Categories
Jamming with Jason

Empathy for the Underdog with Jason Cutter


Have you ever felt like an underdog or have empathy for the underdog?
I do, and so does Jason Cutter, my guest on this #jammingwithjason #podcast episode.
And not only does Jason have empathy and cheer for the underdog, since he is one himself, but he also has an amazing story from being raised hating people, to be a marine biologist, to tech support, to mortgage and foreclosure business, and to now helping people with authentic persuasion.
Hear his journey to find his passion, going from underdog to expert, and there is no one right way; people sense when you are not authentic, being open, curious, creative, persistent, and authentic. I had a blast recording with Jason; you will have a blast listening.
The fact that you are reading this means there is something you need to hear in this episode.
Let’s face it, whether in sales or not, you are selling yourself every day, and you don’t have to do it like a sleazy car salesman. You can be authentic in a way that is uniquely you.
Learn more about Jason at: https://www.jasoncutter.com/ and check out his podcast “Authentic Persuasion Show” at: https://www.cutterconsultinggroup.com/podcast/ and grab one of his books like “Selling with Authentic Persuasion” through his website or Amazon.
FOR FULL SHOW NOTES AND LINKS, VISIT:

E277 Empathy for the Underdog with Jason Cutter


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Categories
Never the Same

Anti-Bribery and Anti-Corruption Will Never Be the Same

After the Russian invasion of Ukraine, the business world will never be the same again. Deputy Attorney General Lisa Monaco recently said that the world’s “geopolitical landscape is more challenging and complex than ever. The most prominent example is, of course, Russia’s invasion of Ukraine.” It is “nothing less than a fundamental challenge to international norms, sovereignty and the rule of law that underpins our society.” This is even more so in the current business climate. Over this five-part podcast series, I will consider how the business will never again be the same and how a confluence of events has changed business forever. I am joined in this exploration by Brandon Daniels, CEO of Exiger. We will explore the irrevocable changes in Supply Chain, trade and economic sanctions, anti-corruption, cyber-security and ESG. In Part 3, we look at the changes wrought in anti-bribery and anti-corruption. Highlights include:

·      The Biden Administration Strategy on Combatting Corruption.

·      Bribery and corruption are never stand-alone offenses.

·      Corruption as a national defense issue.

·      Corruption is used by dictators and strongmen to spread disinformation and destroy democracy.

·      Modern slavery as a corruption issue.

Categories
Putin's Oil Heist

Putin’s Oil Heist Episode 4: Fleeing Russia


 
“These were professional thugs that had been hired by the KGB, known as the FSB in Russia today, but they’re still the KGB.” Even though he’d fled the country, Bruce Misamore couldn’t seem to escape Russia’s reach. Putin’s Oil Heist is an insider’s account of the Yukos Affair. In this episode, host Loren Steffy describes Misamore’s swift exit from Russia and its consequences, with first-person accounts from the former Yukos chief financial officer. 
 

 
Hear Misamore discuss:

  • Leaving Russia. Saddled with crippling and, according to Misamore, illegal tax liabilities, Yukos was drifting towards insolvency. During his stay in London for an industry conference in November 2004, Misamore got a call warning him not to go back to Moscow or he would be arrested and face prosecution. He heeded the warning, but his wife was still in Russia. And she seemed to be under surveillance. 
  • Bankrupting Yukos. Convinced that the Russian government was orchestrating a scheme to either take over Yukos or seize all of the company’s oil and gas assets, Misamore began talking to lawyers about what legal recourse Yukos executives might have to stop the looting of the company. Attorney Mark Baker came up with the idea of intentionally bankrupting the company and getting it into a legitimate jurisdiction in the United States. U.S. bankruptcy laws essentially freeze time for companies while they figure out their next move. But there was a problem: a Russian company with no U.S. assets had no grounds for filing a proceeding in the United States. 
  • Stopping the auction. While Misamore was in London, the Russian government announced an auction of Yukos’ principal production subsidiary, Yuganskneftegaz, to settle some of the tax claims against Yukos. Misamore hadn’t planned or prepared to flee Russia, so he hadn’t taken any documents with him. However, he realized he had all he needed to move forward with a U.S. bankruptcy case: his company laptop. As an officer of Yukos living in Houston in possession of a company asset, he had grounds for a filing. A federal bankruptcy judge agreed, ruling the filing was legitimate and that she had jurisdiction because of Misamore and his laptop. The filing created a court-issued injunction to stop the sale of Yuganskneftegaz.
  • The plan’s contact with the enemy. Russia went ahead with the auction, but couldn’t get financing from international banks. The move caught the Kremlin off guard but it wasted no time in responding, assembling a legion of attorneys in the U.S. Ultimately, Misamore’s bankruptcy tactic failed because Russia refused to cooperate. Misamore attempted to run Yukos from London, where they had established the company’s new headquarters. Three months after Khodorkovsky’s conviction in 2006, Misamore and his wife came home after dinner in Houston to find their house had been burglarized. Among the things stolen were Misamore’s company laptop, and $30,000 worth of jewelry.

