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David Simon headshot.

David W. Simon

Partner

David W. Simon focuses his practice on strategic counseling and conducting domestic and international internal investigations to preempt or mitigate enforcement actions taken against corporate clients by the U.S. Department of Justice, the Securities and Exchange Commission, the Federal Trade Commission, and other enforcement agencies. He successfully defends companies and senior executives in enforcement actions and litigation with the government, and he delivers practical regulatory advice and builds effective corporate compliance programs to help avoid enforcement actions in the first place.

David is experienced in guiding corporate boards and company management through challenging government enforcement matters, recognizing that corporate compliance problems are fundamentally business problems that require business-centric solutions. Holding an EMBA degree from the University of Oxford, he puts legal advice in the context of broader strategic business issues, and he leverages his combined experience and education in his leadership roles as national vice chair of the firm鈥檚 Government Enforcement Defense & Investigations Practice Group and chair of the Antitrust & Competition Practice Group.

Global Problems, Global Solutions

David is a defense lawyer who is adept at assembling and leading global teams of professionals to provide solutions to the potentially catastrophic financial and reputational threats presented by a government enforcement action. He has substantial experience dealing with U.S. regulators, and he understands their expectations.

In the course of helping companies successfully manage crises arising outside of the United States, David has conducted investigations all over the world and has built deep relationships with top-caliber business-oriented enforcement attorneys, forensic accountants, and other professionals in virtually all economically significant countries. David is a founding director of the , an alliance of business crimes and compliance lawyers around the world that provides integrated investigations, defense, and compliance solutions to cross-border problems.

Practical, Actionable Compliance Advice

To help his clients avoid compliance trouble in the first place, David provides practical, experienced-based advice and counsel and helps companies develop and implement effective corporate compliance programs. Companies choose David because his approach is to craft reasonable and pragmatic compliance solutions that can be implemented effectively, consistent with the expectations of the regulators but without undue disruption to the company鈥檚 operations and while respecting the practical realities of their business goals.

Government Enforcement Defense

David also has extensive experience leading teams representing clients in international sanctions matters, in antitrust matters (particularly in the health care industry), and in conducting False Claims Act and environmental law investigations and defending enforcement actions and litigation.

FCPA and Global Anti-Bribery & Anti-Corruption Defense

The FCPA and global anti-bribery and anti-corruption laws are a major focus of David鈥檚 defense, investigations, and counseling practice. David is an FCPA lawyer who has handled dozens of bribery investigations and enforcement defense actions for companies around the world and in a variety of industries.

David is an FCPA/anti-bribery/anti-corruption authority who writes, speaks, and is quoted on hot topics in the field.

Representative Experience

FCPA and Global Anti-Bribery & Anti-Corruption Defense

  • Conducted an internal investigation for a publicly traded company in the health care diagnostics industry into allegations that its Philippines distributor paid bribes in connection with certain government sales. He guided the company through the termination of the distributor and the deployment of enhanced compliance procedures and controls.
  • Led the team representing a publicly traded U.S. manufacturing company that discovered suspicious payments to an agent made by its Peru subsidiary. The investigation led to discovery of a number of additional compliance issues, including suspicious payments in China, sales to Cuba, and additional Peru bribery allegations. David helped the company navigate through the complex landscape this presented, including defending U.S. Department of Justice, U.S. Securities and Exchange Commission, and Peruvian government investigations.
  • Lead FCPA counsel for an independent compliance monitor engaged by a financial institution, as mandated by its FCPA settlement agreements with the U.S. Department of Justice and U.S. Securities and Exchange Commission. In this role, David advised the organization in his review and assessment of the company鈥檚 compliance anti-bribery policies, procedures, and internal controls, and he reported to the regulators on his findings and conclusions.
  • Conducts international compliance due diligence for a large industrial conglomerate that regularly acquires companies based in and operating all around the world. He helps the company identify and value global compliance risks to inform purchase and valuation decisions, and he assists in developing compliance integration and remediation plans for newly acquired businesses.
  • Served as lead appellate FCPA counsel for Carlos Rodriguez in the landmark case聽U.S. v. Esquinazi, Case No. 11-15331, the first federal appeals court case to address the meaning of the FCPA鈥檚 鈥渇oreign official鈥 element.

