recent Trends in FCPA Enforcement: Third-Party Agents,\u0026rdquo; \u003cem\u003eBloomberg Law Reports\u003c/em\u003e, Zachary Harmon and Ehren Halse (August 1, 2010).\u003c/li\u003e\n\u003c/ul\u003e","slug":"ehren-halse","email":"ehalse@kslaw.com","phone":null,"matters":["\u003cp\u003eRepresenting \u003cstrong\u003einternational corporations\u003c/strong\u003e in internal compliance reviews and criminal and civil investigations by the DOJ and SEC, regarding whether marketing, sales and business practices in Africa, Asia, the Middle East, South America and Europe implicated the Foreign Corrupt Practices Act.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003ea medical device manufacturer\u003c/strong\u003e in a market-wide criminal and civil inquiry into allegations of violations of the Foreign Corrupt Practices Act.\u003c/p\u003e","\u003cp\u003eAssisted \u003cstrong\u003einternational pharmaceutical companies\u003c/strong\u003e with internal reviews of anti-kickback compliance protocols.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003ea private Medicare and Medicaid provider\u003c/strong\u003e in criminal and civil investigations by the Tampa U.S. Attorney\u0026rsquo;s Office, DOJ, DHHS-OIG, \u003cem\u003equi tam\u003c/em\u003e Relators, and States\u0026rsquo; Attorneys General into alleged health care and political contributions fraud.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003emultiple drug companies\u003c/strong\u003e in criminal and civil investigations by the Boston U.S. Attorney\u0026rsquo;s Offices, DOJ, and DHHS-OIG, as well as internal compliance reviews regarding alleged \u0026ldquo;off-label\u0026rdquo; promotion and other allegedly fraudulent sales, marketing and development activities.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003ean individual\u003c/strong\u003e investigated by the Senate Permanent Subcommittee for Investigations for alleged participation in an off-shore tax shelter.\u0026nbsp; No charges were pursued against the client.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003ethe former General Counsel of a Silicon Valley tech company\u003c/strong\u003e investigated by the U.S. Attorney\u0026rsquo;s office for the Northern District of California and the SEC for involvement in an alleged scheme of stock options backdating.\u0026nbsp; No charges were pursued against the client.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003edomestic and international banks\u003c/strong\u003e regarding alleged tax shelter schemes, price-fixing, bribery and competitor collusion (internal compliance reviews and criminal, tax and civil investigations by the SEC, IRS and DOJ).\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003evarious companies\u003c/strong\u003e in criminal and civil antitrust investigations led by the DOJ and SEC regarding alleged price-fixing, bid-rigging and market collusion.\u003c/p\u003e","\u003cp\u003eSeven\u0026nbsp;years of \u003cem\u003epro bono\u003c/em\u003e representation (over 45 clients) of \u003cstrong\u003edisabled Iraq and Afghanistan War veterans\u003c/strong\u003e regarding disability benefits claims with every branch of the military and the Department of Veteran\u0026rsquo;s Affairs.\u003c/p\u003e","\u003cp\u003eRepresenting a \u003cstrong\u003eleading virtual healthcare technology\u003c/strong\u003e company concerning domestic and international data security and privacy regulatory compliance.\u003c/p\u003e","\u003cp\u003eRepresenting \u003cstrong\u003ecompanies in the FinTech industry\u003c/strong\u003e with respect to economic sanctions compliance, including conducting internal investigations, OFAC subpoena response, and helping to design effective compliance programs.\u003c/p\u003e","\u003cp\u003eSecured successful declination to prosecute on behalf of a \u003cstrong\u003eSpecial Board Committee of an Indonesian-based energy group\u003c/strong\u003e in an investigation by the DOJ into anticorruption allegations of payments made to foreign government officials.\u003c/p\u003e","\u003cp\u003eRepresenting a \u003cstrong\u003epublicly-traded pharmaceutical client\u003c/strong\u003e concerning numerous DOJ and State Attorneys General investigations into the company\u0026rsquo;s past promotion of opioids.