 
Resources
Loren Steffy on LinkedIn
 

Categories
The Hill Country Podcast

Phil Klosowsky on the Kerrville Folk Festival at 50

Welcome to the award-winning The Hill Country Podcast. The Texas Hill Country is one of the most beautiful places on earth. In this podcast, Hill Country resident Tom Fox visits the people and organizations that make this the most unique area of Texas. Join Tom as he explores the people, places and activities of the Texas Hill Country. In this episode, I visit non-Hill Country resident Phil Klosowsky who attended the recently concluded Kerrville Folk Festival, which had its 50th anniversary this year. Phil and Tom share about the previous show they have attended, some of the artists they have seen and this year’s lineup. They reflect on this most unique Festival, which features singer-songwriters as well as some great new talent.

Categories
Great Women in Compliance

Jill Atstupenas-Hadley Maeve


Welcome to the Great Women in Compliance Podcast, co-hosted by Lisa Fine and Mary Shirley.
Trigger warning: This episode contains a baby loss story and theme.  The Great Women in Compliance Podcast often covers instances of “doing the right thing”.  We’ve previously done it regarding respect and dignity in the hiring process and today’s episode focuses on empathy and compassion by employers when employees suffer a tragedy.  Jill Atstupenas shares her and her husband’s story of losing their dearly desired baby girl, Hadley Maeve and provides some thoughtful considerations for how managers and company staff more broadly can respond in a way that shows support for the colleague and lets them know they are a valued member of staff.  Her ideas are practical, tangible and actionable items that will guide managers who truly care about their staff.  The title of today’s episode is our tribute to Hadley Maeve.
Jill also discusses how peers and other colleagues can help a colleague going through a difficult time to navigate it so that even if you’re not a manager, you can walk the walk of being a beacon of integrity in an organization.
We end the episode with Jill discussing some of the differences for Compliance Officers transitioning from a well-established large company, to a smaller one with less of a history.
The Great Women in Compliance Podcast is on the Compliance Podcast Network with a selection of other Compliance related offerings to listen in to.  If you are enjoying this episode, please rate it on your preferred podcast player to help other likeminded Ethics and Compliance professionals find it.  You can also find the GWIC podcast on Corporate Compliance Insights where Lisa and Mary have a landing page with additional information about them and the story of the podcast.  Corporate Compliance Insights is a much appreciated sponsor and supporter of GWIC, including affiliate organization CCI Press publishing the related book; “Sending the Elevator Back Down, What We’ve Learned from Great Women in Compliance” (CCI Press, 2020).
You can subscribe to the Great Women in Compliance podcast on any podcast player by searching for it and we welcome new subscribers to our podcast.
Join the Great Women in Compliance community on LinkedIn here.

Categories
Compliance Into the Weeds

Unintended Consequences of CCO Certifications

Compliance into the Weeds is the only weekly podcast that 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 some of the unintended consequences of CCO certifications as required by the Department of Justice.  Highlights include:

·      What happened to reasonable and proportional?

·      What about control override?

·      What is the purpose of compliance training?

·      What is effective compliance training?

·      Is compliance training complimentary to compliance training effectiveness?

Resources

Matt in Radical Compliance

Categories
Daily Compliance News

June 22, 2022 the TikTok Problem Edition


In today’s edition of Daily Compliance News:

  • Biden’s TikTok problem. (NYT)
  • Complying with the new Uyghur anti-slavery act may be difficult. (WSJ)
  • Companies find leaving Russia difficult. (WSJ)
  • SEC no disparagement clause not invalidated. (Reuters)
Categories
Blog

Why Anti-Bribery and Anti-Corruption Will Never Be the Same After the Russian Invasion