Government Enforcement Defense

  • Represented two construction company executives who received target letters from a U.S. Attorney鈥檚 Office, indicating the office believed the executives had participated in a fraudulent scheme involving disadvantaged business set-aside contracts with various governmental entities. David persuaded the office to decline to bring any criminal charges against the executives and negotiated a civil settlement between the United States and the company that allowed a successor company to continue operations. The executives describe their experience with David as follows:

鈥淲hen our business and personal lives were unexpectedly investigated by the DOJ, we sought out the best legal representation we could find. That search led us to retaining the legal services of Dave Simon. He was a calming and confident influence as he navigated us through countless obstacles, each time achieving results that exceeded our expectations. His legal skills cleared our names and gave us back a future we thought might be slipping away.鈥

  • When St. Mary鈥檚 Medical Center in Huntington, West Virginia, sought to merge with the other major hospital system in the city, Cabell Huntington Hospital, the U.S. Federal Trade Commission challenged the combination on antitrust grounds. David led the team representing St. Mary鈥檚 in the defense of the FTC investigation and enforcement action and in the negotiation of a political solution with the West Virginia Attorney General, which allowed the merger to proceed.
  • Defended an industrial company in a grand jury investigation into potential criminal violations of the Resource Conservation and Recovery Act and persuaded DOJ to close the investigation without bringing any changes against the company.

Extensive India Experience

David has particularly deep experience leading investigations and enforcement actions arising out of India and advising companies and their India operations on compliance with applicable laws. Through this experience, David has developed a deep understanding of India and the risks posed to companies doing business there; he is adept at developing India-specific risk mitigation strategies and navigating cross-border enforcement actions and litigation.

Sherbir Panag, of the New Delhi-based Panag & Babu, describes David鈥檚 India experience as follows:

鈥淒avid Simon鈥檚 understanding of India goes beyond the surface, to a deeper appreciation of its business, culture, and legal system. This depth allows his advocacy and counsel to be more grounded in the practical realities of the Indian subcontinent. Over the past decade, David has helped our clients navigate complex regulatory and commercial disputes in the United States, earning the trust of our clients, who view him as their go-to U.S. counsel. I have also had the pleasure of acting as co-counsel to FCPA internal investigations that David has led in India, and on each occasion, I have been impressed by his remarkable solution-oriented approaches as well as the respect he commands from law enforcement and clients alike.鈥

David is a thought leader with respect to India-specific compliance issues and has published extensively and spoken frequently on India compliance and governance issues.

Awards and Recognition

  • World Leading Expert in Business Crime Defense 鈥 Corporates,聽GIR Lexology Index (2025-2026)
  • Recognized as a Thought Leader USA by Lexology Index (2024)
  • Named a “Criminal Defense: White Collar Lawyer of the Year” by Best Lawyers (2023, 2026)
  • Peer review rated as AV Preeminent庐, the highest performance rating in the Martindale-Hubbell庐 Peer Review Ratings鈩 system
  • Selected by his peers for inclusion in聽The Best Lawyers in America庐聽(2014鈥2024) in the field of Criminal Defense: White-Collar Law
  • Recommended by The Legal 500 for his work in Dispute Resolution: Corporate Investigations and White-Collar Criminal Defense
  • Recommended and recognized as a 鈥淭hought Leader鈥 by Who鈥檚 Who Legal in the category of Business Crime Defense 鈥 Corporations 2023, and as a 鈥淕lobal Leader鈥 in the category of Business Crime Defense 鈥 Corporates 2022

