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Daily Compliance News

Daily Compliance News: October 3, 2025, The Dictating Culture 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, including compliance, ethics, risk management, leadership, or general interest, relevant to the compliance professional.

Top stories include:

  • Trump wants to dictate US university culture. (Reuters)
  • Cargo firm to leave India due to government extortion. (India Today)
  • LLMs can play a key role in enhancing compliance. (Engineering at Meta)
  • When corruption kills. (CNN)
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Popcorn and Compliance

Popcorn and Compliance: Episode 1 – Frankenstein’s Lab: Five Compliance Lessons: Ambition, Accountability and Organizational Culture

Welcome to a special series of Popcorn and Compliance. In this series, we will examine the Classic Universal Monster Movies from the 1930s and 1940s, mining them for compliance lessons. (Yes, it really is an excuse to rewatch them all.) In this series, we will look at Frankenstein, Dracula, The Wolf Man, The Mummy, and end with The Invisible Man. In this first episode of our special 5-part series, we consider compliance lessons drawn from the classic 1931 film ‘Frankenstein,’ starring Boris Karloff.

Exploring Henry Frankenstein’s unchecked ambition and lack of oversight, Tom and his AI co-hosts, Timothy and Fiona, extract five crucial compliance lessons: the necessity of setting boundaries for ambition, the importance of un-delegatable accountability, the profound impact of corporate culture on employee behavior, the need for constant reassessment of emerging risks, and the importance of crisis preparedness. These lessons offer profound insights for today’s professionals on how to navigate modern corporate compliance challenges effectively.

Key highlights:

  • Frankenstein’s Monster: Ambition Without Boundaries
  • The Importance of Oversight and Accountability
  • Corporate Culture and Its Impact
  • Continuous Risk Reassessment
  • Crisis Management: Preparation Over Panic

Resources:

Compliance Lessons from Boris Karloff’s Frankenstein on the FCPA Compliance and Ethics Blog

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Compliance Tip of the Day

Compliance Tip of the Day – Compliance Lessons from The Invisible Man

Welcome to “Compliance Tip of the Day,” the podcast that brings 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, our goal is to provide you with bite-sized, actionable tips to help you stay ahead in your compliance efforts. 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.

This week concludes a 5-part series on compliance lessons from Classic Universal Movie Monsters, focusing on Claude Rains’ portrayal of Jack Griffin in The Invisible Man.

For more information on this topic, refer to The Compliance Handbook: A Guide to Operationalizing Your Compliance Program, 6th edition, recently released by LexisNexis. It is available here.

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AI Today in 5

AI Today in 5: October 3, 2025, The What is Truth Edition

Welcome to AI Today in 5, the newest edition to the Compliance Podcast Network. Each day, Tom Fox will bring you 5 stories about AI, so start your day, sit back, enjoy a cup of morning coffee, and listen in to the AI Today In 5, all from the Compliance Podcast Network. Each day, we consider four stories from the business world, compliance, ethics, risk management, leadership, or general interest related to AI.

Top AI stories include:

For more information on the use of AI in Compliance programs, my new book, Upping Your Game, is available. You can purchase a copy of the book on Amazon.com.

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Blog

Compliance Lessons from the Boris Karloff’s Frankenstein

As many of my readers know, I am a huge fan of the Classic Universal Picture Movie Monsters, which spanned from 1931 to the mid-1950s. In October, I traditionally use our Halloween month to revisit the Classic Universal Movie Monsters, as well as other notable films, including those from Hammer Studios, Val Lewton productions, and movies starring Vincent Price.  This year, I wanted to return to the basics by revisiting the Classic Universal movie monsters, starting with Dracula and Frankenstein in 1931, followed by The Invisible Man in 1933, The Mummy in 1932, and concluding with The Wolf Man in 1941.

Over the next five weeks, I will examine each of these movies through the lens of compliance and extract lessons on compliance from each. Today, I begin with the greatest and most famous Classic Universal Movie Monster of them all, Boris Karloff’s Frankenstein. Suppose you want to take a deeper dive into what all of these movies mean in the podcast format. Check out the special series on the FCPA Compliance Report, hosted by my friends Fiona and Timothy. These podcasts will post each Friday during October.

