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Compliance and Corporate Principles in Today’s World

For corporations, navigating the political landscape has become an increasingly difficult task. While being admonished to ‘stay in their lane’ by some; businesses are just like their stakeholders, impacted by the ever-changing political miasma. When this new reality is coupled with the new levels of transparency in companies, which are only amplified by social media, a company can find itself embroiled in very public controversies with one or more stakeholder groups. As these situations occur, Chief Compliance Officers (CCOs) and compliance professionals will be called upon to help companies navigate this fraught process.

I was therefore intrigued by a recent Harvard Business Review (HBR) article, entitled Strategy in a Hyperpolitical World, where authors Roger L. Martin and Martin Reeves opined on how companies can make smart choices when values clash. Some recent examples the authors pointed to included “when Delta stopped offering discounts to NRA members following a 2018 school massacre in Florida, it was threatened with the withdrawal of fuel subsidies in Georgia. When Disney spoke up on LGBTQ+ rights in Florida, it lost its special governance status and rights in the state. When H&M voiced concerns about cotton sourcing and human rights in China, its revenues in that country plummeted. When the Ukraine crisis broke, McDonald’s was forced to exit the business it had painstakingly built in Russia over a 30-year period.”

This change for corporations has been percolating for some time. As with many changes over the past few years, this politicizing of corporations accelerated during Covid-19 and the Russian invasion of Ukraine. In addition to the increased amplification through social media noted above, the authors believe, “the workplace has become the main vehicle for socialization and self-expression. As employees seek to express their identities and beliefs at work, they increasingly expect that their companies will support the issues they care about.” Companies have for years wanted this type of commitment and engagement with its employees but with all these changes, new risks are presented. Moreover, “many CEOs who have taken a stance on social issues say the impetus was that their employees expected and lobbied for it.” In other words, as the authors believe, the corporate playing field has expanded beyond simply justifying strategic decisions in purely business terms.

How can compliance help a company navigate through all of this? The authors state, “To make and implement the best strategic choices in this environment, leaders will have to (1) develop robust principles to guide strategic choices, (2) address ethical issues early, (3) consistently communicate and implement their choices, (4) engage beyond the industry to shape the context, and (5) learn from mistakes to make better choices in the future.” This is a process that can be facilitated by the corporate compliance function, and I have adapted the authors process for compliance.

Develop Robust Principles

The authors believe the “first step is understanding the salient social and political issues for your company. The second step is envisioning where and how those issues might intersect with your business and the choices that they imply. The third step is hearing and understanding the opinions of your employees on those issues—because, as we’ve noted, they are often the reason that companies take a position on political issues.” They caution the principles must be broad enough “to apply across the major sources of political tension to which a company is likely to be exposed” and they should be clear. Finally, they should be easily audited.

Address Ethical Issues Early

Admittedly, “anticipating and shaping ethical challenges requires a delicate balancing act” but companies are now required to be more nimble and more agile. The authors note, “Individual companies may be able to move earlier and with greater control, but eventually complex issues may necessitate collective action, often initiated by a market leader.” An organization should assess where and how it should operate as well as its “need to anticipate, preempt, and shape nascent ethical challenges. That may require a high degree of creative problem-solving, but it often garners outsize public goodwill and strategic advantages for early movers. Once an issue has become front-page news, political camps will be entrenched, and the company’s room for maneuver will be limited.” This was seen most strikingly in the wake of the Russian invasion of Ukraine where companies were presented with a stark choice from their employees and other stakeholders; support Democracy or suffer the impacts of being pro-Putin. Companies who quickly responded were also in a much better position when the inevitable economic and trade sanctions began to be levied.

Consistently Communicate and Implement Choices

It is critical that principles should “be communicated to and understood by all employees. Because they will influence the expectations of stakeholders outside the company, they should also be publicly transparent.” As the Fair Process Doctrine implies, “Principles are credible only if they are consistently applied.” The authors interpret this to mean “they must be part of the everyday making of business decisions, not simply called up in response to pressure after a situation has exploded.” But just as senior leaders must not simply “Talk the Talk but Walk the Walk”, principles which only “inform communications but not action will not be credible over time or effective in navigating risk.” A CCO should use its company’s principles to “engage with and solve issues preemptively and collaboratively whenever possible. A company standing against corruption will have a greater impact if it works with other stakeholders to address that issue and improve the context—even if, at the end of the day, a decision about whether to stay in the business in question or exit it is required.”

