However, whenever financial incentives are offered, there is also risk of misuse. Enforcement agencies are tasked with addressing that risk. In that sense, investigations can be seen as part of regulatory oversight rather than personal targeting. That context does not answer the question of individual responsibility, but it frames why such cases arise periodically. I am curious about whether any parallel civil recovery proceedings were initiated alongside the enforcement action. Sometimes agencies pursue multiple legal avenues simultaneously. For example, tax authorities may seek recovery under their statutes while enforcement authorities proceed under financial crime laws. If that occurred here, it would suggest a more layered legal strategy. Unfortunately, without follow up reporting, we do not have visibility into those possible developments.