When Boris Karloff first lumbered onto the screen as the Monster in James Whale’s 1931 adaptation of Frankenstein, audiences were horrified. Here was not only a creature stitched together from corpses but also the chilling outcome of unchecked ambition, poor oversight, and a total disregard for ethical boundaries. Nearly a century later, Karloff’s performance remains the iconic portrayal of Frankenstein. But it continues to offer a rich set of lessons for corporate compliance professionals.

At its heart, Frankenstein is a story about risk, responsibility, and governance failure. Victor Frankenstein’s quest to create life is not unlike what many corporations attempt when pushing the boundaries of innovation or entering new markets. The question for compliance is straightforward: Are we implementing the right controls, oversight, and ethical framework to manage these risks?

Today, I highlight five core compliance lessons from the Karloff version of Frankenstein that remain strikingly relevant for today’s professionals.

1. Ambition Without Boundaries Leads to Disaster

Henry Frankenstein is driven by ambition; his vision of “creating man in his own image” propels him to conduct experiments that fall outside accepted ethical and scientific norms. He isolates himself from colleagues, ignores established rules, and convinces only a single assistant to support his reckless project.

For compliance officers, this is a cautionary tale of what happens when ambition overrides governance. In corporate life, ambition often comes in the form of growth targets, market entry deadlines, or technological breakthroughs. The drive itself is not wrong, but when ambition operates without boundaries, the risks multiply.

Compliance takeaway: The role of compliance is to ensure ambition is channeled responsibly. That means building policies and procedures that establish guardrails, embedding ethical considerations into business decisions, and providing leadership that understands that success cannot come at the cost of compliance.

2. Oversight and Accountability Cannot Be Delegated Away.

One of the striking elements in the film is how Henry Frankenstein assumes total authority but shirks responsibility once things spiral out of control. His assistant Fritz mistreats the Monster, provoking violence, while Henry himself disappears into denial. When the creature escapes, Henry claims he never intended harm.

This mirrors what regulators often see in enforcement actions: executives who authorize high-risk ventures but then argue they were unaware of misconduct. In the DOJ’s Evaluation of Corporate Compliance Programs (2024 ECCP), accountability is crystal clear, leadership must own risk, and responsibility cannot be delegated away.

Compliance takeaway: Compliance leaders must establish clear lines of accountability to ensure effective oversight and ensure compliance. Decision-makers cannot hide behind subordinates, contractors, or third parties. A robust compliance program requires oversight mechanisms, regular reporting, board engagement, and escalation procedures that prevent responsibility from being ignored.

3. Culture Determines Outcomes

Perhaps the most tragic part of Karloff’s Monster is that he is not inherently evil. In fact, he demonstrates innocence and curiosity, most famously in the heartbreaking scene with the little girl by the lake. Yet he is rejected, mistreated, and feared. The culture around him, suspicion, hostility, and secrecy, all drive him to violence.

In a corporate context, this serves as a stark reminder that culture has a profound influence on the behavior of individuals. Employees are not “born” unethical; culture shapes conduct. If an organization fosters openness, respect, and ethical decision-making, employees are more likely to do the right thing. If, instead, fear, retaliation, or secrecy prevail, even well-intentioned people may lash out or stray from their goals.

Compliance takeaway: Compliance professionals must continually monitor, measure, and foster a culture. It’s not enough to write codes of conduct; leaders must model ethical behavior, middle management must reinforce these expectations, and employees must feel safe in raising concerns. Without the right culture, even the strongest controls will fail.

4. Emerging Risks Require Continuous Reassessment

Henry Frankenstein believed he understood the risks of his creation. But once the Monster came to life, new risks appeared that he had not anticipated: strength, unpredictability, and the impact of isolation. His failure was not only in creating the Monster but also in failing to reassess and adapt once circumstances changed.

This is exactly the type of oversight the DOJ emphasizes in its 2024 ECCP revisions; risk is not static. New markets, new products, and new technologies all bring new and emerging risks. A program that does not evolve quickly becomes obsolete.

Compliance takeaway: Compliance programs must be dynamic and adaptable. Conduct regular risk assessments, update training and monitoring tools, and be ready to pivot as new risks appear. Static policies written three years ago will not protect a company from today’s realities. Just as Henry Frankenstein failed to re-evaluate the risks of his “creation,” companies that fail to reassess can find themselves blindsided.