\u003c/p\u003e","\u003cp\u003eDefending \u003cstrong\u003ea leading financial institution\u003c/strong\u003e in a DOJ investigation concerning the origination and sale of residential mortgage-backed securities, including matters involving the Presidential RMBS Task Force.\u003c/p\u003e"],"taggings":{"tags":[],"meta_tags":[]},"expertise":[{"id":765,"guid":"765.smart_tags","index":0,"source":"smartTags"},{"id":780,"guid":"780.smart_tags","index":1,"source":"smartTags"},{"id":687,"guid":"687.smart_tags","index":2,"source":"smartTags"},{"id":761,"guid":"761.smart_tags","index":3,"source":"smartTags"},{"id":20,"guid":"20.capabilities","index":4,"source":"capabilities"},{"id":6,"guid":"6.capabilities","index":5,"source":"capabilities"},{"id":103,"guid":"103.capabilities","index":6,"source":"capabilities"},{"id":7,"guid":"7.capabilities","index":7,"source":"capabilities"},{"id":107,"guid":"107.capabilities","index":8,"source":"capabilities"},{"id":106,"guid":"106.capabilities","index":9,"source":"capabilities"},{"id":1,"guid":"1.capabilities","index":10,"source":"capabilities"},{"id":81,"guid":"81.capabilities","index":11,"source":"capabilities"},{"id":11,"guid":"11.capabilities","index":12,"source":"capabilities"},{"id":1168,"guid":"1168.smart_tags","index":13,"source":"smartTags"},{"id":1188,"guid":"1188.smart_tags","index":14,"source":"smartTags"},{"id":1199,"guid":"1199.smart_tags","index":15,"source":"smartTags"},{"id":750,"guid":"750.smart_tags","index":16,"source":"smartTags"},{"id":750,"guid":"750.smart_tags","index":17,"source":"smartTags"},{"id":133,"guid":"133.capabilities","index":18,"source":"capabilities"},{"id":1327,"guid":"1327.smart_tags","index":19,"source":"smartTags"},{"id":1248,"guid":"1248.smart_tags","index":20,"source":"smartTags"},{"id":129,"guid":"129.capabilities","index":21,"source":"capabilities"}],"is_active":true,"last_name":"Halse","nick_name":"Ehren","clerkships":[],"first_name":"Ehren","title_rank":9999,"updated_by":202,"law_schools":[],"middle_name":" ","name_suffix":"","recognitions":[{"title":"Co-Recipient of a 2011 Burton Award for Legal Achievement for, “Recent Trends in FCPA Enforcement: Third-Party Agents\", which was published by Bloomberg Law Reports (July 30, 2010).","detail":""},{"title":"National Law Journal/Legal Times 2009 “Champion” award for pro bono efforts on behalf of disabled veterans","detail":""},{"title":"National Law Journal/Legal Times 2009 “Champion” award for pro bono efforts on behalf of disabled veterans","detail":""},{"title":"King \u0026 Spalding Pro Bono Service Award 2006 - 2013","detail":""}],"linked_in_url":null,"seodescription":null,"primary_title_id":15,"translated_fields":{"en":{"bio":"\u003cp\u003eEhren Halse is a Partner in King \u0026amp; Spalding\u0026rsquo;s Special Matters/Government Investigations Practice Group in San Francisco, CA. His practice focuses primarily on white-collar criminal litigation and corporate internal investigations, including defending individuals and companies in investigations by the Department of Justice, the Securities and Exchange Commission, Congress, the Department of the Treasury, the Food and Drug Administration, the Department of Health and Human Services Office of the Inspector General, numerous State Attorneys General and other state regulatory agencies.\u003c/p\u003e\n\u003cp\u003e[[--readmore--]]\u003c/p\u003e\n\u003cp\u003eIn addition, he has conducted various internal investigations relating to financial fraud and government enforcement, and has helped clients to develop comprehensive compliance and training programs. Recently, his practice has focused on substantive legal areas such as the Foreign Corrupt Practices Act (\u0026ldquo;FCPA\u0026rdquo;) and anti-corruption/anti-bribery compliance, financial institutions fraud, FinTech and cryptocurrency/virtual asset regulation, U.S. economic sanctions and money laundering, cybersecurity and data privacy regulatory compliance and incident response, drug and medical device enforcement matters (e.g., healthcare fraud, anti-kickback, \"off-label\" promotion, and the False Claims Act), as well as e-discovery management and the attorney-client privilege and work product doctrine. He has a long history of pro bono work, including significant experience representing disabled Iraq and Afghanistan combat veterans in their disability claims process.