After the Russian invasion of Ukraine, the world of business will never be the same again. Deputy Attorney General (DAG) Lisa Monaco recently said that the world’s “geopolitical landscape is more challenging and complex than ever. The most prominent example is of course Russia’s invasion of Ukraine.” It is “nothing less than a fundamental challenge to international norms, sovereignty and the rule of law that underpins our society.” This is even more so in the current business climate.
Over this five-part series, I will consider how business will never again be the same and how a confluence of events of events has changed business forever. I am joined in this exploration by Brandon Daniels, Chief Executive Officer (CEO) of Exiger. We will explore the irrevocable changes in Supply Chain, trade and economic sanctions, anti-corruption, cyber-security and environmental, social and governance (ESG). In Part 3, we continue our explorations of changes wrought by the Russian invasion of Ukraine, in the realm of anti-bribery and anti-corruption (ABC) compliance and enforcement.
The World Economic Forum estimates that over $3 trillion is lost annually to the global economy due to the scourge of corruption. Corruption does more than simply steal money from the world economy. According to the United States Strategy On Countering Corruption, (Strategy), “Corruption robs citizens of equal access to vital services, denying the right to quality healthcare, public safety, and education. It degrades the business environment, subverts economic opportunity, and exacerbates inequality. It often contributes to human rights violations and abuses, and can drive migration. As a fundamental threat to the rule of law, corruption hollows out institutions, corrodes public trust, and fuels popular cynicism toward effective, accountable governance.”
Writing for the World Economic Forum, Delia Ferreira Rubio, Nicola Bonucci and Rachel Davidson Raycraft linked the fight regarding economic and trade sanctions to bribery and corruption. They connected the monies stolen by oligarchs and strongmen through a variety of strategies to bribery and corruption. Taking this connection a step further, they noted “the close relationship between corruption and conflict”, as laid out in the UN Sustainable Development Goal (SDG) 16 – Peace, Justice and Strong Institutions. As with the Strategy, UN SDG 16, “is grounded in the principles of anti-corruption, including targets such as reducing illicit finance, corruption and bribery; and developing effective, accountable and transparent institutions at all levels.”
ABC enforcement is well-known and there are two decades of the modern era of Foreign Corrupt Practices Act (FCPA) enforcement. This modern era began after the connection was established between corruption and terrorism, most notably from the events of 9/11. However, now ABC is seen as a key component of both global security and global prosperity. The Biden Administration recognized these components when it announced that ABC is now seen as a National Security Threat to the US, when it announced its Strategy in December 2021.
The Strategy laid out five pillars of the US government’s increased emphasis on ABC enforcement and compliance. Pillar 1 spoke to modernizing, coordinating, and resourcing US government efforts to fight corruption. Pillar 2 dealt with curbing illicit financing. Pillar 3 was about holding corrupt actors accountable. Pillar 4 broadened the approach beyond a US-only perspective to discuss a broader multilateral anti-corruption architecture. Pillar 5 also enhanced a more holistic approach by discussing improving diplomatic engagement and leveraging foreign assistance to advance these goals.
All of this means more information and analysis, including search and data collection, by using “information more effectively to understand and map corruption networks and related proceeds, and dynamics, and tailor prevention and enforcement related actions, as well as build the evidence base around effective assistance approaches.” The next improved information sharing within the US government, private companies and across international boundaries. It also includes holding corruption actors accountable, curbing illicit financing and bolstering international cooperation and actions.
Another key area laid out in the Strategy was the increased focus on the “transnational dimensions of corruption.” This means more than simply looking at the usual geographic areas recognized as high risks of corruption by tackling transnational organized crime through “understanding and disrupting networks, tracking flows of money and other assets, and improving information and intelligence sharing across U.S. departments and agencies, and, as appropriate, with international and non-governmental partners.”
The Strategy set the stage for changes wrought by the Russian invasion of Ukraine. Daniels said that bribery and corruption are not “lone wolf crimes”; as they do not occur in a vacuum. They are almost always associated with attempts to hide illegal payments through money-laundering and often are done in conjunction with anti-competitive crimes such bid-rigging or similar acts. Moreover, bribery and corruption leads to constraints in the marketplace through awarding of business in decidedly non-legal manners. Daniels went on to state, “We don’t think of this as a cost of doing business for two reasons. One, because it does go alongside very often autocratic governments. Two, such actions go with it, such as disinformation.”
One of the consequences of the dramatic increase in economic and trade sanctions is that corruption will be the enhanced risk of bribery and corruption. This can occur as impacted businesses and sanctioned individuals look for ways to evade sanctions through the use of bribery and corruption. Some of the ways they will try to avoid and evade sanctions will be through  smuggling, setting up shell companies, money laundering and self-dealing, all facilitated by bribery and corruption.
An unintended, but no less powerful example of the nefarious impacts of bribery and corruption, has been demonstrated by the Russian Army in the invasion of Ukraine. It has been the abject failure of the Russian Army to be able to keep a modern army functioning in the field. The Russian Army has been plagued by equipment that did not function and non-existent parts and stores which were all sold off on the Black Market by corrupt Russian government officials. In many ways, criminals simply siphoned away the stores of the Russian Army due to bribery and corruption.
Finally, as DAG Lisa Monaco stated, the role of compliance professionals as gatekeepers has dramatically changed. The Department of Justice (DOJ) clearly views corporate citizens as key allies in this fight. Rubio, Bonucci and Raycraft noted that gatekeepers “play an indispensable role in the enforcement and realization of laws and regulations that target illicit finance.” Anti-bribery and anti-corruption compliance has been forever changed by the Ukraine War as it is clear that “by controlling, distributing and managing wealth, gatekeepers control, distribute and manage global power – and, in effect, global security.” Anti-bribery and anti-corruption compliance and enforcement will never be the same again, literally on a worldwide basis.