Presentations and Publications

  • Panelist, 鈥淥perating in India: Tackling Entry Challenges and Country-Specific Legal and Cultural Dynamics to Strengthen and Monitor Compliance,鈥 ACI 20th Annual FCPA & Anti-Corruption for the Life Sciences Industry 鈥 Navigating Global Ethics & Compliance Amid Seismic Enforcement Shifts in the Trump 2.0 Era (May 8, 2025)
  • Presenter, 鈥淐onsequences of Trump Administration pausing FCPA Enforcement. Will EU fill the Void?鈥 AmCham Denmark Webinar (April 1, 2025)
  • Panelist, 鈥淣avigating Global Investigations: Coordinating Cross-Border Compliance and Defense Strategies,鈥 ALM | LAW.COM LEGALWEEK (March 26, 2025)
  • Speaker, 鈥淭rump DOJ 2.0: A Paradigm Disrupted,鈥 Internationaler Strafrechtstag (International Criminal Law Conference), Munich, Germany (March 21, 2025)
  • Quoted, 鈥,鈥澛燣aw.com (February 24, 2025)
  • Quoted, 鈥淧art II鈥DOJ & SEC v Adani: The U.S. Law Perspective,鈥 RESOLUT PARTNERS NewsWire (December 12, 2024)
  • Onscreen Interview: 鈥淯.S. Court Indicts Adani for Bribing Indian Government Officials: What’s Next for Adani Group?,鈥 CNBC-TV18 (November 22, 2024)
  • Quoted, 鈥,鈥 American Conference Institute (January 30, 2024)
  • Moderator, panel discussion, 鈥淎frica On The Ground: How to Navigate Complex, Heightened Risks and Dilemmas in Real Life,鈥 ACI Foreign Corrupt Practices Act Houston conference (January 25, 2024)
  • Quoted, 鈥淪AP Bribery Case Shows US Mercy to Cooperating Recidivist,鈥 Bloomberg Law (January 11, 2024)
  • Co-author, 鈥淏ecoming a Great Negotiator: Six Tips for Lawyers,鈥 Wisconsin Lawyer (January 9, 2024)
  • Quoted, 鈥淢anage Social Factors Like Other Governance Risks,鈥 SAP (December 23, 2023)
  • Co-author, 鈥淟everaging the International Labor Organization鈥檚 Forced Labor Indicators to Eradicate Forced Labor from Supply Chains,鈥 Manufacturing Industry Advisor (November 27, 2023)
  • Co-author, 鈥淚mplications of DOJ鈥檚 New Safe Harbor for Disclosing Misconduct Uncovered During M&A Transactions,鈥 Foley Insights (October 12, 2023)
  • Contributor, Chapter 17, 鈥淏oard Oversight of Compliance, Regulatory Investigations, and Regulatory Enforcement Actions,鈥 and Chapter 18, 鈥淥verview of Critical U.S. Legal Regimes Impacting Companies Conducting Business in the Global Marketplace,鈥 Practising Law Institute Audit Committee Deskbook (September 2023)
  • Co-author, 鈥淲hat Every Multinational Company Should Know About . . . Supply Chain Integrity,鈥 Manufacturing Industry Advisor (June 7, 2023)
  • Co-author, 鈥淲hat Every Multinational Company Should Know About . . . Anti-Corruption,鈥 Manufacturing Industry Advisor (May 24, 2023)
  • Panelist, 鈥淲histleblowers, Internal Investigations, and Compliance Design in the United States, Germany, and Austria,鈥 University of Illinois (May 23,2023)
  • Presenter, 鈥淔CPA and Anti-Bribery Compliance in Africa,鈥 Webinar (April 4, 2023)
  • Co-author, 鈥淜eeping the 鈥楽鈥 in ESG: Human Rights & Supply Chain,鈥 Manufacturing Industry Advisor (March 29, 2023)
  • Presenter, 鈥淲histleblowers in the U.S.: Results and Developments,鈥 German Ombudsman Association鈥檚 鈥淲histleblowing in an International Context and its Implications for Criminal Proceedings鈥 Conference (March 23, 2023)
  • Co-author, 鈥淒OJ Issues New Corporate Compliance Guidance for Compensation Clawbacks and Messaging Apps,鈥 Labor & Employment Law Perspectives (March 9, 2023)
  • Co-author, 鈥淩eal ESG Enforcement Mechanisms: Restrictions on Imports of Goods Made with Forced or Child Labor,鈥 Manufacturing Industry Advisor (December 19, 2022)
  • Author, 鈥淟iving with ESG? Perspectives from an American Lawyer and UK MBA Student,鈥 Foley Insights (October 14, 2022)
  • Co-author, 鈥淲hat You Need to Know about the Corporate Transparency Act鈥檚 Final Rule,鈥 Foley Insights (October 12, 2022)
  • Co-author, 鈥淚nternational Compliance and Risk Heat Map,鈥 Foley Insights (July 26, 2022)
  • Author, 鈥淢anaging Supply Chain Disruption in an Era of Geopolitical Risk,鈥 Manufacturing Industry Advisor (July 19, 2022)
  • Co-author, 鈥淭op Legal Issues Facing the Manufacturing Sector in 2022,鈥 Manufacturing Industry Advisor (July 6, 2022)
  • Co-author, 鈥淪EC Directs Public Companies to Evaluate Disclosure Relating to Russia鈥檚 Invasion of Ukraine and Related Supply Chain Issues,鈥 Foley Insights (May 6, 2022)
  • Co-author, 鈥淎ntitrust Division Announces Update to Its Leniency Program and Revamps Answers to Frequently Asked Questions,鈥 Foley Insights (April 5, 2022)
  • Compliance Podcast, 鈥淒avid Simon Discusses ESG and the Meta-Contract,鈥 The Voice of Compliance (February 28, 2022)
  • Author, 鈥淎 New Year for Human Rights Compliance Resolutions,鈥 Industry Today (February 4, 2022)