\u003c/p\u003e\n\u003cp\u003e\u003cstrong\u003ePublications\u003c/strong\u003e\u003c/p\u003e\n\u003cul\u003e\n\u003cli\u003e\u0026ldquo;Courts Diverge on the Reach of Personal Jurisdiction in FCPA Cases against Foreign Defendants,\u0026rdquo; \u003cem\u003eFinancial Fraud Law Report, \u003c/em\u003eGary Grindler, Russ Ryan and Ehren Halse (April 2013).\u003c/li\u003e\n\u003cli\u003e\u0026ldquo;FCPA Demands Close Eye On Third Parties,\u0026rdquo; \u003cem\u003eThe Compliance Reporter\u0026rsquo;s \u0026lsquo;Adopting Best Practice In Compliance\u0026rsquo;\u003c/em\u003e, Zachary Harmon and Ehren Halse (September 1, 2010).\u003c/li\u003e\n\u003cli\u003e\u0026nbsp;\u0026ldquo;Recent Trends in FCPA Enforcement: Third-Party Agents,\u0026rdquo; \u003cem\u003eBloomberg Law Reports\u003c/em\u003e, Zachary Harmon and Ehren Halse (August 1, 2010).\u003c/li\u003e\n\u003c/ul\u003e","matters":["\u003cp\u003eRepresenting \u003cstrong\u003einternational corporations\u003c/strong\u003e in internal compliance reviews and criminal and civil investigations by the DOJ and SEC, regarding whether marketing, sales and business practices in Africa, Asia, the Middle East, South America and Europe implicated the Foreign Corrupt Practices Act.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003ea medical device manufacturer\u003c/strong\u003e in a market-wide criminal and civil inquiry into allegations of violations of the Foreign Corrupt Practices Act.\u003c/p\u003e","\u003cp\u003eAssisted \u003cstrong\u003einternational pharmaceutical companies\u003c/strong\u003e with internal reviews of anti-kickback compliance protocols.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003ea private Medicare and Medicaid provider\u003c/strong\u003e in criminal and civil investigations by the Tampa U.S. Attorney\u0026rsquo;s Office, DOJ, DHHS-OIG, \u003cem\u003equi tam\u003c/em\u003e Relators, and States\u0026rsquo; Attorneys General into alleged health care and political contributions fraud.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003emultiple drug companies\u003c/strong\u003e in criminal and civil investigations by the Boston U.S. Attorney\u0026rsquo;s Offices, DOJ, and DHHS-OIG, as well as internal compliance reviews regarding alleged \u0026ldquo;off-label\u0026rdquo; promotion and other allegedly fraudulent sales, marketing and development activities.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003ean individual\u003c/strong\u003e investigated by the Senate Permanent Subcommittee for Investigations for alleged participation in an off-shore tax shelter.\u0026nbsp; No charges were pursued against the client.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003ethe former General Counsel of a Silicon Valley tech company\u003c/strong\u003e investigated by the U.S. Attorney\u0026rsquo;s office for the Northern District of California and the SEC for involvement in an alleged scheme of stock options backdating.\u0026nbsp; No charges were pursued against the client.\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003edomestic and international banks\u003c/strong\u003e regarding alleged tax shelter schemes, price-fixing, bribery and competitor collusion (internal compliance reviews and criminal, tax and civil investigations by the SEC, IRS and DOJ).\u003c/p\u003e","\u003cp\u003eRepresented \u003cstrong\u003evarious companies\u003c/strong\u003e in criminal and civil antitrust investigations led by the DOJ and SEC regarding alleged price-fixing, bid-rigging and market collusion.\u003c/p\u003e","\u003cp\u003eSeven\u0026nbsp;years of \u003cem\u003epro bono\u003c/em\u003e representation (over 45 clients) of \u003cstrong\u003edisabled Iraq and Afghanistan War veterans\u003c/strong\u003e regarding disability benefits claims with every branch of the military and the Department of Veteran\u0026rsquo;s Affairs.\u003c/p\u003e","\u003cp\u003eRepresenting a \u003cstrong\u003eleading virtual healthcare technology\u003c/strong\u003e company concerning domestic and international data security and privacy regulatory compliance.