FOUPLER Men 13678 Women Water s Men Mutifunctional Quick Dry Skin Water Shoes Or Aqua Socks for Swim Yoga Beach Pool 2.black 8bd5216
fabric Rubber sole Uppers: Uppers are made of ultra-soft and quick-drying materials, printed with exquisite designs, it is breathable and has a fitting foot-type function,Perfect elasticity and comfortable foot feel. So that people feel like wearing a pair of socks, stretching the neck design is easy to wear water shoes and fit the ankle is not easy to fall off. Soles: two-color sole design to bring the shoes fashion movement of the vitality . The rubber material is much more wear and soft. It has a non-slip effect, each soles have several holes, these holes can ensure the shoes quickly drain the water inside when it leaving the water. Features 1: Our products are multi-functional skin care shoes, It designed for foot type and a variety of environmental use, it is comfortable and safe, especially recommended for use in water sports, it with comfortable & soft bottom insoles and soft rubber soles that can protect your feet, Features 2: Compared to the daily use shoes, our products to be much more thinner, lighter, and comfortable foot feeling, It suitable for a variety of exercises, combined with fashion sports and leisure style, ultra-light shoes such as socks in general, suitable for indoor and outdoor, Easy to wear and small size design that you can carry it to anywhere. You also can wear it to the gym, the pool, the garden or do yoga, Even the travel! What do FOUPLER water shoes use for ? Water sports: water park, surfing, beach driving, sailing, wake up, boating outdoors, snorkeling, swimming, swimming pool, canoeing, windsurfing, Daily use: home cleaning and car washing, walking, diving, yoga exercises,and more , This is a sport suitable for casual shoes, very suitable for your life.
Foreign Corrupt Practices Act appeals are not as rare as Halley’s Comet, but nevertheless rare. Thus, when an FCPA appeal occurs and an appellate court is presented with the opportunity to construe the law, almost be definition, it is a big deal.
As highlighted in this prior post, in July 2017 after a long trial a federal jury convicted Ng Lap Seng of two counts of violating the FCPA, one count of paying bribes and gratuities, one count of money laundering and two counts of conspiracy “for his role in a scheme to bribe United Nations ambassadors to obtain support to build a conference center in Macau that would host, among other events, the annual United Nations Global South-South Development Expo.” Thereafter, Seng was sentenced to 48 months in prison and three years of supervised release. In addition, Seng was ordered to pay a $1 million fine, $302, 977 in restitution to the United Nations and the judge also ordered a forfeiture money judgment of $1.5 million. Continue Reading
First, it was BNY Mellon Corp. in August 2015 for $14.8 million (see here and here for prior posts). Then, it was Qualcomm in March 2016 for $7.5 million (see here and here for prior posts). Then, it was JPMorgan in November 2016 for $202.6 million (see here, here, and here for prior posts).
Next up in Foreign Corrupt Practices Act enforcement actions (mostly targeting the financial services industry) focusing, in whole or in part, on internship and hiring practices being a form of bribery is Credit Suisse as the DOJ and SEC officially announced today (see here and here) the expected enforcement action (see here).
If you were wondering whether this “scurrilous and hypocritical” form of FCPA enforcement action (as stated by a former SEC Chairman see here) would carry forward to the Trump administration, you now have the answer.