Current-law scope and cautions
- Under the current Anti-Unfair Competition Law, employee conduct can be attributed to the business operator unless evidence establishes it was unrelated to seeking transaction opportunity/competitive advantage for the operator.
- A compliance program is relevant evidence but is not an automatic statutory safe harbor. Criminal liability requires separate offence elements.
Use: This is a screening/estimation tool, not legal, tax, accounting or regulatory advice. Confirm the latest primary authority, regulator/exchange practice, local rules and transaction documents before acting.
