Overview
Robert Luskin is a partner in the Investigations and White Collar Defense practice at Paul Hastings and is based in the firm’s Washington, D.C. office. He is one of the best known and most highly-regarded litigators in Washington, D.C., concentrating in complex criminal litigation at both the trial court and appellate level. Beginning his career in government service, and having later transitioned into private practice, Mr. Luskin has represented clients in virtually every high-profile matter in Washington, D.C. over the last three decades. Mr. Luskin has special experience in cases involving allegations of official corruption. While at the U.S. Department of Justice (DOJ), he helped supervise the ABSCAM investigation, which resulted in the conviction of several members of Congress, and thereafter represented the DOJ in hearings before Congress concerning the investigation.
Since entering private practice, he has represented a Cabinet Officer and senior White House officials of both parties in criminal investigations by Independent Counsels and the DOJ, the senior staff of a U.S. Senator in the Keating Five Senate Ethics Investigation, and Members of Congress from both parties in criminal investigations. Mr. Luskin successfully represented a sitting U.S. District Judge in a criminal trial and appeal, securing the reversal of his client’s conviction before the U.S. Supreme Court and the en banc U.S. Court of Appeals for the Ninth Circuit. More recently, he successfully represented Karl Rove in the Special Counsel investigation of a leak of the identity of a CIA officer and a member of Congress in the investigations arising out of the prosecution of lobbyist Jack Abramoff. Mr. Luskin also represented the U.S. Ambassador to the EU in recent impeachment proceedings before Congress.
Mr. Luskin has devoted his attention recently to the particular challenges posed by the representation of foreign corporations and financial institutions in multi-jurisdictional, cross-border criminal investigations and has reached path-breaking agreements in these areas with the DOJ. He has special expertise in civil and criminal investigations under the Foreign Corrupt Practices Act (FCPA) and has represented foreign corporations in three of the five largest FCPA investigations ever resolved with the DOJ and the Securities and Exchange Commission. According to the Global Investigations Review, since 2008, Mr. Luskin has served as lead counsel in the second most substantial FCPA resolutions. Most recently, his role as lead counsel includes the three-country resolution for Airbus, the largest global anti-corruption resolution ever, as well as TechnipFMC, Braskem, SBM, and Alstom.
From 1980 to 1982, he was Special Counsel to the Organized Crime and Racketeering Section of the U.S. Department of Justice, where he was responsible for legal and policy issues concerning the Organized Crime Strike Forces, as well as supervision and review of complex undercover operations. Mr. Luskin is a past Chairman of the Committee on RICO, Forfeitures and Alternative Remedies of the American Bar Association Criminal Justice Section, a former President of the Harvard Law School Association of the District of Columbia, and has been a member of the D.C. Circuit Judicial Conference. For two decades, he was a Lecturer at the University of Virginia School of Law, where he taught courses in advanced criminal law and labor racketeering, and is currently a member of the faculty of the Georgetown University Law Center, where he teaches a course in Global Anti-Corruption. He has lectured at Harvard Law School, the Sorbonne, and other universities.
Recognitions
- Benchmark Litigation USA, Litigation Star (2025)
- Chambers USA, Litigation: White-Collar Crime & Government Investigations - Band 1
- Chambers USA, FCPA - Band 1 (2014-2021)
- The Legal 500 USA, Leading Lawyer, Corporate Investigations and White-Collar Criminal Defense: Advice to Individuals (2020-2024)
- The Legal 500 USA, International Trade (2021-2022)
- Chambers Global USA FCPA - Band 1 (2018-2022)
- GIR’s Top FCPA Practitioner (list of top 30)
- The Legal 500, Legal leader
- The Legal 500, Dispute Resolution - International Trade (2021)
- The Legal 500, Leading Lawyer for Dispute Resolution - Corporate Investigations and White-Collar Criminal Defense: Advice to Corporates (2021)
- Chambers USA, Litigation: White-Collar Crime & Government Investigations - Partner of the Year (2021)
- Law360, MVP (2020)
Representations
- United States v. Airbus (serving as lead U.S. counsel in the largest global anti-corruption resolution, involving simultaneous resolutions in the U.S., U.K., and France; and the largest DOJ resolution ever in which DOJ has not required a guilty plea)
- Helped to lead the representation of Goldman Sachs related to FCPA and money laundering investigations into the company’s activities in Malaysia. This matter resulted in the biggest-ever FCPA criminal case, with a $2.3 billion settlement.
