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Compliance Tip of the Day

Compliance Tip of the Day – A Roadmap for Compliance

Welcome to “Compliance Tip of the Day,” the podcast where we bring you daily insights and practical advice on navigating the ever-evolving landscape of compliance and regulatory requirements. Whether you’re a seasoned compliance professional or just starting your journey, we aim to provide bite-sized, actionable tips to help you stay on top of your compliance game. Join us as we explore the latest industry trends, share best practices, and demystify complex compliance issues to keep your organization on the right side of the law. Tune in daily for your dose of compliance wisdom, and let’s make compliance a little less daunting, one tip at a time.

Today, we discuss creating a roadmap for improving your compliance program.

For more information on the Ethico Toolkit for Middle Managers, available at no charge, click here.

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2 Gurus Talk Compliance

2 Gurus Talk Compliance – Episode 46 – The Move to Diligent Edition

What happens when two top compliance commentators get together? They talk compliance, of course. Join Tom Fox and Kristy Grant-Hart in 2 Gurus Talk Compliance as they discuss the latest compliance issues in this week’s episode!

Stories this week include:

  • JPMorgan’s purchase of Frank heads to criminal trial. (FT)
  • Dirty money, fentanyl, Mexican gangs, and China. (WSJ)
  • Mayor Adams imbroglio (Various)
  • McKinsey asks if China is too risky. (Bloomberg)
  • Ethics programs are more than simply compliance. (Forbes)
  • Wells Fargo banks on (Not) risky business. (PYMTNS)
  • Diligent Acquires Spark Compliance, a Leading Compliance and Ethics Consultancy (Press Release) – HERE
  • Pausing Foreign Corrupt Practices Act Enforcement to Further American Economic and National Security (Whitehouse) – HERE
  • The Corporate Transparency Act Is Back On (WSJ) – HERE
  • Study Warns on Ethical Culture Disconnect (Radical Compliance) –HERE
  • Florida woman, 44, uses ‘botox’ excuse to explain age after fraudulently applying for hurricane aid: police (Fox News): HERE

 

Resources:

Kristy Grant-Hart on LinkedIn

Spark Consulting

Prove Your Worth

Tom

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Popcorn and Compliance

Popcorn and Compliance – All Quiet on the Western Front: Lessons on Business Resilience in Risk Management

Tom Fox and Richard Lummis are back with a new season of Popcorn and Compliance. Get ready for a ton of fun, insights, and all things Hollywood and the movies. In this episode, Tom and Richard dive into some Oscar-winning Best Pictures for Compliance and Leadership Lessons. Today, they consider the 1930 Oscar-winning Best Picture, All Quiet on the Western Front.

Leadership in extreme situations is a crucial skill, applicable not only on the battlefield but also in high-stakes corporate environments such as supply chain management and compliance. Tom emphasizes the importance of adaptability and resilience. He believes that having a structured approach to managing evolving risks is vital, much like soldiers navigating unpredictable battle conditions. Richard echoes this sentiment, highlighting how extreme emotions and behaviors in war necessitate extreme leadership responses, often revealing a disconnect between officers and frontline soldiers. Both perspectives underscore that effective leadership in such challenging scenarios requires decisiveness, emotional intelligence, and the ability to empower others, reinforcing the timeless nature of these leadership qualities.

Key highlights:

  • Adaptability and Resilience in Extreme Leadership
  • Adaptability Frameworks: Business Resilience in Risk Management
  • Executing Decisions with Imperfect Information
  • Leadership Insights from 1927 War Story

Resources:

Tom Fox

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Daily Compliance News

Daily Compliance News: February 21, 2025, The No KFC in Kentucky Edition

Welcome to the Daily Compliance News. Each day, Tom Fox, the Voice of Compliance, brings you compliance-related stories to start your day. Sit back, enjoy a cup of morning coffee, and listen in to the Daily Compliance News—all from the Compliance Podcast Network. Each day, we consider four stories from the business world: compliance, ethics, risk management, leadership, or general interest for the compliance professional.

Top stories include:

  • You can take the KFC out of Kentucky. (NYT)
  • Grand jury investigating Synapse fraud. (WSJ)
  • Patel and Shein. (WSJ)
  • CTA back on. (WSJ)

For more information on the Ethico Toolkit for Middle Managers, available at no charge, click here.

Check out the FCPA Survival Guide on Amazon.com.

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Reel Creators of the Texas Hill Country

Reel Creators of the Texas Hill Country: Season 1: River Wellborn: A Passion for Theater and Special Effects

Welcome to Reel Creators of the Texas Hill Country, where we dive deep into the heart of filmmaking in one of America’s most unique and captivating landscapes. From rolling hills and rustic towns to thriving cities and hidden gems, the Texas Hill Country offers endless inspiration for filmmakers, and we’re here to uncover every aspect. In this podcast, we’ll meet the passionate directors, cinematographers, screenwriters, and crews who bring their creative visions to life in this storied region. Join us as we explore the challenges, rewards, and unique stories that make filmmaking here an art. Whether you’re a seasoned pro or simply curious about the world behind the camera, Reel Creators of the Texas Hill Country promises to be your all-access pass to the vibrant filmmaking community of the Hill Country and beyond.

