Categories
Jamming with Jason

What Really Matters is the People We Love with Israel Smith

Do you fear being seen as a failure or not measuring up? Most people do.

In this #jammingwithjason #podcast, we talk about the male perspective of relationships and why so many men seem like they aren’t present and aren’t in the game with their relationships.

This is a must-listen episode for men and women who love and are in relationships with men.
Learn how Israel overcame a debilitating depression by realizing he couldn’t do it by himself and the ways he was able to pull himself out of it, along with practical tips and steps that are helping so many other men.
Israel Smith helps men find more peace, feel less stress, and become the man, husband, father, leader, coach, partner, and the person you always imagined. Connect with him through his website: https://israelsmith.com/
FOR FULL SHOW NOTES AND LINKS, VISIT:

E271 What Really Matters is the People We Love with Israel Smith


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My YouTube channel [https://www.youtube.com/c/jasonleemefford] and make sure to subscribe

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My website [https://jasonmefford.com]

STAY UP TO DATE WITH NEW CONTENT:

It can be challenging to find information on social media and the internet. Still, 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: https://jasonmefford.com/vip/ plus; that way,, you can communicate with me through email.

Categories
Compliance Week Conference Podcast

Mia Reini on Proactive Response to DOJ Guidance – What to Expect from Regulators and The Home Depot Compliance Response

In this episode of the Compliance Week 2022 Preview Podcasts series, Mia will discuss some of her presentation at Compliance Week 2022 “Proactive Response to DOJ Guidance – What to Expect from Regulators and The Home Depot Compliance Response”. Some of the issues she will discuss in this podcast and her presentation are:

  • Hear ex-regulators’ perspectives on the good, the bad and the ugly when it comes to staying compliant with the DOJ’s guidance
  • Gain insights from Home Depot’s proactive response, including takeaways from an internal review and reaction to the DOJ guidance
  • Walk away with a plan on what to do if a regulator reaches out to your organization

In this first full compliance conference in over 2 years, I hope you can join me at Compliance Week 2022. This year’s event will be May 16-18 at the JW Marriott in Washington DC. The line-up of this year’s event is simply first rate with some of the top ethics and compliance practitioners around.

Gain insights and make connections at the industry’s premier cross-industry national compliance event offering knowledge-packed, accredited sessions and take-home advice from the most influential leaders in the compliance community. Back for its 17th year, compliance, ethics, legal, and audit professionals will gather safely face-to-face to benchmark best practices and gain the latest tactics and strategies to enhance their compliance programs. and many others to:

  • Network with your peers, including C-suite executives, legal professionals, HR leaders and ethics and compliance visionaries.
  • Hear from 75+ respected cross-industry practitioners who are CEOs, CCOs, regulators, federal officials, and practitioners to help inform and shape the strategic direction of your enterprise risk management program.
  • Hear directly from the two SEC Commissioners and gain insights into the agency’s areas of enforcement and walk away with guidance on how to remain compliant within emerging areas such as ESG disclosure, third-party risk management, cybersecurity, cryptocurrency and more.
  • Bring actionable takeaways back to your program from various session types including ESG, Human Trafficking, Board obligations and many others for you to listen, learn and share.
  • The goal of Compliance Week is to arm you with information, strategy and tactics to transform your organization and your career by connecting ethics to business performance through process augmentation and data visualization.

I hope you can join me at the event. For information on the event, click here. As an extra benefit to listeners of this podcast, Compliance Week is offering a $200 discount off the registration price. Enter discount code discount code TFLAW $200 OFF.

Categories
The Hill Country Podcast

Marwan Elrakabawy-From Patent Lawyer to College Basketball Coach


Welcome to 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 with the people and organizations that make this the most unique areas of Texas. Join Tom as he explores the people, places and their activities of the Texas Hill Country.  In this episode, I visit Marwan Elrakabawy, (Coach Rock), head basketball coach at Schreiner University. He details a fascinating journey from being a patent lawyer to a head basketball coach in the Hill County. Some of the highlights include:

  • Love of basketball.
  • From college and coaching to law school and patent law.
  • Coaching deaf athletes.
  • What to his position at Schreiner University?
  • What does he look for in a player to come to Schreiner?
  • His love of the Houston Rockets and Hakeem Olajuwon.

