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31 Days to More Effective Compliance Programs

Day 8 | Internal Controls and Compliance


What are internal controls? The best definition I have come across is from Jonathan Marks who defined internal controls as:
An internal control is an action or process of interlocking activities designed to support the policies and procedures detailing the specific preventative, detective, corrective, directive and corroborative actions required to achieve the desired process outcomes or the objectives(s). This, along with continuous auditing, continuous monitoring and training reasonably assures: 

  • The achievement of the process objectives linked to the organization’s objectives;
  • Operational effectiveness and efficiency;
  • Reliable (complete and accurate) books and records (financial reporting);
  • Compliance with laws, regulations and policies; and
  • The reduction of risk-fraud, waste and abuse, which,

   Aids in the decline of process and policy variation, leading to more predictive outcomes.
The DOJ and SEC, in the 2020 FCPA Resource Guide, stated:
Internal controls over financial reporting are the processes used by compa­nies to provide reasonable assurances regarding the reliabil­ity of financial reporting and the preparation of financial statements. They include various components, such as: a control environment that covers the tone set by the organi­zation regarding integrity and ethics; risk assessments; con­trol activities that cover policies and procedures designed to ensure that management directives are carried out (e.g., approvals, authorizations, reconciliations, and segregation of duties); information and communication; and monitoring. … The design of a company’s internal controls must take into account the operational realities and risks attendant to the company’s business, such as: the nature of its products or services; how the products or services get to market; the nature of its work force; the degree of regulation; the extent of its government interaction; and the degree to which it has operations in countries with a high risk of corruption.
This was supplemented in the 2020 Update, with a pair of pointed questions: whether a company has made significant investigation into its internal controls and have they been tested, then remediated based upon the testing?
The bottom line is that internal controls are just good financial controls. The internal controls that detail requirements for third-party representatives in the compliance context will help to detect fraud, which could well lead to bribery and corruption. As an exercise, map your existing internal controls to the Ten Hallmarks of an Effective Compliance Program or some other well-known anti-corruption regime to see where gaps may exist. This will help you to determine whether adequate compliance internal controls are present in your company. From there you can move to see if they are working in practice.
Three key takeaways:

  1. Effective internal controls are required under the FCPA
  2. Internal controls are a critical part of any best practices compliance program
  3. There are four significant controls for the compliance practitioner to implement initially. (a) Delegation of authority (DOA); (b) Maintenance of the vendor master file; (c) Contracts with third parties; and (d) Movement of cash/currency
Categories
Innovation in Compliance

Integrity Matters: Exploring the NDAA – Part 5: The Long View


Welcome to this special podcast series, Integrity Matters: Exploring the NDAA, sponsored by K2 Integrity. This week I visit with Chip Poncy, Global Co-Head Financial Crimes Risk Management practice and member of K2 Integrity’s Board, and Gail Fuller, Managing Director at K2 Integrity. Over the week we have broken down the changes to the Bank Secrecy Act (BSA) and changes in enforcement authority to Financial Crimes Enforcement Network (FinCEN) which are found in the recently passed National Defense Authorization Act (NDAA). Topics discussed included breaking down the big picture, company formation reform, new opportunities under this new law, coming change to corporate governance under the NDAA and the long view of the new law. In this concluding Part 5, I am joined by again Gail Fuller to look at the long view under the new law.
For more information go to the K2 Integrity website.
For more information on the Dedicated Online Financial Integrity Network (DOLFIN) click here.

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STAKE: The Leadership Podcast

Talk business to me, baby!


