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From the Editor's Desk

January and February 2023 in Compliance Week

Welcome to From the Editor’s Desk, a podcast where co-hosts Tom Fox and Kyle Brasseur, EIC at Compliance Week, unpack some of the top stories which have appeared in Compliance Week over the past month, look at top compliance stories upcoming for the next month, talk some sports and generally try to solve the world’s problems.

In this month’s episode, we look back at top stories in CW from January around the changes to the DOJ Corporate Enforcement Policy, the Ireland DPC fine against Meta, and the always-interesting Inside the Mind of the CCO series. We previewed some of the stories CW will look at in February, including several articles about data privacy in the US and Europe.

We conclude with a look at some top sports stories, including the NFL playoffs and the Carlos Correa contract situation.

Resources

Kyle Brasseur on LinkedIn

Compliance Week

Categories
Daily Compliance News

January 27, 2023 – The 4th Estate 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 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.

Stories we are following in today’s edition of Daily Compliance News:

  • Ukrainian journalists are leading the unmasking of gov officials’ corruption. (WaPo)
  • Hindenburg strikes again. (NYT)
  • Morgan Stanley levels internal fines for employees using ephemeral messaging. (FT)
  • Banks were told to watch out for Russian oligarch real estate deals. (WSJ)
Categories
Blog

Operationalizing Compliance: Part 5-Overwhelmed, yet?

Welcome to a special five-part podcast series on Operationalizing Your Compliance Program, sponsored by Broadcat LLC. Over this series, I have visited with Jennifer May, Director of Compliance Advisory; Taylor Edwards,  Director of Sales; Xinia Pirkey, Design Manager; Alex Klingelberger, Chief Executive Officer (CEO) and Jaycee Dempsey, Director of Customer Success. We consider a variety of ways to more fully operationalize your compliance regime, including the design and effectiveness of your communications, why the operationalization of compliance is a team sport, why simply data is not the answer and how to avoid being overwhelmed. In our Part 5 conclusion, I am joined by Taylor Edwards to discuss how compliance professionals can prevent from being overwhelmed by all of ‘this’.

Compliance professionals can be overwhelmed by all the information coming out of the regulators such as the Department of Justice (DOJ) and Securities and Exchange Commission (SEC). In 2022, this included the Monaco Memo and several major Foreign Corrupt Practices Act (FCPA) enforcement actions. Edwards suggested starting from the position of “how does that apply to me?” From there you can “get real with yourself about where things may not be perfect, but also provide insights into where you can start to work on your program.” He added that the key is “recognizing that it’s OK not to have a perfect program.” What the DOJ wants is for you to assess your own program, spot the weaknesses, rank them and then remediate your ranked list going forward. Edwards concluded; you should determine “what’s the next one thing I can work on? Sometimes it’s a matter of taking small baby steps, but just recognizing that there are needed to be taken.”

One of the key components of the Monaco Memo was the cementing of corporate culture as a factor the DOJ would evaluate in any enforcement action. This formalized the remarks made by Deputy Attorney General Monaco in October 2021. Edwards maintains that a “big aspect of this is the listening function of an organization.” He will often engage a client with the questions about listening, “Have you done any listening within the organization? Have you surveyed, have you had a focus group? Have you had some kind of forum for employees? Have you gathered or crowdsourced any of that from within the organization?”

Unfortunately, that answer is often no. Edwards believes that if you recognize the need to understand and to work within the landscape of your company culture, you must  accept the fact you will be required to do a better job of getting out into the business and understanding what the culture looks like outside of the corporate compliance office. He added, “listening plays a huge role.” Having conversations “across different parts of the business help inform not only your understanding of the culture, but then how you can go in and influence it for the better, influence it to be more ethical and compliant.”

We then turned to the DOJ’s 2020 Update to the Evaluation of Corporate Compliance Programs mandates around risk assessments, which move from biennial or even annual risk assessments to risk assessments when your risks change. This is a key area where compliance professionals often feel overwhelmed. Here Edwards suggested taking ‘bite sized or small chunks” to improve your program. Edwards pointed to training as the DOJ has moved far beyond the prior metric of completion rates.  He said, “if you are focused on a 100% completion rate and that is the outcome you’re trying to achieve, then your focus will be on a Learning Management Systems tool that allows you to easily assign modules to a 100% of your workforce. However, if the outcome you are really focused on is compliance, good behavior, making sure that laws and regulations do not get breached, then your focus should be how do I influence behavior as opposed to having a hundred percent completion rate?”

This means you need to emphasize the behavioral element. You can start to do things like “monitoring, which can seem overwhelming for a lot of groups, and it typically gets underinvested in.” But if your focus is on the prevention aspect, then you need to “go out there and see what people are doing wrong currently so you can an address it and stop it.” This can be down with a process mindset; “on a risk-by-risk basis, on a task-by-task basis or a on a process-by-process basis where you peel back the onions of the organization to see if there are any potential pitfalls in our current process.”