5. Crisis Management Requires Preparation, Not Panic

The climax of the film, with villagers wielding torches storming the castle, is pure chaos. By then, no plan exists. Henry Frankenstein is reactive, not proactive. Instead of containing the situation, he lets panic dictate the outcome. The Monster is hunted down, the laboratory destroyed, and the community traumatized.

Corporate compliance teams face similar moments of crisis, whether it is an FCPA investigation, a data breach, or allegations of whistleblower misconduct. The difference between chaos and resilience lies in preparation. A company that has practiced crisis management scenarios, established reporting lines, and empowered its compliance function will weather storms more effectively.

Compliance takeaway: Don’t wait until regulators come knocking to figure out your crisis response. Build playbooks, test them with tabletop exercises, and ensure compliance has a seat at the table in crisis planning. Preparation prevents panic.

Conclusion: Frankenstein’s Monster and the Modern Compliance Officer

The genius of Boris Karloff’s Monster is that he is both terrifying and sympathetic. He embodies the unintended consequences of human ambition and the failures of oversight, accountability, and culture. For compliance professionals, Frankenstein is more than a horror story. It is a case study in what happens when governance collapses.

Today’s compliance challenges, including AI governance, supply chain transparency, ESG accountability, and third-party risks, are not so different from Henry Frankenstein’s laboratory. They involve bold ambitions, innovative experiments, and high stakes. The question is whether compliance is in the room early enough to set the guardrails, monitor the risks, and ensure the organization does not create its own “monster.”

The Karloff Frankenstein may be a black-and-white classic. Still, its compliance lessons are vividly relevant: ambition needs boundaries, accountability cannot be delegated, culture drives conduct, risks must be reassessed, and crisis planning is non-negotiable.

For compliance officers, the movie serves as a powerful reminder that our job is not to stifle ambition but to shape it so that innovation thrives without unleashing unintended harm.

Join us next Friday as we consider Bela Lugosi’s Dracula.

Categories
Regulatory Ramblings

Regulatory Ramblings: Episode 79 – Is the Divide Between Traditional Finance and DeFi / Crypto Over? // Spotlight on: Why Businesses Must Understand Banking Flows for Due Diligence with Stanley Foodman and Viktoria Soltesz

Today’s podcast opens with Viktoria Soltesz (tax, payment, and banking expert, and founder of PSP Angels Group and the Soltesz Institute) discussing payments and banking, and why businesses must understand banking flows to ensure proper due diligence on their clients.

Following that, we chat with Miami-based accountant Stanley Foodman about an article he penned for LinkedIn earlier this summer, in which he states that the barriers between DeFi, or decentralized finance, and traditional finance have now been broken.

Biography:

Viktoria Soltesz has over 20 years of experience, with a focus on complex cases. She runs an accounting and tax consulting firm in Cyprus, supporting complex and global corporate setups, and founded PSP Angels out of frustration with not having the answers to the most basic online payment questions.

She developed the Soltesz Payment Framework, which is used by international companies worldwide. Viktoria also established the Soltesz Institute, the leading independent certification body for the payment and banking industry.

An EU-certified trainer, she formerly lectured at the University of West London and is a well-known speaker at various industry conferences and summits.

Viktoria is also an author, sharing her expertise and advice in the book Moving Money – How Banks Think, which was on the Amazon bestseller list.

She also won the “Business Woman of the Year” award in 2023 and was named “Payment Consultant of the Year” in 2023, 2024, and 2025.

Stanley Foodman is the founder and CEO of Foodman CPAs and Advisers, a Miami-based firm that he established over 50 years ago.

With decades of experience in both public and private sectors, Stan specializes in financial crime, risk management, and asset recovery. His background includes serving as an auxiliary special agent with the Florida Department of Law Enforcement and consulting for the U.S. Attorney’s Office in civil RICO money laundering cases. He partners with legal teams, financial institutions, and business leaders to proactively identify risks and protect client interests.

He holds a Master of Science degree in Accounting and Tax from the University of Miami, as well as multiple professional certifications, including CPA, CFE, CAMS, and STEP. A board member of the Financial & International Business Association, he is also a member of the AICPA, FICPA, and the ACFCS.

