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31 Days to More Effective Compliance Programs

The Hiring Process as a Step to Operationalize Compliance


One of the conventional wisdoms about compliance training is that you will never be able to reach 5% of your workforce with compliance training because they are predisposed to lie, cheat and steal anyway. Whether they are simply sociopaths, scumbags or just bad people; it really does not matter. No amount of training is going to convince them to follow the rules, as they do not think such laws apply to them. They will lie, cheat and steal no matter what industry they are in and what training you provide to them. But knowing such people exist and they may be able to lie, con or otherwise dissimilate their way into your organization does not protect your company from FCPA liability when they inevitably violate the law by engaging in bribery and corruption. It is still the responsibility of your company to prevent and detect such conduct and then remediate if it occurs.
This is where your HR function has a dual role, with both their traditional hiring role and in a compliance function. They can work to help weed out such miscreants and to communicate your corporate values of doing business ethically, in compliance and aligned with your corporate values of integrity.
Through a structured series of questions, however, a properly trained HR professional can begin to assess whether an employee might have a propensity to engage in bribery and corruption. By adding information about your company’s values towards doing business ethically and in compliance, you can introduce this topic at either the interview evaluating process or in the promotion process. While true sociopaths will most certainly lie to you, perhaps even convincingly, by introducing the topic at such a pre-employment stage, they may be encouraged to take their skills elsewhere
Three key takeaways:

  1. Use the interview process to determine who will be an ethical and compliance fit for your organization.
  2. Consider the skill, will and fit approach.
  3. Ask open-ended questions.
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12 O’Clock High-a podcast on business leadership

Business Leadership Failures from 2019-Goldman Sachs


This week I have a special five-part podcast series where I am joined by Amii Barnard-Bahn to review some of the top business leadership failures of 2019.  Today, we take a look at leadership failures from Goldman Sachs and the 1MDB corruption scandal. Some of the issues we explore in this podcast include:

  • The Goldman Sachs/1MDB imbroglio is one largest geopolitical scandal of the decade and may well be for the 2020s as well.
  • This matter featured widespread corruption in the level of controls circumvented, at the very top levels of leadership. A settlement seems close as Goldman Sachs has announced a reserve of over $2bn to resolve the matter.
  • There is hope that new CEO David Solomon will initiate a major culture change.  

About Amii
Amii Barnard-Bahn, JD, PCC, CCEP, CCEP-I  is an executive coach who specializes in accelerating the success of legal and compliance executives and their teams. A leadership columnist for Compliance Week and Fellow at the Harvard Institute of Coaching, Amii previously shaped company culture and strategic initiatives as an executive (CAO, Chief Compliance Officer, and Chief Human Resources Officer) at companies such as McKesson and Allianz. Forbes has recognized Amii as “one of the top coaches for legal and compliance executives.”  
Contact Amii
Executive Coach and Strategic Advisor
Barnard-Bahn Coaching & Consulting
Office: (510) 301-0400 | Email: amii@barnardbahn.com |website: www.barnardbahn.com
Resources
For helpful insights and actionable tips on accelerating your career, sign up for Amii’s bi-monthly newsletter at bit.ly/amiibbnews

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Great Women in Compliance

Carrie Penman on the Convergence of Compliance and Operational Risk


Welcome to the Great Women in Compliance Podcast, co-hosted by Lisa Fine and Mary Shirley. In episode 49, Mary Shirley, speaks with Carrie Penman, Chief Compliance Officer at Navex Global. They visit about the convergence of compliance risk and operational risk.
Once referred to by Matt Kelly as a “national treasure”, the GWIC team is pleased to feature Carrie Penman, Chief Risk and Compliance Officer of Navex Global in episode 49. Mary speaks with Carrie about the convergence of operational and compliance risk, what it’s like being a Compliance professional at a Compliance vendor as opposed to in-house in other industries and Carrie shares two of her favorite success stories with us – because GWIC believe it’s important to celebrate in the successes of other women.
Of course, we would be remiss not to tap into Carrie’s insider insights as a specialist within the world of reporting hotlines.  So we ask her for a behind the scenes peak as to her thoughts on the common pitfalls companies make when rolling out reporting mechanisms and how to best troubleshoot these issues.  We spend time discussing what companies can do to make their hotline a success, including concerted efforts to re-vamp your reporting line communications campaign and why it’s important to re-visit it, as well as the difficult topic of Compliance Officers sometimes being the most reluctant to speak up.
Mary wraps up the episode by sharing a simple tip for positively drawing attention to your achievements by inserting favorable adverbs when mentioning your work – something that studies show men are typically much better at than their female counterparts, so let’s level the playing field by putting the advice into action!
It’s an episode packed with high value content and as always, Carrie Penman is a crowd pleaser.
Join the Great Women in Compliance community on LinkedIn here.

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Compliance Into the Weeds

Wells Fargo Risk Assurance Execs Under Scrutiny


Compliance into the Weeds is the only weekly podcast which takes a deep dive into a compliance related topic, literally going into the weeds to more fully explore a subject. In this episode we take a deep dive into the Office of Comptroller and Currency’s proposed Cease and Desist Order against former high-ranking Wells Fargo risk assurance executives.
Some of the highlights include:

  • Are risk assurance executives now under more scrutiny by regulators?
  • Were the facts of Wells Fargo’s fraudulent accounts scandal so bad to raise a new level of liability?
  • Should we expect new regulatory guidance?
  • If the first line of defense performs it function, but the second and third do not; what are the implications?
  • What are the implications for the compliance discipline and CCO?
Categories
Daily Compliance News

February 5, 2020, the Airbus Fallout Continues edition


In today’s edition of Daily Compliance News:

  • Another Goldman Sachs banker involved in 1MDB banned. (NYT)
  • Airbus resolution portends great international cooperation? (WSJ)
  • Head of AirAsia out after Airbus settlement names him as bribe Recipient. (Bloomberg)
  • Aviana opens corruption probe. (WSJ)