Engage Beyond the Industry

If there has been one change around principles, it has been that some issues are larger than any one company can impact. Some issues are beyond even an entire industry and businesses “need to work with civil society and government on the hardest and most deeply entrenched issues to effect change.” Failing to do so can lead to “accepting the unpredictability of an endless series of ad hoc responses or having regulation forced on the industry owing to insufficient impact from their own efforts. And there are important new issues around which to build consensus.”  Perhaps the clearest example of this is human trafficking and human slavery in the business context and the passage of the Uyghur Forced Labor Prevention Act (UFLPA). This legislation sailed through the US Congress, almost unanimously, as many corporations had taken stands on the abuse of such persons who were potentially embedded somewhere in their supply chain. This type of public/private collaboration is now seen in many other areas such as trade and economic sanctions in the wake of the Russian invasion of Ukraine and the fight against money laundering.

Continuous Improvement

Your business will not always get everything right. Indeed, a compliance program is designed to prevent, detect and remediate. This means fix problems as they are detected. I was therefore gratified when the authors cited to Siemens AG for such an example, in the wake of their massive corruption scandal involving Foreign Corrupt Practices Act (FCPA) violations. The authors noted, “Siemens began by cleaning house: It hired the company’s first-ever external CEO, Peter Löscher, who, within months of taking over, had replaced about 80% of the top level of executives, 70% of the next level down, and 40% of the level below that. Next, it made earnest and long-term commitments to atone for its past actions: It has supported government investigations and set up the global Siemens Integrity Initiative to fund collective action to reduce corruption, which has allowed the company to continue to bid for government contracts.”

If you work through these steps, you should be able to prepare your organization for the next major shock.

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The Ethics Experts

Episode 137 – Joel Lalgee

In this episode of The Ethics Experts, Nick welcomes Joel Lalgee. Joel has a 7-year background in agency recruiting and currently works at Hirewell. He is a massive content creator that has generated 77 million impressions in the last year and has 140,000 followers on LinkedIn. Joel is not afraid to tell it how it is and provides real and authentic career insight from the lens of a recruiter.

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All Things Investigations

Taylor Swift, LiveNation and Anti-trust with Philip Giordano

Welcome to the Hughes Hubbard Anti-Corruption and Internal Investigations Practice Group’s Podcast, All Things Investigations. In this podcast, host Tom Fox and returning guest Philip Giordano of the Hughes Hubbard Anti-Corruption & Internal Investigations Practice Group highlight some of the key legal issues in white-collar investigations, locally and internationally.

Phillip Giordano is a partner in the Hughes Hubbard Antitrust Group, focusing on a variety of national and international antitrust matters, including complex criminal antitrust investigations and litigation, civil non-merger government investigations, and mergers and acquisitions. Philip also personally practices in the area of criminal defense.

Key areas we discuss in this podcast:

  • LiveNation and Ticketmaster have been on the DOJ’s radar for quite some time.
  • Defining vertical and horizontal integration.
  • Why the DOJ was concerned about the primary ticketing market.
  • Ticketmaster has been criticized for raising ticket prices after the website crashed due to high demand. There was an outcry because before it crashed, Ticketmaster’s algorithms raised ticket prices to four or five figures.
  • Analyzing a concentrated market.
  • Surge pricing in one market can help the market function competitively in another market.

Resources

Hughes Hubbard & Reed website 

Philip Giordano on LinkedIn

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The ESG Report

Attributes of ESG Reporting with Doug Hileman

Tom Fox welcomes Doug Hileman to this episode of the ESG Report. Doug is the founder of Doug Hileman Consultancy and part of the Volkswagen Monitor Team. In this conversation, he and Tom talk about his experience in the environmental and compliance industries, highlighting the increasing complexity of the environment and legal landscape. He also discusses how corporate compliance officers can play an important role in ensuring that companies are compliant with their environmental and safety obligations.