Categories
Blog

Why Cybersecurity Will Never Be the Same After the Russian Invasion

After the Russian invasion of Ukraine, the world of business will never be the same again. Deputy Attorney General (DAG) Lisa Monaco recently said that the world’s “geopolitical landscape is more challenging and complex than ever. The most prominent example is of course Russia’s invasion of Ukraine.” It is “nothing less than a fundamental challenge to international norms, sovereignty and the rule of law that underpins our society.” This is even more so in the current business climate.
Over this five-part series, I will consider how business will never again be the same and how a confluence of events of events has changed business forever. I am joined in this exploration by Brandon Daniels, Chief Executive Officer (CEO) of Exiger. We will explore the irrevocable changes in Supply Chain, trade and economic sanctions, anti-corruption, cyber-security and environmental, social and governance (ESG). In Part 4, we continue to explore the changes wrought by the Russian invasion of Ukraine, in the realm of cybersecurity.
The Russian invasion of Ukraine gave everyone else an understanding of how serious cybersecurity really was from a defense perspective and not just from a corporate risk management perspective. According to Daniels, it drove home the clear message in cybersecurity that the United States is in a non-kinetic war with Russia and China. Over the past decade the theft of intellectual property (IP) through cybercrime has steadily increased but Russia and China are essentially “showering the US with attacks” and specifically Russia is attempting to compromise “US facilities and technologies since the crisis” began.
A second and equally important point on cybersecurity, is how interconnected it is to commerce. Countries such as Russia and China are clearly using both state and non-state businesses to further the ambitions of the state. These attacks have been particularly prevalent in supply chain where 80% of the largest cyber-attacks that have occurred, have been supply chain attacks. This means that you may have integrated some software into your organization through a vendor, but somewhere earlier in that software development, in that vendor’s purchasing of under underlying software capabilities, there was a malicious piece of software that was planted by a state-owned actor, a non-state actor or a criminal network. This interconnectedness between third party and supply chain, risk management and cyber risk management was made so much more explicit from the Russian invasion of Ukraine.
Daniels pointed out that companies may have “vendors that are owned one to two degrees away by Russian oligarchs and those Russian oligarchs might be using the fact that we use their software one to two degrees away as an entry point to steal classified information about what the US government is doing in” an area such as critical infrastructure. Once again, the nature of cybersecurity and its interconnectedness with third party and supplier risk management, was “another revelation that came out of this crisis and this conflict.”
One of the continuing themes from the Russian invasion of Ukraine is the interconnectedness of risks which will never be the same. Some of these we have previously explored such as supply chain, trade and economic sanctions and anti-bribery and anti-corruption. There are others such as crypto and ESG as well. This can all lead to a perception of complexity which could overwhelm risk management and other business professions thinking through how to manage these risks.
Daniels suggested an approach which assesses your vendors in their environment for four quadrants of risk: operational, foreign ownership, financial health and reputational risk. After you have established your risk appetite you will need to assess every vendor on an individual and singular basis. You should have a process where each vendor coming through your company’s pipeline follows an onboarding process that manages to your risk appetite and then monitors for risks that could pull a vendor above your risk threshold. If a vendor falls outside of your risk appetite for any of these key areas, you should review the use of that vendor in more detail.
There are other risk profiles you should consider. One is industry risk, which means what critical industries are you relying upon. Daniels noted that a cloud hosting company should be concerned with computing resources, bandwidth, power, or fiber optic resources. He said, “Don’t try to boil the ocean, just look at your critical industries and see where you might have issues that are coming up that could be problematic” for your industry.
Finally, another key risk area to consider is jurisdictional risk. This means reviewing the locations of your facilities. Daniels said, “I look at where my top or most critical products are being manufactured. Again, if I’m a cloud hosting company, it might be the microelectronics that I use to power computing resources, to determine where the concentration of manufacturing locations.” But the key is to take it in bite size chunks by company, industry, and jurisdiction, and then monitor so you can at least maintain a reactive posture on upcoming events. By doing so this enables your company to do continuous maturing and evolution thereby increasing complexity and efficacy to continuously improve that program to start to work towards proactive risk management.