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Blog

Day 19 of 30 Days to a Better Compliance Program, Compliance Expertise on the Board

The Office of Inspector General (OIG) has called for greater compliance expertise at the Board level. The OIG said that a Board could raise its level of substantive expertise concerning regulatory and compliance matters by adding a compliance member to the Board. Such a compliance professional with subject matter expertise on the Board sends a strong message about the organization’s commitment to compliance, provides a valuable resource to other Board members, and helps the Board better fulfill its oversight obligations. Mike Volkov looked at it from both a practical and business perspective. He stated, “I have witnessed firsthand that companies with a board member with compliance expertise usually have a more aggressive and effective compliance program. In this situation, a Chief Compliance Officer has to answer to the board for the company’s compliance program while receiving the resources and support to accomplish compliance tasks.” Roy Snell sees it through the prism of the compliance profession and has said, “If you ask most companies if they have compliance expertise on their Board… most would say yes. When asked who the compliance expert is, they typically point to a lawyer, auditor, risk manager, or ethicist. None of these professions are automatically compliance experts. All lawyers have different specialties.” He goes on to state that what regulators want to see is specific compliance expertise at the Board level. He noted, “the government is looking for is not generic compliance expertise. They are looking for compliance program management expertise. Hui Chen, the DOJ Compliance Counsel, has continually talked about the need for companies to operationalize their compliance programs. She intones businesses must work to burn compliance into the fabric and DNA of their organization. Having a Board member with specific compliance expertise heading a Board level Compliance Committee can provide a level of oversight and commitment to achieving this goal. It will not be long before the DOJ and SEC require this step in any FCPA enforcement action resolution. This means that when your company is evaluated by Chen, under the factors set out in Prong Three of the FCPA Pilot Program, to retrospectively determine if your company had a best practices compliance program in place at the time of any violation, you need to have not only the structure of the Board level Compliance Committee but also the specific subject matter expertise on the Board and on that committee.

Key Takeaways

  1. Boards must have compliance expertise.
  2. Government regulators and shareholder groups have called for greater compliance expertise on the Board.
  3. Compliance expertise at the Board works up and down as such expertise can be a resource to the CCO and the compliance department.

For more information, check out my book Doing Compliance: Design, Create and Implement an Effective Anti-Corruption Compliance Program, which is available by clicking here. Both government regulators and shareholder groups have both called for greater compliance expertise at the Board.

Categories
Fraud Eats Strategy

The 3 Regulatory Mandates Banks Fear the Most: Monitorships, Lookbacks and KYC Remediations

Monitorships, transaction lookbacks and KYC remediations are the equivalents of a regulatory vote of no confidence. They can be incredibly disruptive, painful and can cost millions of dollars to implement. They are extreme measures that are taken when regulators have seen no improvement in succeeding regulatory exams or sometimes happen without warning when a criminal investigation reveals how an institution was at the center of a large scale money laundering or dollar clearing criminal enterprise and their anti-money laundering or sanctions compliance program and the controls underlying them failed in spectacular fashion. These epic anti-money laundering failures lead regulators to conclude that the existing program was so ineffective it is highly likely that suspicious activity, possibly a great deal of suspicious activity, has been going on undetected and unreported for a period of years.

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Join us each week as we take a deep dive into the various forms of fraud across the world and discuss crime families, penny stock boiler rooms, international money launderers, narco-traffickers, oligarchs, dictators, warlords, kleptocrats and more.

Scott Moritz is a leading authority on white-collar crime, anti-corruption, and in the evaluation, design, remediation, implementation, and administration of corporate compliance programs, codes of conduct. He is also considered an authority in the establishment, training, and oversight of the investigative protocols carried out by financial intelligence, corporate security, and internal audit units.
 

Categories
Compliance Kitchen

UK Enforcement of Crimea Sanctions


The Kitchen reviews a recent enforcement action from the UK, penalizing a company for money transfers that were deemed prohibited under EU’s Crimea sanctions regulations.

