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31 Days to More Effective Compliance Programs

Levels of due diligence


Due diligence is generally recognized in three levels, each of which is appropriate for a different level of corruption risk. The key is for you to develop a mechanism to determine the appropriate level of due diligence and then implement that going forward.
There are many different approaches to the specifics of due diligence. By laying out some of the approaches, you can craft the relevant portions into your program. The Level I, II and III trichotomy appears to have the greatest favor and one that you should be able to implement in a straightforward manner. But the key is that you must assess your company’s risk and then manage that risk. If you need to perform additional due diligence to answer questions or clear red flags you should do so. And do not forget to “Document, Document, and Document” all your due diligence.
Three key takeaways:

  1. A Level I due diligence should only be used where there is a low risk of corruption.
  2. A Level II due diligence is sufficient in a high-risk jurisdiction if there are no red flags to clear.
  3. Level III due diligence is deep dive, boots on the ground investigation.
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Nexdigm

Global Anti Bribery and Corruption – Episode 9: Leopoldo Pagotto


Listen to Leopoldo Pagotto speaking with Sundaraparipurnan Narayanan on #Corruption in #Brazil during the current scenario, the impact of relaxations of Government procurement rules and what #compliance officers shall focus with a limited budget.

Nexdigm · Global Anti-Bribery Corruption Insights – Leopoldo Pagotto
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Nexdigm

Global Anti Bribery and Corruption – Episode 8: Jeena Kim


Jeeleena “Jeena” KIM at Bae, Kim & Lee LLC shares her perspectives on enforcement trends and key priorities for compliance officers as a part of our Global #antibribery and #Corruption Insight Series with Sundaraparipurnan Narayanan.

Nexdigm · Sundar N. – Director, Forensics – Nexdigm speaks with Jeena Kim from Bae, Kim & Lee LLC
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Daily Compliance News

July 8, 2020-the Corruption edition


In today’s edition of Daily Compliance News:

  • London PR firm paid to influence US opinion on Jho Low. (The Guardian)
  • Sons of a former Panamanian president charged with bribery involving Odebrecht. (WSJ)
  • World’s most corrupt bank? (WaPo)
  • How corrupt is Trump Administration? They don’t even want ethical investing. (Houston Chronicle)
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Great Women in Compliance

Episode 67 – Asha Palmer-Black Girl Magic


Welcome to the Great Women in Compliance Podcast, co-hosted by Lisa Fine and Mary Shirley.
Lisa and Mary are always very pleased to get recommendations for guests to speak on the podcast. It is however rare to get multiple suggestions for the same person, but Asha Palmer is so renowned that she did! This episode starts off by telling the story of Asha’s overseas working experience teaching ethics at university in the Middle East.
An expert at creating and evaluating risk assessments and program assessments, we turn technical in this episode as Asha outlines for the audience the difference between the two types of reviews and common mistakes companies make when executing those initiatives.
Asha has invested a great deal of time and thought into changing culture and conduct. We benefit from that effort by asking her about her change management tips for the Compliance Officer who has established themselves as a legitimate business partner, but is still working on shaping the culture and tone of the company, which as is we know is a little harder to control
Asha is a class act and exudes excellence in everything – hence the title of this episode, we hope you enjoy it!