- United States v. TechnipFMC (lead counsel in global resolution involving the U.S. and Brazil, the first ever involving simultaneous coordinated resolutions with the DOJ, MPF, and GGU/AGU)
- United States v. SBM (lead counsel in global resolution involving the U.S. and Brazil, the largest DOJ resolution not involving the appointment of a compliance monitor)
- United States v. Braskem (lead counsel in coordinated resolution involving the U.S. and Brazil, formerly the largest DOJ criminal FCPA resolution)
- United States v. Technip, SA (representing a French corporation in reaching a deferred prosecution agreement to resolve charges under the FCPA arising from the Bonny Island investigation)
- United States v. Total, SA (representing a French corporation in reaching a deferred prosecution agreement to resolve charges under the FCPA)
- United States v. Alstom, SA (representing a French corporation in resolving charges under the FCPA in the largest criminal case ever settled by the DOJ at the time)
- BNP-Paribas (successfully representing more than a dozen senior executives of BNP-Paribas in a combined state and federal civil and criminal investigation of potential sanctions violations)
- British Financial Institution (currently representing a significant British financial institution in ongoing criminal and civil investigations of potential violations of U.S., U.K., EU, and UN sanctions)
- Middle-Eastern Financial Institution (currently representing a major Middle Eastern commercial bank in an ongoing criminal and civil investigation of potential violations of U.S. sanctions)
- United States v. Aguilar, 515 U.S. 593 (1995) (representing a U.S. District Judge)
- Laborers’ International Union of North America, International Brotherhood of Teamsters, International Union of Operating Engineers (developing compliance programs)
news
- Paul Hastings Recognized and “Highly Recommended” by Latin Lawyer - August 19th, 2022
- Paul Hastings Recognized by Chambers Global 2022 - February 21st, 2022
- Paul Hastings Named ‘White Collar Group of the Year’ by Law360 - January 27th, 2022
- Paul Hastings Celebrated as Most Impressive Investigations Practice at Global Investigations Review’s Annual Awards - November 10th, 2021
- Paul Hastings Recognized in Legal 500 Latin America Guide - October 27th, 2021
- Robert Luskin Profiled as a Top FCPA Practitioner by Leading Industry Publication Global Investigations Review - June 15th, 2021
- Robert Luskin Honored by Chambers USA as White Collar Lawyer of the Year - May 27th, 2021
- Paul Hastings Ranked as Top Three Firm for New Rankings and Recognized for Numerous Practice Strength and Growth in Chambers USA 2021 - May 21st, 2021
- Paul Hastings Wins American Lawyer Collaboration Award for Airbus ‘Virtual Law Firm’ - January 15th, 2021
- Robert Luskin Named Law360 White Collar MVP - October 30th, 2020
- Paul Hastings Named to World’s Top 10 Best Investigations Practices by Global Investigations Review - October 23rd, 2020
- Paul Hastings Recognized for Legal Excellence in Legal 500 US 2020 - July 24th, 2020
- Paul Hastings Wins National Law Journal’s Washington, D.C. White Collar Litigation Department of the Year Award - May 29th, 2020
- Braskem Concludes 2016 FCPA Settlement with United States Department of Justice and Securities and Exchange Commission - May 19th, 2020
- Paul Hastings Practices and Lawyers Score Top Rankings in Chambers USA 2020 - May 1st, 2020
- Paul Hastings Advises Airbus in Coordinated Resolutions with France, UK, and U.S. Investigating Authorities - January 31st, 2020
- Paul Hastings Practices and Lawyers Score Top Rankings in Chambers USA 2019 - May 1st, 2019
- Paul Hastings Practices and Lawyers Score Top Rankings in Chambers USA 2018 - May 11th, 2018
- Paul Hastings Wins Financial Times’ Business of Law Award for Managing and Developing Talent - December 15th, 2017
- Paul Hastings Investigations and White Collar Defense Practice Named Most Impressive Investigations Practice by Leading Industry Publication Global Investigations Review - October 31st, 2017
Recognitions
- Paul Hastings Multidisciplinary Litigation Team Once Again Recognized in Benchmark Litigation USA 2025 - October 18th, 2024
- Paul Hastings Leads Across Practices in Latin America - October 14th, 2024
- Paul Hastings Ranked Top 5 in Global Investigations Review's "The GIR 30" 2022 - November 22nd, 2022