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Everything Compliance

Episode 84, the Eyeball Rental Edition


Welcome to the only roundtable podcast in compliance. Today, we have a quartet of Jonathan Armstrong, Jay Rosen, Jonathan Marks and special guest panelist Mary Shirley for a deep dive into a potpourri of issues and topics. We end with a veritable mélange of rants and shouts outs.

  1. Jay Rosen looks at the anticipated anti-trust policy issues and enforcement coming out of the Biden Administration. Rosen shouts out to those attorneys at the Department of Justice and State AGs’ offices who stood up when Trump tried to steal the election.

 

  1. Mary Shirley sits in as a special guest panelist. Mary discusses the recent actions of the CCO at Activision/Blizzard. Shirley rants about the lessening of the CCO role.

 

  1. Jonathan Marks considers the role of internal audit in internal investigations. Marks rants about MLB having a Field of Dreams baseball game and then blacking it out to almost ½ of the country.

 

  1. Jonathan Armstrong discusses the Amazon GDPR fine issues by the Luxemburg Data Protection Authority. In a melancholy shout out, Armstrong honors 1st responders to the Plymouth shooting in the UK.

 

  1. Tom Fox shouts out Texas Governor Gregg Abbott and his inaction on the Texas Power Grid crisis, which increased his campaign contributions from the energy industry.

 The members of the Everything Compliance are:

  • Jay Rosen– Jay is Vice President, Business Development Corporate Monitoring at Affiliated Monitors. Rosen can be reached at JRosen@affiliatedmonitors.com
  • Mike Volkov – One of the top FCPA commentators and practitioners around and the Chief Executive Officer of The Volkov Law Group, LLC. Volkov can be reached at mvolkov@volkovlawgroup.com
  • Matt Kelly – Founder and CEO of Radical Compliance. Kelly can be reached at mkelly@radicalcompliance.com
  • Jonathan Armstrong –is our UK colleague, who is an experienced data privacy/data protection lawyer with Cordery in London. Armstrong can be reached at armstrong@corderycompliance.com
  • Jonathan Marks is Partner, Firm Practice Leader – Global Forensic, Compliance & Integrity Services at Baker Tilly. Marks can be reached at marks@bakertilly.com

The host and producer, ranter (and sometime panelist) of Everything Compliance is Tom Fox the Voice of Compliance. He can be reached at tfox@tfoxlaw.com. Everything Compliance is a part of the Compliance Podcast Network.

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12 O’Clock High-a podcast on business leadership

Plutarch’s Lives- Eumenes and Sertorius


12 O’Clock High, a podcast on business leadership brings together stories from history, the arts and movies, research and current events to consider leadership lessons. In this episode, Richard Lummis and Tom Fox are on a 10-part summer series on leadership lessons from biographies found in Plutarch’s Lives. Each week we will pair an ancient Greek and Roman to learn about their lives, the comparison and contrast between the two men and what leadership lessons with might draw from their lives. In today’s episode we look at the Greek Eumenes and the Roman Sertorius. Highlights include:
·       Introduction of Plutarch’s Lives as historical work.
·       Lives of Eumenes and Sertorius.
·       Comparison in the lives of Eumenes and Sertorius.
·       Are they really tragic figures?
·       The role of prominent citizens outside the capital cities of Athens and Rome.
·      What leadership lessons can be drawn from the lives Eumenes and Sertorius.
Resources
Plutarch’s Lives by Bill Thayer

Categories
Daily Compliance News

August 19, 2021 the Productivity Boom edition


In today’s edition of Daily Compliance News:
·       Oral arguments in Hoskins dismissal appeal by DOJ. (WSJ)
·       Taliban on Facebook.  (NYT)
·       Meet Freddie Mac’s new CCO. (WSJ)
·       US on verge of productivity boom. What does it mean for compliance? (WaPo)