The Evolution of Environmental Regulations 

Tom asks Doug how the environmental field has changed over the years. “I would say that it’s gotten a lot more complex,” Doug responds. Regulation in the past was about cleaning up and disposing of waste, whereas now regulation is borader, covering areas such as product design, biodiversity, and the circular economy. In addition, stakeholders are now imposing requirements: they no longer want to do business with companies that don’t comply with US and global regulations. 

 

The Compliance Professional in Corporate ESG

ESG is a great opportunity for compliance professionals. Compliance obligations are now widespread in the business world, so compliance professionals must learn what the requirements are of any organization that they’re working with. Once they learn the requirements, they can then take up a leadership role. “If they’re not at the table the way they think they should be at the table, then just pull up a chair and sit down,” Doug stresses. “Make your own case for why the compliance function has such an important role in ESG. It’s not about marketing; it’s compliance.”

 

The Board in Corporate ESG 

The board needs to be involved in the company ESG program. It needs to be an ‘all hands on deck’ initiative. This will make the entire company operations more competent. Doug remarks on the importance of internal auditing and how it impacts ESG. The board’s focus should be on how to be in line with ESG practices and requirements, Doug tells Tom. 

 

Resources

Doug Hileman | LinkedIn 

Doug Hileman Consultancy

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FCPA Compliance Report

Investigative Protocols After the Monaco Memo

In this episode, I take things in a different direction today as I post the recording of a webinar I recently put on for i-Sight Software Solutions. In this presentation, I detail what the Monaco Memo means your corporate investigative protocol.

Some of the highlights include:

·      What changes did the Monaco Memo portend for corporate investigative protocols?

·      What unintended consequence did the Russian invasion of Ukraine bring to the public view of whistleblowers?

·      Why is triage a key aspect of your investigative protocol?

·      Why should you create an investigative protocol long before an investigation becomes needed?

·      How do you create an investigative protocol to keep key decision makers in the loop?

 Resources

For a White Paper on these issues, click here.

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Daily Compliance News

November 28, 2022 – The Back to Venezuela Edition

Welcome to the Daily Compliance News. Each day, Tom Fox, the Voice of Compliance, brings you four 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. 

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

· Chevron is going back into Venezuela. (WSJ)

· Amazon is hoping to settle by year-end with the EU. (Reuters)  

· Don’t let crypto fraud diminish blockchain. (FT

· Huawei and ZTE banned. (Bloomberg

Categories
Blog

Assessing and Aligning Your Corporate Values

One of concepts enshrined in the Monaco Memo is that the Department of Justice (DOJ) will assess corporate culture for any company that may find itself under investigation for Foreign Corrupt Practices Act (FCPA) violations. This enshrinement is not exactly new as Deputy Attorney General (DAG) Lisa Monaco announced this new DOJ focus in October 2021 in her speech to the ABA White Collar Bar Conference. The parameters of how the DOJ will assess culture are still being worked out but Chief Compliance Officers (CCOs) and compliance professionals need to be considering this issue in the context of their own compliance programs and corporate culture in case the DOJ ever comes knocking. Over the next several blog posts, I will be exploring how a corporate compliance function can assess, monitor and improve your corporate culture.

We begin with assessing your corporate values and then aligning them within your organization. In a recent Harvard Business Review (HBR) article, entitled What Does Your Company Really Stand For?, authors Paul Ingram and Yoonjin Choi explored these and other issues. I have adapted their work for the compliance professional. The authors believe that corporate values are more critical then ever.

New technologies, the lingering effects of the Covid-19 pandemic and the continued fallout from the Russian invasion of Ukraine have forced companies to “reassess what they value in their relationships with their employees, their customers, and even their societies… Across industries and sectors, companies have been forced to ask themselves, “What do we stand for?” and “What binds us to one another and to the community?” Through their research, the authors discovered, “They discovered that when a company’s official values match those of its employees—a situation they call values alignment—the benefits include higher job satisfaction, less turnover, better teamwork, more-effective communication, bigger contributions to the organization, and more-productive negotiations, not to mention more diversity, equity, and inclusion.”