In this Season One, we will feature the production of the film Sherlock Holmes – Mare of the Night, a TriGoodwyn production headed by filmmaker CJ Goodwyn. We will visit with CJ Goodwyn, members of his crew, the cast, and the production team. In episode 2, I visit with River Wellborn, a makeup artist on the Sherlock Holmes-Mare of the Night crew.

River Wellborn has a unique perspective on the artistry required for makeup in film versus stage settings. With a comprehensive background in both mediums, River underscores the significance of visibility as the primary differentiator—stage makeup demands more intensity and exaggeration to be perceptible from afar, while film makeup requires intricate, realistic details for up-close scrutiny. Her collaborative approach involves working closely with directors and actors to ensure the makeup aligns seamlessly with the character and narrative vision, as exemplified by his work on productions like “Sherlock Holmes Mayor of the Night” and “Little Shop of Horrors.” River’s passion for the dynamic interplay between film and theater continues to drive his exploration and innovative contributions to the art of storytelling through makeup.

 

Key highlights:

  • Collaborative Filmmaking Stories in Texas Hill Country
  • Theatrical vs. Cinematic Makeup Realism
  • Collaborative Design for Film Character Makeup
  • Multifaceted Artistic Journey in Theater and Film

Resources:

Sherlock Holmes-Mare of the Night

On Facebook

TriGoodwyn Productions

Texas Hill Country Podcast Network

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Creativity and Compliance

Creativity and Compliance – Upping Your Compliance Game

Where does creativity fit into compliance? In more places than you think. Problem-solving, accountability, communication, and connection—they all take creativity. Join Tom Fox and Ronnie Feldman on Creativity and Compliance, part of the award-winning Compliance Podcast Network.

Ronnie’s company, Learnings and Entertainment, utilizes the entertainment devices people use to consume information in their everyday, non-work lives and apply it to important topics around compliance and ethics. It is not only about being funny. It is about changing the tone of your compliance communications and messaging to make your compliance program, policies, and resources more accessible. In this episode of Creativity and Compliance, Tom Fox and Ronnie Feldman take up the challenge handed down by Hui Chen in light of the administration’s suspension of FCPA enforcement to up their compliance game.

Ronnie begins by advocating for a transformation in compliance training, suggesting a shift from traditional e-learning methods to engaging communication campaigns emphasizing a Speak Up Culture and seamlessly integrating compliance into daily business operations. He believes that by using short, entertaining formats and training leaders to present content playfully, compliance can become more interesting and effective, positioning compliance professionals as valuable assets through proactive engagement and collaboration. Tom underscores the importance of compliance professionals being approachable and communicative, serving as problem solvers who collaborate with business units to achieve unexpected, beneficial outcomes. Both experts agree that by humanizing the compliance function and focusing on values and behaviors, compliance professionals can enhance their programs and contribute significantly to organizational success.

Key highlights:

  • Engaging Communication Campaigns for Compliance Training
  • Strategic Communication for Compliance Professionals
  • Cultivating Proactive Compliance Culture through Training Programs
  • Strategic Engagement for Compliance Professionals

Resources:

Ronnie

  • Learnings & Entertainments (Website)
  • Compliance Confessions – inspired by “Mean Tweets” these 90-second commercials address misconceptions and excuses to promote speak up culture and the E&C team as positive and helpful.
  • E&C Training Jams – a soulful singer banters with ethics & compliance explaining policies, sharing examples and debunking excuses. 
  • Tales from the Hotline – Real speak up-themed stories about workplace behavior gone wrong.
  • Workplace Tonight Show! – E&C meets SNL Weekend Update explaining corporate risk topics and why employees should care.
  • 60-Second Communication & Awareness Shorts – A variety of short, customizable, music and multimedia, quick-hitter “commercials” promoting integrity, compliance, speaking up and the E&C team as helpful advisors and coaches.
  • Custom Live & Digital Programing – Custom creative programming that balances the seriousness of the subject matter with a more engaging delivery. After all, you can’t bore people into learning.

Tom

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For more information on the Ethico ROI Calculator and a free White Paper on the ROI of Compliance, click here.

Creativity and Compliance was recently honored as one of the Top 35 Podcasts on Creativity by Feedspot.

