The introduction of the three-year Anti-Corruption Plans in public bodies, which were later incorporated into the Integrated Plan of Activities and Organization (PIAO), aimed to replicate (with some differences) the experience of the organizational models provided for by Legislative Decree 231/2001, and has overcome some initial implementation difficulties. While initial implementation challenges have been largely overcome, the model continues to present critical issues related to the particular nature of public legal entities and to the criteria for assigning responsibility to the individual in charge of implementing the plan.
Sigismondi, G., La prevenzione della corruzione nella l. n. 190/2012, in Castronuovo, D., De Simone, G., Ginevra, E., Lionzo, A., Negri, D., Varraso, G., Compliance. Responsabilità da reato degli enti collettivi, Wolters Kluwer Italia, Milano 2024: 1445-1459 [https://hdl.handle.net/10807/322348]
La prevenzione della corruzione nella l. n. 190/2012
Sigismondi, Giammarco
2024
Abstract
The introduction of the three-year Anti-Corruption Plans in public bodies, which were later incorporated into the Integrated Plan of Activities and Organization (PIAO), aimed to replicate (with some differences) the experience of the organizational models provided for by Legislative Decree 231/2001, and has overcome some initial implementation difficulties. While initial implementation challenges have been largely overcome, the model continues to present critical issues related to the particular nature of public legal entities and to the criteria for assigning responsibility to the individual in charge of implementing the plan.I documenti in IRIS sono protetti da copyright e tutti i diritti sono riservati, salvo diversa indicazione.