\u003c/p\u003e","\u003cp\u003eRepresenting \u003cstrong\u003ecompanies in the FinTech industry\u003c/strong\u003e with respect to economic sanctions compliance, including conducting internal investigations, OFAC subpoena response, and helping to design effective compliance programs.\u003c/p\u003e","\u003cp\u003eSecured successful declination to prosecute on behalf of a \u003cstrong\u003eSpecial Board Committee of an Indonesian-based energy group\u003c/strong\u003e in an investigation by the DOJ into anticorruption allegations of payments made to foreign government officials.\u003c/p\u003e","\u003cp\u003eRepresenting a \u003cstrong\u003epublicly-traded pharmaceutical client\u003c/strong\u003e concerning numerous DOJ and State Attorneys General investigations into the company\u0026rsquo;s past promotion of opioids.\u003c/p\u003e","\u003cp\u003eDefending \u003cstrong\u003ea leading financial institution\u003c/strong\u003e in a DOJ investigation concerning the origination and sale of residential mortgage-backed securities, including matters involving the Presidential RMBS Task Force.\u003c/p\u003e"],"recognitions":[{"title":"Co-Recipient of a 2011 Burton Award for Legal Achievement for, “Recent Trends in FCPA Enforcement: Third-Party Agents\", which was published by Bloomberg Law Reports (July 30, 2010).","detail":""},{"title":"National Law Journal/Legal Times 2009 “Champion” award for pro bono efforts on behalf of disabled veterans","detail":""},{"title":"National Law Journal/Legal Times 2009 “Champion” award for pro bono efforts on behalf of disabled veterans","detail":""},{"title":"King \u0026 Spalding Pro Bono Service Award 2006 - 2013","detail":""}]},"locales":["en"]},"secondary_title_id":null,"upload_assignments":{"headshot":[{"id":5486}]},"capability_group_id":2},"created_at":"2026-05-28T22:09:53.000Z","updated_at":"2026-05-28T22:09:53.000Z","searchable_text":"Halse{{ FIELD }}{:title=\u0026gt;\"Co-Recipient of a 2011 Burton Award for Legal Achievement for, “Recent Trends in FCPA Enforcement: Third-Party Agents\\\", which was published by Bloomberg Law Reports (July 30, 2010).\", :detail=\u0026gt;\"\"}{{ FIELD }}{:title=\u0026gt;\"National Law Journal/Legal Times 2009 “Champion” award for pro bono efforts on behalf of disabled veterans\", :detail=\u0026gt;\"\"}{{ FIELD }}{:title=\u0026gt;\"National Law Journal/Legal Times 2009 “Champion” award for pro bono efforts on behalf of disabled veterans\", :detail=\u0026gt;\"\"}{{ FIELD }}{:title=\u0026gt;\"King \u0026amp; Spalding Pro Bono Service Award 2006 - 2013\", :detail=\u0026gt;\"\"}{{ FIELD }}Representing international corporations in internal compliance reviews and criminal and civil investigations by the DOJ and SEC, regarding whether marketing, sales and business practices in Africa, Asia, the Middle East, South America and Europe implicated the Foreign Corrupt Practices Act.{{ FIELD }}Represented a medical device manufacturer in a market-wide criminal and civil inquiry into allegations of violations of the Foreign Corrupt Practices Act.{{ FIELD }}Assisted international pharmaceutical companies with internal reviews of anti-kickback compliance protocols.{{ FIELD }}Represented a private Medicare and Medicaid provider in criminal and civil investigations by the Tampa U.S. Attorney’s Office, DOJ, DHHS-OIG, qui tam Relators, and States’ Attorneys General into alleged health care and political contributions fraud.{{ FIELD }}Represented multiple drug companies in criminal and civil investigations by the Boston U.S. Attorney’s Offices, DOJ, and DHHS-OIG, as well as internal compliance reviews regarding alleged “off-label” promotion and other allegedly fraudulent sales, marketing and development activities.{{ FIELD }}Represented an individual investigated by the Senate Permanent Subcommittee for Investigations for alleged participation in an off-shore tax shelter.  No charges were pursued against the client.{{ FIELD }}Represented the former General Counsel of a Silicon Valley tech company investigated by the U.S. Attorney’s office for the Northern District of California and the SEC for involvement in an alleged scheme of stock options backdating.  No charges were pursued against the client.