As for his firm, Foodman CPAs & Advisors is a specialized forensic accounting, tax compliance, and regulatory advisory firm serving C-Suite executives, financial institutions, legal professionals, businesses, and high-net-worth individuals (HNWIs).

He leads a team dedicated to solving complex financial challenges— ranging from cross-border tax compliance and forensic investigations to litigation support and regulatory risk management.

Discussion:

Viktoria begins the conversation by explaining to Regulatory Ramblings host Ajay Shamdasani why businesses need to understand banking flows and operations to perform adequate due diligence on their clients. She also stresses that Blockchain and cryptocurrencies are not the solution, but rather, such innovations “mask the problem” because, as she puts it, “the same players are trying to cheat the system.”

She also emphasizes the need for financial education, yet she acknowledges that many institutions of higher learning do not teach their graduates about payments and banking when they matriculate from university.

According to Viktoria, awareness needs to be raised in the general population as to how banks think and manage money; how money moves is key, she says. A corollary to that is that companies need to understand cash flows and banking requirements.

The discussion ends with her sharing her thoughts on what can be done to make the existing payment systems fairer in both the developed and developing world. A common refrain is the lack of access to financial technology (fintech).

Following that, we have a lengthier chat with veteran Miami-based accountant and fraud investigator Stanley Foodman on an article he penned for LinkedIn entitled “Crypto’s Compliance Crossover: Are You Ready for Multi-Framework Reporting?”[1]

In it, he argues: “The line between digital assets and traditional finance no longer exists. With CARF and CRS 3.0 now in effect, cryptocurrency is fully within the regulatory perimeter, and financial institutions across LATAM need to be prepared. This isn’t just a reporting update. It’s a fundamental shift in how compliance must operate across jurisdictions, asset types, and internal systems.”

In his piece, Stan breaks down the most common gaps in crypto compliance today – namely:

  • Incomplete capture of wallet ownership and sender/receiver data
  • Misaligned AML/KYC and tax due diligence processes
  • Gaps in cross-border policy coverage
  • Limited interoperability across compliance tools and departments

Beyond just where institutions are falling behind, the op-ed piece explores how they can get ahead, along with what readiness truly entails under CARF and CRS 3.0.

Looking ahead, he highlights the need for strategic priorities to enhance compliance readiness. “To meet new demands of crypto compliance, institutions must go beyond surface-level solutions. A true response to CARF requires structural alignment across policy, data, staffing, and governance,” he said.

According to Stan, top compliance priorities should include:

  • Integrated Policy Frameworks: Expand your internal policies to treat crypto assets as part of the same risk landscape as traditional holdings. This includes wallet traceability, exposure to decentralized exchanges, and automated risk scoring.
  • Unified Data Architecture: Break down internal silos. Create a centralized compliance data environment where AML, tax, and digital asset reporting teams can access a consolidated view of client behaviors across fiat and blockchain transactions.
  • Enhanced Client Onboarding & Monitoring:  Update onboarding processes to capture crypto wallet IDs, source of funds, blockchain transaction history, and risk triggers. Ongoing monitoring must include both on-chain and off-chain behavior.
  • Staff Training & Cross-Functional Collaboration:  Equip your teams to understand crypto regulations and compliance risks. Encourage collaboration between compliance officers, IT, legal, and product leads to bridge technical and regulatory knowledge gaps.
  • Cross-Border Regulatory Mapping: Align your reporting framework with FATF, CARF, CRS 3.0, and relevant domestic disclosure regimes. For institutions operating in multiple jurisdictions or serving cross-border clients, a cohesive compliance map is critical.

Stan also shares a little about his background and how his training as an accountant aided him during his career in law enforcement, as well as the dividends such public service has paid him in his private practice. He reflects on what initially drew him to the field of accounting.

Ultimately, he concludes that the distinction between digital assets and traditional finance is no longer clear. Looking to compliance leadership in the digital future, Stan remarks: “The institutions that will thrive in the new era aren’t just adding crypto checkboxes to their CRS tools. They’re embedding digital assets into their entire compliance DNA, governance, strategy, and infrastructure.”

Regulatory Ramblings podcasts is brought to you by The University of Hong Kong – Reg/Tech Lab, HKU-SCF Fintech Academy, Asia Global Institute, and HKU-edX Professional Certificate in Fintech, with support from the HKU Faculty of Law.

Useful links in this episode:

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