Home Compliance Double Dipping: Liability for FCA Violations Doesn’t Necessarily End with the DOJ ComplianceExpert OpinionNews Double Dipping: Liability for FCA Violations Doesn’t Necessarily End with the DOJ February 21, 2017 23 Share FacebookLinkedinTwitter You must be a Paid or Free Trial Member to Access this Content. Paid members, please login to view your news subscription(s). RELATED ARTICLESMORE FROM AUTHOR Compliance CFIUS Update: Larger Penalties, Sharper Monitoring Cyber Distributed Denial of Service (DDoS) Mitigation: What Nonprofits Need to Know Compliance Money Makes the Compliance Go Around