{{ FIELD }}Represented domestic and international banks regarding alleged tax shelter schemes, price-fixing, bribery and competitor collusion (internal compliance reviews and criminal, tax and civil investigations by the SEC, IRS and DOJ).{{ FIELD }}Represented various companies in criminal and civil antitrust investigations led by the DOJ and SEC regarding alleged price-fixing, bid-rigging and market collusion.{{ FIELD }}Seven years of pro bono representation (over 45 clients) of disabled Iraq and Afghanistan War veterans regarding disability benefits claims with every branch of the military and the Department of Veteran’s Affairs.{{ FIELD }}Representing a leading virtual healthcare technology company concerning domestic and international data security and privacy regulatory compliance.{{ FIELD }}Representing companies in the FinTech industry with respect to economic sanctions compliance, including conducting internal investigations, OFAC subpoena response, and helping to design effective compliance programs.{{ FIELD }}Secured successful declination to prosecute on behalf of a Special Board Committee of an Indonesian-based energy group in an investigation by the DOJ into anticorruption allegations of payments made to foreign government officials.{{ FIELD }}Representing a publicly-traded pharmaceutical client concerning numerous DOJ and State Attorneys General investigations into the company’s past promotion of opioids.{{ FIELD }}Defending a leading financial institution in a DOJ investigation concerning the origination and sale of residential mortgage-backed securities, including matters involving the Presidential RMBS Task Force.{{ FIELD }}Ehren Halse is a Partner in King \u0026amp; Spalding’s Special Matters/Government Investigations Practice Group in San Francisco, CA. His practice focuses primarily on white-collar criminal litigation and corporate internal investigations, including defending individuals and companies in investigations by the Department of Justice, the Securities and Exchange Commission, Congress, the Department of the Treasury, the Food and Drug Administration, the Department of Health and Human Services Office of the Inspector General, numerous State Attorneys General and other state regulatory agencies.\n\nIn addition, he has conducted various internal investigations relating to financial fraud and government enforcement, and has helped clients to develop comprehensive compliance and training programs. Recently, his practice has focused on substantive legal areas such as the Foreign Corrupt Practices Act (“FCPA”) and anti-corruption/anti-bribery compliance, financial institutions fraud, FinTech and cryptocurrency/virtual asset regulation, U.S. economic sanctions and money laundering, cybersecurity and data privacy regulatory compliance and incident response, drug and medical device enforcement matters (e.g., healthcare fraud, anti-kickback, \"off-label\" promotion, and the False Claims Act), as well as e-discovery management and the attorney-client privilege and work product doctrine. He has a long history of pro bono work, including significant experience representing disabled Iraq and Afghanistan combat veterans in their disability claims process.\nPublications\n\n“Courts Diverge on the Reach of Personal Jurisdiction in FCPA Cases against Foreign Defendants,” Financial Fraud Law Report, Gary Grindler, Russ Ryan and Ehren Halse (April 2013).\n“FCPA Demands Close Eye On Third Parties,” The Compliance Reporter’s ‘Adopting Best Practice In Compliance’, Zachary Harmon and Ehren Halse (September 1, 2010).\n “Recent Trends in FCPA Enforcement: Third-Party Agents,” Bloomberg Law Reports, Zachary Harmon and Ehren Halse (August 1, 2010).\n Partner Co-Recipient of a 2011 Burton Award for Legal Achievement for, “Recent Trends in FCPA Enforcement: Third-Party Agents\", which was published by Bloomberg Law Reports (July 30, 2010).  