People change – we all do. Leaders who don’t understand how their diverse followers have changed could potentially be left with demotivated, underperforming, unengaged employees. Even worse, one day you may find yourself questioning why you’ve just received your best employee’s two-week notice.  
In today’s episode I’m sharing with you several questions to help kickstart conversations with your people that will unlock answers to how you can best delegate responsibilities, evaluate performance, and strengthen your leader/employee relationship. 
 As we kick off 2021, I challenge you to take your leadership to the next level. Get to know your team better so you can help everyone accomplish their goals – including yours – this year! #LevelUp 
If you’re looking for tangible action steps and refreshing insights to help ignite the power of your own leadership journey, sign up for my weekly leadership blog HERE.  
If your business would benefit from higher-performing leaders, check out more information about the comprehensive leadership development training I do HERE  
If you want to reach out to me directly, email alyson@vanhooser.com.  
If you enjoyed this episode, will you please subscribe and leave a review? Your reviews help this show get discovered by more incredible leaders just like you. I’m obsessed with helping leaders ignite their performance results and I’d love to have you help me make an impact! Thank you so much!  
P.S. Share and tag me on social — @AlysonVanHooser — and I’ll share your comments and big takeaways on my feed! 

Categories
This Week in FCPA

This Week in FCPA-Episode 234 – the Democracy Attacked edition


We come to this episode as somber as we have ever been. President Trump incited insurrection against America, the American people and America’s Democracy on Wednesday. Tom and Jay join the call of Senators and Representative of both political parties to remove President Trump via the 25th Amendment or impeachment. We also have our first look in 2021 at some of the top compliance articles and stories which caught their eye this week.

  1. A game-changer in compliance-the AMLA Law of 2020. Tom takes a deep dive in a 5-part blog post series and podcast series on the FCPA Compliance Report.
  2. Why you need a compliance ‘Victory Plan’ for 2021. Dick Cassin explains in the FCPA Blog.
  3. CFTC’s foray into FCPA enforcement creates new risk factors. Aaron Nicodemus in Compliance Week (sub req’d)
  4. Was the Goldman Sachs FCPA resolution ‘just and appropriate’? Jenny Kline in GAB.
  5. Is your digital culture mature? Jim DeLoach in CCI.
  6. What are your compliance resolutions for 2021? Andrew Burt in Navex Global’s Risk & Compliance Matters
  7. First SolarWinds shareholder action filed. Kevin LaCroix in the D&O Diary.
  8. Rethinking corporate enforcement. John Coffee in Harvard Law School Forum on Corporate Goverance.
  9. A new month is here and a new guest on The Compliance Life. Gwen Hassan- Director of Compliance at CNH Industrial. In this month’s first episode, Gwen talks about the twisting road which introduced her to compliance. Check out the episode here.
  10. This month, on 31 Days to a More Effective Compliance Program, I look back over 2020 and set out some of the key enhancements you need to do for your compliance program in 2021. Day 1 | What 2020 Brought To Compliance Programs; Day 2 | Continuous Monitoring and Continuous Improvement; Day 3 | Leadership’s Conduct At The Top; Day 4 | Moving Compliance Tone Down Through An Organization; Day 5 | The Board and Operationalizing Compliance; Day 6 | The Code of Conduct; Day 7 | Policies and Procedures; and Day 8 | Internal Controls and Compliance. Note 31 Days to a More Effective Compliance Program now has its own iTunes channel.
  11. Join Tom on the Convercent event, “Future-proof your compliance program for 2021”, on Wednesday, January 20th | 11:00 am -:00 pm ET. For details and registration, click here.
  12. Join K2 Integrity on Thursday, January 14, 2021 at 10 AM ET, when financial crimes compliance experts respond to your AML/CFT, sanctions, and other financial integrity-related questions. Submit your questions and register here.

Tom Fox is the Compliance Evangelist and can be reached at tfox@tfoxlaw.com. Jay Rosen is Mr. Monitor and can be reached at jrosen@affiliatedmonitors.com.

Categories
Daily Compliance News

January 8, 2021, the Fallout edition


In today’s edition of Daily Compliance News:

  • WSJ Editorial Board calls for Trump to resign. (WSJ)
  • What is risk? (WSJ)
  • Texas lawyer who engaged in armed insurrection fired from AGC position. (HoustonChronicle)
  • Hawley book contract cancelled. (WSJ)