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Blog

Upping Your Compliance Game, Part 5 – A Roadmap For Compliance Going Forward 

The Trump Administration has suspended FCPA enforcement for the foreseeable future. What does that mean for compliance professionals? Hui Chen has suggested that this is an opportunity for compliance, but to do so, “It’s time to up your game . . . Instead of selling insurance for FCPA enforcement, become leaders that help your organizations perform.” Based on this challenge by perhaps the most imminent compliance commentator around, this week I devoted all my blog posts to ways compliance professionals can indeed up their collective game. Today, I want to end by laying out a Roadmap for you to use going forward. LRN Corporation laid it out in its Ethics and Compliance Program Effectiveness Report (Effectiveness Report).

The report details four key findings symptomatic of an operationalized compliance program. Susan Divers, then Senior Advisor at LRN and now an Advisor at Ethena, noted the overarching theme is that ethics and compliance:

… programs centered on values are more effective than ones that aren’t. A values-based approach toward shaping culture emphasizes and sets expectations, not just about what can and cannot be done according to rules, but what should and should not be done in alignment with core beliefs. In rules-based environments, everyone’s job is to do the next thing right—to act correctly. In values-based environments, in contrast, everyone’s job is to do the next right thing—to act morally.

It is this drive to burn compliance into the DNA of an organization that fully operationalizes compliance. Think of any recent scandal, Boeing, Wells Fargo, Uber, Facebook, or you name the scandal, where if an employee had done the right thing instead of the illegal action, how much better off a company would have been? The four findings were:

The most effective E&C programs are embedded in business operations. Divers pointed out that a company must have thinkers, compliance, and values as part of its brand.” By doing so, each level in a company will understand its role from now on, from the Board of Directors, senior management, middle management, and the employee base. The company will train, develop, and promote an ethics and compliance program at each level. Divers provided an insightful example:

If I were to use one word to characterize all of them together, it would be holistic. The first one is embedding your E&C programs in your business ops. One big piece of that is your brand. For example, Volkswagen used to have a fantastic brand. When you thought of Volkswagen, you thought of basically a green car and one that was well engineered. Now, it’s a massive fraud. One headline I saw called it Hoaxwagen.

The most successful E&C programs use a variety of channels to convert guidance into practice. An effective compliance program will continuously communicate the corporate E&C values through multiple ongoing channels throughout the company. This speaks not only to upward and downward communications within an organization but also to inbound and outbound to the company. But more than simply saying there should be communication, the Effectiveness Report also assesses how communications occur through inquiring into the clearness and conciseness of messages and whether an organization uses more effective communication techniques such as shorter, more frequent training models or facilitated workshops as opposed to rote one-hour lectures from lawyers.

Communications can be made in other, more subtle manners. Consider the actual behaviors that the conduct shows. Divers said that at LRN:

We’re not so fond of the tone at the top here. We’re fonder of actions at the top because tone can be one thing, and actions are another. Whether managers’ ethical behavior counts regarding promotion and bonuses is where the rubber meets the road in many places, and that makes a huge difference. Another aspect of that is making middle managers accountable for ethics and compliance in their business, and the good programs coach people in that aspect. Those are some key aspects of how you embed it in business ops.

High-performing programs proactively convert regulatory guidance into practice. This was not often discussed enough as many compliance practitioners struggle to convert DOJ pronouncements, comments, or lessons learned from FCPA enforcement actions into practical guidance. As the Effectiveness Report notes, “The most effective programs internalize such guidance and continuously improve.” Here, one might consider an example torn from the headlines: when the Walmart corruption scandal in Mexico broke, I called one CCO the next day who told me he had already put a PowerPoint presentation in front of his senior management about the perils of finding your corporate name splashed across the front page of the New York Times alleging your organization of bribery and corruption.

Divers considered this finding from another perspective. She stated:

You have to look for the actual challenge the people view in the company, whether that’s sales force or other disciplines. There are many different and positive ways, not just negative ones. One of the things we did was that we didn’t just tell people that serious actions meant this; we looked at actual business cases where people had done the right thing and made the right choices to comply with regulations, and that’s very powerful for modeling. Another aspect of that is how you embed your Code of Conduct. Do you just put it on the website and say, “Great, here it is. Read it,” or do you have a discussion? Those are more effective.

High-performing programs spread their impact broadly, recognizing that the entire organization needs to be engaged in ethics. This finding considers whether an organization has moved away from a “silo-based approach to ethics and compliance.” It did so by reviewing how the different corporate functions work as catalysts for imbuing your organization’s values in their specific corporate discipline. Here, Divers related, “High-performing programs aren’t sitting in a closet somewhere; they are only visited when there’s an ethics issue. High-performing programs are out there. They work across the corporation with human resources, internal audit, legal, and even sales and marketing, as well as finance and accounting, to ensure that ethics are a part and parcel of business operations.”

We have considered a variety of compliance innovations. I have often said that a compliance program must be strengthened to meet new or updated risks, opportunities, or regulations. Innovation is one of the best ways to boost it. Finally, and perhaps most importantly, as a compliance practitioner, remember you are only limited by your imagination. As Hui Chen noted, this is a great opportunity for compliance.