National Law Journal/Legal Times 2009 “Champion” award for pro bono efforts on behalf of disabled veterans  National Law Journal/Legal Times 2009 “Champion” award for pro bono efforts on behalf of disabled veterans  King \u0026amp; Spalding Pro Bono Service Award 2006 - 2013  Georgetown University Georgetown University Law Center Georgetown University Georgetown University Law Center California District of Columbia Maryland Representing international corporations in internal compliance reviews and criminal and civil investigations by the DOJ and SEC, regarding whether marketing, sales and business practices in Africa, Asia, the Middle East, South America and Europe implicated the Foreign Corrupt Practices Act. Represented a medical device manufacturer in a market-wide criminal and civil inquiry into allegations of violations of the Foreign Corrupt Practices Act. Assisted international pharmaceutical companies with internal reviews of anti-kickback compliance protocols. Represented a private Medicare and Medicaid provider in criminal and civil investigations by the Tampa U.S. Attorney’s Office, DOJ, DHHS-OIG, qui tam Relators, and States’ Attorneys General into alleged health care and political contributions fraud. Represented multiple drug companies in criminal and civil investigations by the Boston U.S. Attorney’s Offices, DOJ, and DHHS-OIG, as well as internal compliance reviews regarding alleged “off-label” promotion and other allegedly fraudulent sales, marketing and development activities. Represented an individual investigated by the Senate Permanent Subcommittee for Investigations for alleged participation in an off-shore tax shelter.  No charges were pursued against the client. Represented the former General Counsel of a Silicon Valley tech company investigated by the U.S. Attorney’s office for the Northern District of California and the SEC for involvement in an alleged scheme of stock options backdating.  No charges were pursued against the client. Represented domestic and international banks regarding alleged tax shelter schemes, price-fixing, bribery and competitor collusion (internal compliance reviews and criminal, tax and civil investigations by the SEC, IRS and DOJ). Represented various companies in criminal and civil antitrust investigations led by the DOJ and SEC regarding alleged price-fixing, bid-rigging and market collusion. Seven years of pro bono representation (over 45 clients) of disabled Iraq and Afghanistan War veterans regarding disability benefits claims with every branch of the military and the Department of Veteran’s Affairs. Representing a leading virtual healthcare technology company concerning domestic and international data security and privacy regulatory compliance. Representing companies in the FinTech industry with respect to economic sanctions compliance, including conducting internal investigations, OFAC subpoena response, and helping to design effective compliance programs. Secured successful declination to prosecute on behalf of a Special Board Committee of an Indonesian-based energy group in an investigation by the DOJ into anticorruption allegations of payments made to foreign government officials. Representing a publicly-traded pharmaceutical client concerning numerous DOJ and State Attorneys General investigations into the company’s past promotion of opioids. Defending a leading financial institution in a DOJ investigation concerning the origination and sale of residential mortgage-backed securities, including matters involving the Presidential RMBS Task Force.","searchable_name":"Ehren Halse","is_active":true,"featured":null,"publish_date":null,"expiration_date":null,"blog_featured":null,"published_by":202,"capability_group_featured":null,"home_page_featured":null},{"id":426901,"version":1,"owner_type":"Person","owner_id":5853,"payload":{"bio":"\u003cp\u003eDominic Hodson is a partner in King \u0026amp; Spalding\u0026rsquo;s Global Human Capital and Compliance practice. For over 20 years, Dominic has worked closely with some of the world\u0026rsquo;s best-known brands to provide strategic and commercial compliance solutions for their global personnel. \u0026nbsp;[[--readmore--]]\u003c/p\u003e\n\u003cp\u003eDominic specializes in global employment law and has devoted his career to the development of this niche practice, guiding his clients to compliant and commercially practical resolutions to their needs. Dominic's practice covers all regions of the world\u0026nbsp;and encompasses not only the day-to-day issues which global employers face in managing their workforce in specific countries, but also the complex and\u003c/p\u003e\n\u003cp\u003edetailed issues arising