  • Co-author, 鈥淯yghur Forced Labor Prevention Act 鈥 Comment Period Open until March 10, 2022,鈥 Manufacturing Industry Advisor (January 2, 2022)
  • Co-author, 鈥淲hat You Need to Know about the Corporate Transparency Act Notice of Proposed Rulemaking,鈥 Foley Insights (December 27, 2021)
  • Co-author, 鈥淧resident Signs Uyghur Forced Labor Prevention Act 鈥 Next Steps for Compliance,鈥 Manufacturing Industry Advisor (December 23, 2021)
  • Co-author, 鈥淪ustainable, Slavery-Free Supply Chains: The New Caveat Emptor,鈥 Corporate Compliance Insights (December 15, 2021)
  • Co-author, 鈥淔orced Labor Update 鈥 Possible Complete XUAR Import Ban,鈥 Government & Public Affairs Blog (December 10, 2021)
  • Co-author, 鈥淲PP鈥檚 SEC Settlement Highlights Five Common Mistakes Companies Make When Entering the Indian Market,鈥 Anti-Corruption Report (December 15, 2021)
  • Co-author, 鈥淩enewed Warnings and New Legislation on Forced Labor in Global Supply Chains,鈥 Labor & Employment Blog (July 15, 2021)
  • Co-author, 鈥淔orced Labor Sanctions in the Solar Industry 鈥 What You Need to Know,鈥 Foley Insights (June 25, 2021)
  • Co-author, 鈥溾機lean Green鈥 to Counter Belt and Road.鈥 Foley Insights (June 7, 2021)
  • Compliance Podcast, 鈥淭he Achilles Heel of FCPA Compliance: Bribe-Paying Third Parties,鈥 FTI Compliance Eats Strategy (April 14, 2021)
  • Co-author, 鈥淗uman Rights and Forced Labor Sanctions Announced,鈥 Foley Insights (March 24, 2021)
  • Co-author, 鈥淔inCEN Advisory and Notice on Financial Crimes Targeting COVID-19 Economic Impact Payments,鈥 Foley Insights (March 15, 2021)
  • Panelist, 鈥淗ot Trends in DOJ and SEC Enforcement and Litigation 2021,鈥 Webinar (February 23, 2021)
  • Co-author, 鈥淲hat You Need to Know about the Corporate Transparency Act,鈥 Foley Insights (January 12, 2021)
  • Co-author, 鈥淩eassessing Your Global Compliance Risk Profile,鈥 Foley Insights (November 13, 2020)
  • Presenter, 鈥淚nvestigations During the COVID-19 Pandemic,鈥 Webinar (October 29, 2020)
  • Presenter, 鈥淒on鈥檛 Buy a Pig in a Poke: Minimizing FCPA Risks in International M&A,鈥 Webinar (October 19, 2020)
  • Co-author, 鈥淔inCEN Expands View of Compliance Requirements,鈥 Foley Insights (August 26, 2020)
  • Co-author, 鈥淭he Impact of an Asset Purchase Transaction Structure on FCPA Risk,鈥 Global Banking & Finance Review (August 26, 2020)
  • Co-author, 鈥淔inCEN Issues Advisory on Cybercrime and Cyber-Enabled Crime Exploiting COVID-19,鈥 Foley Insights (August 5, 2020)
  • Co-author, 鈥淒OJ/SEC Release New Edition of FCPA Resource Guide,鈥 Foley Insights (July 6, 2020)
  • Co-author, 鈥淪upreme Court Recognizes, Limits SEC鈥檚 Disgorgement Power,鈥 Foley Insights (June 24, 2020)
  • Co-author, 鈥淣aming Bribe-Paying Third Parties Would Improve FCPA Compliance,鈥 Foley Insights (June 24, 2020)
  • Co-author, 鈥淭he Long Arm of American Enforcement: How Companies Without U.S. Operations Can Still Find Themselves Facing U.S. Law and Regulatory Enforcement,鈥 Foley Insights (June 4, 2020)
  • Author, 鈥淢itigating Bribery and FCPA Risks in the Time of COVID-19,鈥 Foley Insights (May 13, 2020)
  • Author, 鈥淐haritable Giving, Government Support and Concession Requests, and Anti-Corruption Compliance in the Time of the Coronavirus Pandemic,鈥 Foley Insights (April 8, 2020)
  • Co-author, 鈥淚nternal Investigations and Privileges: Two More Courts Rule,鈥 Foley Insights (April 1, 2020)
  • Author, 鈥淔CPA Notebook: Trends in 2019,鈥 Foley Insights (October 7, 2019)
  • Presenter, 鈥淕lobal Compliance Internal Investigations Workshop, Foley Seminar (June 28, 2019)
  • Panelist, 鈥淗ot Trends in DOJ and SEC Enforcement and Litigation,鈥 Sandpiper Partners Breakfast and Educational Briefing (May 16, 2019)
  • Co-author, 鈥淒OJ Announces Updated Guidance on Evaluating Corporate Compliance Programs,鈥 Health Care Law Today (May 6, 2019)
  • Co-author, 鈥淎 Checklist for Managing a Dawn Raid in India,鈥 The Anti-Corruption Report (April 17, 2019)
  • Co-author, 鈥淗ow to Prepare for the Possibility of a Dawn Raid in India,鈥 The Anti-Corruption Report (February 20, 2019)
  • Co-author, 鈥淭he Foreign Corrupt Practices Act鈥 (Chapter), International Agency and Distribution (February 15, 2019)
  • Co-author, 鈥淲hat is the FCPA?鈥 Three-part Video Series (Part 3) (February 6, 2019)
  • Co-author, 鈥淎nti-Bribery and Foreign Corrupt Practices Act Compliance for U.S. Companies Doing Business in India,鈥 Three-part Video Series (Part 2) (January 22, 2019)
  • Co-author, 鈥淭en Tips for Performing Effective Anti-Corruption Investigations in India,鈥 Three-part Video Series (Part 1) (January 7, 2019)
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April 28, 2026 Events