- Latin Lawyer Recognizes Paul Hastings on its "Highly Recommended" List - August 19th, 2022
- Paul Hastings Recognized for Legal Excellence in the Legal 500 2022 - June 13th, 2022
- Paul Hastings Investigations and White Collar Defense Practice Recognized by Chambers USA 2022 - June 1st, 2022
- Paul Hastings Recognized by Chambers Global 2022 - February 21st, 2022
- Anti-Corruption and FCPA Practice Recognized by Chambers Global 2022 - February 21st, 2022
- Paul Hastings Named 'White Collar Group of the Year' by Law360 - January 27th, 2022
- Paul Hastings Championed as Most Impressive Investigations Practice by Global Investigations Review - November 10th, 2021
- Recognized for Excellence in Legal 500 Latin America 2021 Guide - October 27th, 2021
- Paul Hastings Investigations & White Collar Defense Practice Ranked in the 2021 Legal 500 U.S. Guide - June 18th, 2021
- Paul Hastings Recognized for Legal Excellence in Legal 500 2021 - June 15th, 2021
- Paul Hastings Litigation Practice Recognized by Chambers USA 2021 - May 28th, 2021
- Recognized by Chambers USA 2021 - May 21st, 2021
- Recognized by Law360 MVPs - October 30th, 2020
- Recognized among the World’s Top 10 Best Investigations Practices by Global Investigations Review for 2020 - October 23rd, 2020
- Recognized by Law360 as a White Collar MVP - October 5th, 2020
- Recognized as the National Law Journal’s Washington, D.C. White Collar Litigation Department of the Year - May 27th, 2020
- Recognized by Chambers USA 2020 - May 1st, 2020
insights
- Corporate Criminal Liability for Artificial Intelligence - May 24th, 2024
- PH Arbitration Speedread: English Court Sets Aside Multibillion-Dollar Award Procured by Fraud - October 30th, 2023
- Something Familiar, Something New: OFAC’s Compliance Program Framework - May 6th, 2019
- Extraterritoriality and the Rise of Litigation Risk - November 9th, 2017
- Going, Going, Gone: First Law of the Trump Administration Repeals Regulations Implementing Section 1504 Reporting Requirements for Payments to Governments by Oil, Gas, and Mining Companies - February 15th, 2017
- Gift Giving and Insider Trading: The Supreme Court Rules in Government’s Favor in Significant Insider Trading Case - December 7th, 2016
- Teva Pharmaceuticals Announces a Reserve of $520M in View of What Stands to Be the Fourth Largest FCPA Resolution to Date - November 17th, 2016
- United States of America v. Reza Zarrab: The Long Reach of U.S. Sanctions May Have Just Gotten Longer - October 26th, 2016
- DOJ Voluntary Disclosure Guidance Signals Expanded Role in Export Control & Sanctions Investigations - October 24th, 2016
- FCPA Enforcement: Tech Companies and the Pilot Program - September 23rd, 2016
- They Keep Coming: The SEC Enters a $5.5M Settlement with AstraZeneca PLC Resolving FCPA Allegations - September 12th, 2016
- Take Two—The SEC Adopts Section 1504 Reporting Requirements for Payments to Governments by Oil, Gas, and Mining Companies - July 5th, 2016
- Ever Active and Perhaps Not So New—The SEC Awards Three Dodd-Frank Whistleblowers - June 9th, 2016
- DOJ’s FCPA Enforcement Plan Highlights the Need for Robust Anti-Corruption Compliance Programs - April 13th, 2016
- Another Life Sciences Company Gets Hit Hard: Olympus Pays $646M to Resolve Corruption Allegations in a Unique Dual FCA / FCPA Resolution - March 28th, 2016
- Your Joint Venture In Fact Can Be Your Problem: Bristol Meyers Squibb Pays $14M to Resolve FCPA Allegations - October 12th, 2015
- DOJ’s New Focus on Corporate Executives: The Practical Effects - September 14th, 2015
- Commerzbank, Schlumberger Settlements Mark Acceleration of Sanctions-Related Enforcement Activities - March 31st, 2015
Engagement & Publications
- Author, “Caring About ‘Due Care’: Why Criminal Respondeat Superior Liability Outreaches its Justication,” 57 Am. Crim. L. Rev. 303 (2020)
- Author, “Foreign Corrupt Practices in US Law”, 1 Revue de Droit International d’Assas (Assas Int. L. Rev.) (2018)
- Lectured on issues of jurisdiction and data protection in cross-border, multi-jurisdictional criminal investigations, December 2014, University of Paris-II, Sorbonne
- Litigation Achievements, July 2009
- BRIEFING PAPERS: “Under Pressure: The New Congress and What You Need to Know to Prepare For A Congressional Investigation,” September 2007
- Author, “Behold, The Day of Judgment: Is the RICO Pattern Requirement Void for Vagueness,” 64 St. John’s L. Rev. 779, January 1990