from the implementation and management of multijurisdictional HR projects and initiatives. He has a particular focus on the labor and employment aspects of international business transactions and his work includes:\u003c/p\u003e\n\u003cul\u003e\n\u003cli\u003eResolving employment and labor issues arising out of international M\u0026amp;A, spin-offs, joint-ventures and outsourcings, such as global business transfer rules (e.g. TUPE and its European equivalents); employee and employee representative consultation and consent processes; termination and rehire requirements; and pre- and post-transaction rationalization and integration processes.\u003c/li\u003e\n\u003cli\u003eAddressing global employment compliance issues, such as data protection; workplace harassment and discrimination; equal opportunity; flexible work and working from home requirements; leave and absence entitlements; wage-hour compliance; and protections for specific classes of employees.\u003c/li\u003e\n\u003cli\u003eImplementing individual and collective terminations and reductions in force, including alignment to permitted reasons for termination; individual and collective (e.g. works council and trade union) consultation requirements; government and labor authority notification and approval processes; severance agreements and other termination documents.\u003c/li\u003e\n\u003cli\u003eDesigning cost-management processes, such as adjustments and withdrawal of compensation programs; forced vacation; furloughs, unpaid leave and other reductions in working time; and implementation of other non-standard working arrangements to achieve necessary cost reductions.\u003c/li\u003e\n\u003c/ul\u003e","slug":"dominic-hodson","email":"dhodson@kslaw.com","phone":null,"matters":null,"taggings":{"tags":[],"meta_tags":[]},"expertise":[{"id":75,"guid":"75.capabilities","index":0,"source":"capabilities"},{"id":28,"guid":"28.capabilities","index":1,"source":"capabilities"},{"id":10,"guid":"10.capabilities","index":2,"source":"capabilities"},{"id":32,"guid":"32.capabilities","index":3,"source":"capabilities"},{"id":27,"guid":"27.capabilities","index":4,"source":"capabilities"},{"id":107,"guid":"107.capabilities","index":5,"source":"capabilities"},{"id":118,"guid":"118.capabilities","index":6,"source":"capabilities"},{"id":102,"guid":"102.capabilities","index":7,"source":"capabilities"},{"id":15,"guid":"15.capabilities","index":8,"source":"capabilities"},{"id":120,"guid":"120.capabilities","index":9,"source":"capabilities"},{"id":121,"guid":"121.capabilities","index":10,"source":"capabilities"},{"id":126,"guid":"126.capabilities","index":11,"source":"capabilities"},{"id":128,"guid":"128.capabilities","index":12,"source":"capabilities"}],"is_active":true,"last_name":"Hodson","nick_name":"Dominic","clerkships":[],"first_name":"Dominic","title_rank":9999,"updated_by":32,"law_schools":[{"id":3031,"meta":{"degree":"LL.B.","honors":"","is_law_school":"1","graduation_date":"1997-01-01 00:00:00"},"order":1,"pin_order":null,"pin_expiration":null}],"middle_name":" ","name_suffix":"","recognitions":null,"linked_in_url":null,"seodescription":null,"primary_title_id":15,"translated_fields":{"en":{"bio":"\u003cp\u003eDominic Hodson is a partner in King \u0026amp; Spalding\u0026rsquo;s Global Human Capital and Compliance practice. For over 20 years, Dominic has worked closely with some of the world\u0026rsquo;s best-known brands to provide strategic and commercial compliance solutions for their global personnel. \u0026nbsp;[[--readmore--]]\u003c/p\u003e\n\u003cp\u003eDominic specializes in global employment law and has devoted his career to the development of this niche practice, guiding his clients to compliant and commercially practical resolutions to their needs. Dominic's practice covers all regions of the world\u0026nbsp;and encompasses not only the day-to-day issues which global employers face in managing their workforce in specific countries, but also the complex and\u003c/p\u003e\n\u003cp\u003edetailed issues arising from the implementation and management of multijurisdictional HR projects and initiatives. He has a particular focus on the labor and employment aspects of international business transactions and his work includes:\u003c/p\u003e\n\u003cul\u003e\n\u003cli\u003eResolving employment and labor issues arising out of international M\u0026amp;A, spin-offs, joint-ventures and outsourcings, such as global business transfer rules (e.g. TUPE and its European equivalents); employee and employee representative consultation and consent processes; termination and rehire requirements; and pre- and post-transaction rationalization and integration processes.