2026 Spring International Trade Webinar Blitz

This three-part webinar series is presented by Foley鈥檚 International Trade team to break down what has changed for companies that operate or source internationally, where risks are accelerating, and what companies should be doing now to understand and manage this evolving risk landscape.
The words "Department of Justice" are mounted on a beige stone wall, reflecting the institution鈥檚 crucial role in areas like intellectual property law and litigation support.
March 25, 2026 Foley Viewpoints

DOJ Announces First Corporate Enforcement Policy for Criminal Matters

On March 10, 2026, the Department of Justice (DOJ) released its first department-wide corporate enforcement and voluntary self-disclosure policy (CEP) governing all criminal matters (except for antitrust matters, which are governed by the Antitrust Division鈥檚 longstanding Corporate Leniency Program and separate whistleblower program).
Three people in a corporate law office discuss financial charts at a table with a laptop, tablet, calculator, and printed graphs, focusing on data analysis and business planning.
January 9, 2026 Foley Viewpoints

Legal Risks Associated With Accelerated Investment Opportunities in Venezuela

October 9, 2025 In the News

David Simon Outlines Essential Practices for Institutionalizing Ethics and Compliance in Corporate Governance

番茄社区; Lardner LLP partner David Simon shares valuable insights for how business leaders can create and maintain an ethical culture in his NACD Directorship article, 鈥淔ive Practices to Institutionalize Ethics, Integrity, and Compliance.鈥
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September 19, 2025 Tariff & International Trade Resource

Don鈥檛 Forget, October Brings New DOJ Data Security Program Obligations

As previously reported, October 6, 2025, marks the final deadline in the implementation of the Department of Justice鈥檚 (DOJ) Data Security Program (DSP). As of that date, businesses dealing with U.S. bulk personal data or government-related data need to be compliant with due diligence, auditing, recordkeeping, and reporting requirements.
August 18, 2025 In the News

David Simon Coauthors Piece on Empowering Lawyers as Strategic Business Partners

番茄社区; Lardner LLP partner David Simon coauthored The Agenda article, "Turn Your Corporate Lawyer into a Strategic Weapon," published by Financial Times.