The authors developed a five-step approach for values alignment. The first step is to identify the values within your employee base and create what they call a “values structure” which represents “the eight values that are most significant for each individual and the interdependencies that person perceives among them. For example, someone might believe that pursuing excellence will help satisfy the value of achievement.” Step two is to identify key priorities from strategy to determine “What is the most important thing the organization can do to achieve its strategy?” This determination will allow you align your official values with your organization’s mission.

The next step is to wed values that serve both the organization and its employees. Here you can use a group or groups of employees to make these connections to create value statements based upon the outputs from steps one and two. You may create many value statements, but these can be refined down. The authors note, “values alignment does not require exact matches; someone who identifies achievement as an individual value is likely to feel aligned with a similar organizational value—say, accomplishment. So you have some flexibility in creating your potential value statements.”

Next, in step four, you should begin the assessment process. Here try to be as wide and inclusive as possible. The authors state, “any member of the organization whose input is significant to its ultimate success should be invited to weigh in.” The benefits are clear as the more employees and other stakeholders involved, the wider the engagement will be going forward. This will lead to greater buy-in at the end of the day as well. The fifth and final step is to generate a final list of organizational values. In this process, senior management may become more involved.

The authors concluded their article by noting, “when properly aligned, values are powerful. They serve your strategy and provide your employees with authentic connections, and in so doing they create a foundation for better group performance and higher personal satisfaction. But values are not magic. They don’t become real or effective just because you announce them to your organization in a town hall meeting or etch them into marble at HQ. If you want to enjoy their benefits, you need to work with everybody in your organization to identify and align them. That requires the kind of careful attention and hard work that we’ve described in this article. We can assure you that it’s worth it.”

From the compliance perspective, the protocol the authors have set out can be quite useful. Recognizing that values are but one part of an overall corporate culture, this gives you a mechanism to think through how to begin an overall assessment of your organization. Values do make a portion of an overall culture. Through the engagement advocated herein, you can not only get a good reading on such key values as trust and respect, but, more importantly, learn how to incorporate them as overall assets into your corporate culture.

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Sunday Book Review

November 27, 2022 the Books on Whistleblowers edition

In the Sunday Book Review, I consider four books that would interest the compliance professional, the business executive or anyone who might be curious. It could be books about business, compliance, history, leadership, current events or anything else that might interest me. In today’s edition of the Sunday Book Review we consider four books on whistleblowers.

Extraordinary Circumstances: The Journey of a Corporate Whistleblower by Cynthia Cooper

Whistleblower: My Journey to Silicon Valley and Fight for Justice at Uber by Susan Fowler

Undercover: How I Went from Company Man to FBI Spy by John Schilling

Exposure by Michael Woodford

Resources

Whistleblower Must-Reads: Eleven Essential Books about Whistleblowers and the Whistleblowing Experience by Mary Inman and Liz Soltan

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Daily Compliance News

November 26, 2022 – The Scapegoat Edition

Welcome to the Daily Compliance News. Each day, Tom Fox, the Voice of Compliance, brings you four 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.

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

·       ABB set to settle. (WSJ

·       Were LIBOR traders criminals or scapegoats? (FT)  

·       Malawi VP arrested for corruption. (BBC

·       ENRC claims set for trial against SFO. (Reuters)

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Great Women in Compliance

Harper Wells-Training Update

Welcome to the Great Women in Compliance Podcast, co-hosted by Lisa Fine and Mary Shirley. We have not done a training episode in a while so this week we invited Harper Wells, Chief Compliance Officer of Learning Pool, to share her insights as a Compliance expert working for a training company. Harper shares what it’s like being a CCO within a service provider and then takes us on a journey of the latest and greatest elements of training in Ethics and Compliance programs.  Harper and Mary address some considerations on the potentially controversial topic of testing out of Compliance training. We end this episode with some advice and encouragement for non lawyers like Harper, with their eye on the prize for a CCO role.

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.  If you have a moment to leave a review at the same time, Mary and Lisa would be so grateful.  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).

If you enjoyed the book, the GWIC team would be very grateful if you would consider rating it on Goodreads and Amazon and leaving a short review.  Don’t forget to send the elevator back down by passing on your copy to someone who you think might enjoy reading it when you’re done, or if you can’t bear parting with your copy, consider it as a holiday or appreciation gift for someone in Compliance who deserves a treat.

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.