DOJ’s First Healthcare Fraud Declination Under the New Corporate Enforcement Policy: Key Lessons From the Campus Eye Management Resolution and the CEO’s Continuing Exposure
DOJ’s First Healthcare Fraud Declination Under the New Corporate Enforcement Policy: Key Lessons From the Campus Eye Management Resolution and the CEO
On July 29, 2026, the Department of Justice’s National Fraud Enforcement Division announced that it had declined to prosecute Campus Eye Management Holdings LLC and its wholly owned subsidiary, Campus Eye Management LLC (collectively, “Campus Eye”), under Part I of DOJ’s Corporate Enforcement and Voluntary Self-Disclosure Policy (CEP).... By: Goodwin