The bottom line is there are a variety of approaches you can take to move your program forward. The key is to identify your program weaknesses and begin the remediation process.

For more information go to TheBroadcat.com

Categories
31 Days to More Effective Compliance Programs

Day 26 – Compliance Function in an Organization

The role of the compliance professional and the compliance function in a corporation has steadily grown in stature and prestige over the years. When it came to the corporate compliance function, the 2020 FCPA Resource Guide, under the Hallmarks of an Effective Compliance Program, noted the government would “consider whether the company devoted adequate staffing and resources to the compliance program given the size, structure, and risk profile of the business.” The Monaco Memo and 2023 changes to the Corporate Enforcement Policy have made this all the more critical going forward.

This Hallmark was significantly expanded in the FCPA Corporate Enforcement Policy and 2020 Update. In the FCPA Corporate Enforcement Policy, the DOJ listed the following as factors relating to a corporate compliance function that it would consider as indicia of an effective compliance and ethics program: 1) the resources the company has dedicated to compliance; 2) the quality and experience of the personnel involved in compliance, such that they can understand and identify the transactions and activities that pose a potential risk; 3) the authority and independence of the compliance function and the availability of compliance expertise to the board; 4) the compensation and promotion of the personnel involved in compliance, in view of their role, responsibilities, performance, and other appropriate factors; and 5) the reporting structure of any compliance personnel employed or contracted by the company.

The 2020 Update, Monaco Memo, and 2023 update to the Corporate Enforcement Policy all demonstrate the continued evolution in the thinking of the DOJ around the corporate compliance function. Their articulated inquiries can only strengthen a corporate compliance function specifically; and the compliance profession more generally. The more the DOJ talks about the independence of the compliance function, coupled with resources being made available and authority concomitant with the corporate compliance function, the more corporations will see it is directly in their interest to provide the resources, authority, and gravitas to compliance position in their organizations.

Three key takeaways:

  1. How is compliance treated in the budget process?
  2. Has your compliance function had any decisions overridden by senior management?
  3. Beware of compliance outsourcing, as any such contractor must have access to company documents and personnel.
Categories
Everything Compliance

Everything Compliance – Episode 110, The Bayeux Tapestry Edition

Welcome to the only roundtable podcast in compliance as we celebrate our second century of shows. Everything Compliance has been honored by W3 as the top talk show in podcasting. In this episode, we have the quintet of Jay Rosen, Jonathan Armstrong, Jonathan Marks, Tom Fox, and Matt Kelly, who discuss a potpourri of issues. We conclude with our fan-fav Shout Outs and Rants section.

  1. Matt Kelly at the SEC enforcement action against McDonald’s for giving disgraced former President Steve Easterbrook a severance package without explaining its reasons. He rants about the Department of Justice CCO certification requirement for Danske Bank.
  1. Jonathan Marks reviews the Fraud Pentagon and explains the additions of arrogance and convenience to the Fraud Pentagon. He Rants about the recent FAA failure, which crippled the US airline industry.
  1. Tom Fox has his first dual shout-out. His first shout-out is to US District Judge Middleton for sanctioning Donald Trump and his lawyer, jointly and severally, for $938,000 and the recently deceased musician David Crosby.
  1. Jonathan Armstrong looks at the NIS II Directive. He rants about the Tory proposed law against publicizing small boats that would make showing or even talking about the Bayeux Tapestry illegal.
  1. Jay Rosen looks at when and how is a compliance program ‘good enough.’ He shouts out to the NFL for the playoffs and for getting us the best four teams in the final four.

The members of Everything Compliance are:

  • Jay Rosen– Jay is Vice President, Business Development Corporate Monitoring at Affiliated Monitors. Rosen can be reached at JRosen@affiliatedmonitors.com
  • Karen Woody – One of the top academic experts on the SEC. Woody can be reached at kwoody@wlu.edu
  • 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.

Categories
Daily Compliance News

January 26, 2023 – The Offices Search 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 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.

Stories we are following in today’s edition of Daily Compliance News:

  • PwC, Boston Consulting Group offices search in Dos Santos corruption investigation. (ICIJ)
  • Corp execs now have a duty of oversight in Delaware. (Reuters)
  • 4 top pods on women and working. (FT)
  • British gambler fined for AML failures. (WSJ)
Categories
Jamming with Jason

Growing and Developing Yourself on the Middle Ground with JLE Podcast

This is another tables are turned episode, where you get to hear Jason Mefford interviewed by Jeffrey L. Edwards on the Middle Ground with JLE podcast, so you get to see a different side of Jason and hear more of his path of growth and development over his career and personal life.