\u003c/li\u003e\n\u003cli\u003eAddressing global employment compliance issues, such as data protection; workplace harassment and discrimination; equal opportunity; flexible work and working from home requirements; leave and absence entitlements; wage-hour compliance; and protections for specific classes of employees.\u003c/li\u003e\n\u003cli\u003eImplementing individual and collective terminations and reductions in force, including alignment to permitted reasons for termination; individual and collective (e.g. works council and trade union) consultation requirements; government and labor authority notification and approval processes; severance agreements and other termination documents.\u003c/li\u003e\n\u003cli\u003eDesigning cost-management processes, such as adjustments and withdrawal of compensation programs; forced vacation; furloughs, unpaid leave and other reductions in working time; and implementation of other non-standard working arrangements to achieve necessary cost reductions.\u003c/li\u003e\n\u003c/ul\u003e"},"locales":["en"]},"secondary_title_id":null,"upload_assignments":{"headshot":[{"id":8193}]},"capability_group_id":1},"created_at":"2025-05-26T04:57:40.000Z","updated_at":"2025-05-26T04:57:40.000Z","searchable_text":"Hodson{{ FIELD }}Dominic Hodson is a partner in King \u0026amp; Spalding’s Global Human Capital and Compliance practice. For over 20 years, Dominic has worked closely with some of the world’s best-known brands to provide strategic and commercial compliance solutions for their global personnel.  \nDominic specializes in global employment law and has devoted his career to the development of this niche practice, guiding his clients to compliant and commercially practical resolutions to their needs. Dominic's practice covers all regions of the world and encompasses not only the day-to-day issues which global employers face in managing their workforce in specific countries, but also the complex and\ndetailed issues arising from the implementation and management of multijurisdictional HR projects and initiatives. He has a particular focus on the labor and employment aspects of international business transactions and his work includes:\n\nResolving employment and labor issues arising out of international M\u0026amp;A, spin-offs, joint-ventures and outsourcings, such as global business transfer rules (e.g. TUPE and its European equivalents); employee and employee representative consultation and consent processes; termination and rehire requirements; and pre- and post-transaction rationalization and integration processes.\nAddressing global employment compliance issues, such as data protection; workplace harassment and discrimination; equal opportunity; flexible work and working from home requirements; leave and absence entitlements; wage-hour compliance; and protections for specific classes of employees.\nImplementing individual and collective terminations and reductions in force, including alignment to permitted reasons for termination; individual and collective (e.g. works council and trade union) consultation requirements; government and labor authority notification and approval processes; severance agreements and other termination documents.\nDesigning cost-management processes, such as adjustments and withdrawal of compensation programs; forced vacation; furloughs, unpaid leave and other reductions in working time; and implementation of other non-standard working arrangements to achieve necessary cost reductions.\n Partner University of Sydney, Australia  University of Sydney Law School University of Sydney Law School New South Wales","searchable_name":"Dominic Hodson","is_active":true,"featured":null,"publish_date":null,"expiration_date":null,"blog_featured":null,"published_by":32,"capability_group_featured":null,"home_page_featured":null}]}}