DO YOU LOVE MUSIC LIKE ME?

If so, learn how you can use it to intentionally heal and change your emotions as well as use it for entertainment at: https://bit.ly/MeffordMusic

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If you’re the kind of person who likes to help others, then share this with your friends and family. If you find value, they will too. Please leave a review [https://itunes.apple.com/us/podcast/jamming-with-jason-mefford/id1456660699] on Apple Podcasts so we can reach more people.

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STAY UP TO DATE WITH NEW CONTENT:

It can be difficult to find information on social media and the internet, but you get treated like a VIP and have one convenient list of new content delivered to your inbox each week when you subscribe to Jason’s VIP Lounge at: https://jasonmefford.com/vip/ plus; that way, you can communicate with me through email.

 

Categories
31 Days to More Effective Compliance Programs

Day 25 – CCO Authority and Independence

The role of the CCO has steadily grown in stature and prestige over the years. The 2020 FCPA Resource Guide, under the Hallmarks of an Effective Compliance Program, focused on whether the CCO held senior management status and had a direct reporting line to the Board. The new requirement for CCO certification has only emphasized this reality.

This Hallmark was significantly expanded in the 2020 Update and the FCPA Corporate Enforcement Policy. And in so doing, the DOJ has increased the prestige, authority, and role of the CCO and corporate compliance function. The 2020 Update has five general areas of inquiry around the CCO and corporate compliance function. (1) How do the CCO’s salary and stature compare to other senior executives within the company? (2) What are the experience and stature of the CCO with an organization? Does the CCO have appropriate training for the role? (3) How much autonomy does the CCO have to report to the Board of Directors? How often does the CCO meet with directors? Are members of the senior management present for these meetings with the Board of Directors or the Audit Committee? (4) What is your structure? Is the compliance function run by a designated chief compliance officer or another executive within the company, and does that person have other roles? (5) Is data in your organization so siloed that the CCO does not have access to it? If so, what are you doing about it?

Once again, for the compliance professional, the FCPA Corporate Enforcement Policy and 2020 Update make the importance of a best practices compliance program even more critical. The DOJ focuses more on the role, expertise, and how the compliance function is treated within an organization. Pay your CCO considerably less than your GC. You may now better be able to justify that discrepancy. You may be starting behind the eight-ball if you have a legal department budget of $3 million and a compliance department budget of $500,000.

Three key takeaways:

  1. How can you show the CCO has a seat at the senior executive table?
  2. What are the professional qualifications of your CCO?
  3. Does your CCO have true independence to report directly to the Board of Directors?
Categories
Innovation in Compliance

Operationalizing Compliance: Part 3 – Jaycee Dempsey on Operationalizing Compliance

Welcome to a special five-part podcast series on Operationalizing Your Compliance Program, sponsored by Broadcat LLC. Over this series, we consider various ways to more fully operationalize your compliance regime, including the design and effectiveness of your communications, why the operationalization of compliance is a team sport, why simply data is not the answer, and how to avoid being overwhelmed. In Part 3, I am joined by Jaycee Dempsey to discuss operationalizing your compliance program through employee engagement and participation.

Highlights from this episode include:

·      Compliance is a team sport.

·      The DOJ pronouncements on clawbacks put pressure on senior management.

·      Middle managers are where the rubber meets the road.

·      Document Document Document

For more information, go to TheBroadcat.com

Categories
Hill Country Authors

James Horkey: From My Own Prison to Redemption

Welcome to the award-winning The Hill Country Authors Podcast. In this podcast, Hill Country resident Tom Fox visits with authors who live and write up the Texas Hill Country.  In this episode, I visit with James Horkey, the Hill Country’s most recent first-time author.

Horkey’s story and his book From My Own Prison to Redemption: Healing for the Wounded is a story of survival and victory; it follows the diagnosis, treatment, and recovery of a man who was led to drug and alcohol addiction and dysfunctional interactions as a coping mechanism resulting from trauma suffered as a child. Determined to break the cycle and help others as others have helped him, Horkey’s honest and heartfelt memoir offers hope to those suffering—be it the addict or their friends and family—that there is life beyond addiction and no one is out of reach when God is invited into our lives to perform his miracles.

Horkey relates the steps he took to find sobriety, from finding the courage to acknowledge his disease and seeking healing to living a joyful, prayerful, peaceful life in recovery. Perhaps, if you’re ready, begin a healing journey.

Horkey has a heart to serve, especially in helping those with addiction by working with them through a 12-step program. He has spent years sharing his experiences, strength, and hope with individuals, 12-step groups, hospitals and institutions, and prison ministry.

Resources

From My Own Prison to Redemption: Healing for the Wounded