Resources
Schreiner University
Schreiner University Mountaineers homepage

Categories
Great Women in Compliance

Nordic Business Ethics Initiative – Niina Ratsula and Anna Romberg


Welcome to the Great Women in Compliance Podcast, co-hosted by Lisa Fine and Mary Shirley.
Not too dissimilar from Lisa and Mary, Niina and Anna partner on a project to further knowledge to others in the Ethics and Compliance community.  Their Nordic Business Ethics Initiative is a wonderful contribution to practitioners.  We invite you to hear the story about how they got started and what they provide to others in the field.
Niina and Anna discuss some of the recent findings in their benchmarking survey with Mary sharing some commentary on a surprising finding and how global practitioners might use this data to target their speak up campaigns accordingly.
They also share their advice for anyone else thinking about launching a not for profit idea to serve the Compliance community and Mary wraps up the interview with some advice regarding interpreting signals of anger and what they mean vis-a-vis guilt in investigations.
Each of the GWIC team; Lisa, Tom and Mary, is speaking at Compliance Week in DC 16-18 May.  If you enjoy our thought leadership, join our panel sessions to hear more and look out for us in the networking breaks to say hello!
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).
Join the Great Women in Compliance community on LinkedIn here.

Categories
Compliance Into the Weeds

JPMorgan Responds to Whistleblower Claims


Compliance into the Weeds is the only weekly podcast which takes a deep dive into a compliance related topic, literally going into the weeds to more fully explore a subject. This week, Matt and Tom take a deep dive into the recent response of JPMorgan to the whistleblower termination allegations of Shaqualla Williams. Highlights include:

  • What does whistleblower protection actually mean?
  • Can a company fire an employee for other conduct if they have filed a whistleblower report?
  • Will this become the template for getting rid of whistleblowers?
  • Do the substance of whistleblower reports matter?

Resources
Matt in Radical Compliance

Categories
Daily Compliance News

May 11, 2022 the Musk Tweets Reckless Edition


In today’s edition of Daily Compliance News:

  • Expect more Russia sanctions. (WSJ)
  • Musk tweets found reckless. (Bloomberg)
  • Platform identifying global maritime corruption risks launched. (SeaTrade Maritime News)
  • Musk to invite Trump back on Twitter. (RNYT)
Categories
Blog

A Toxic Culture and the Fraud Triangle: Part 1

The fraud triangle is well-known to most compliance practitioners. It is pressure, opportunity and rationalization. When these three factors converge, there is danger of an ethical lapse which could lead to violation of law. Bribery and corruption under the Foreign Corrupt Practices Act (FCPA) are types of fraud where the employee or employees do not keep the direct proceeds of their conduct but enrich the company. Of course, if their collective bonuses are drawn from the fraudulent conduct, the cycle is complete around how the fraud triangle applies to the FCPA.
Yet 2022 has introduced another reason for compliance professionals to pay attention to the Fraud Triangle and it revolves around corporate culture. In an MIT Sloan Management Review article, entitled “Why Every Leader Needs to Worry About Toxic Culture”, authors Donald Sull, Charles Sull, William Cipolli, and Caio Brighenti wrote about how the elements of toxic culture in an organization can help leaders focus on addressing the issues that lead employees to disengage and quit, which could be one of the reasons for the Great Resignation. However, the issue of a toxic culture could lead one of the prongs of the Fraud Triangle, rationalization for stealing money from your organization to put together a pot of money to pay a bribe.
Attributes of a Toxic Culture
The authors posit that there are five attributes of a toxic culture; “disrespectful, non-inclusive, unethical, cutthroat, and abusive — that poison corporate culture in the eyes of employees.” An inclusive culture is one that encourages the representation of diverse groups of employees and sees they are treated fairly, made to feel welcome, and included in key decisions. Non-inclusiveness is seen as meeting these basic human decency standards. The authors found that “feeling disrespected at work has the largest negative impact on an employee’s overall rating of their corporate culture of any single topic and was the single strongest predictor of how employees as a whole rated the corporate culture.”
Unethical behavior captures refer to the general thoughts and feelings about integrity and ethics within an organization. Cut-throat is not simply non-cooperative teammates or the lack of coordination across organizational silos but when employees are “actively undermining one another.” Abusive management is more than simply having a co-worker or manager “who has a bad day and takes it out on” others but more as sustained hostile behavior toward other employees. Some examples of such behaviors are “bullying, yelling, or shouting at employees, belittling or demeaning subordinates, verbally abusing people, and condescending or talking down to employees.”
How do these lead to rationalization under the Fraud Triangle? A couple of ways come to mind. First, “disengaged employees are nearly 20% less productive than their engaged counterparts because they put in less effort and miss more days on the job. Nearly half of employees who felt disrespected at work admitted to decreasing their effort and time spent at work.” This could lead to the situation where the watchers really are not watching. Second, and directly in the compliance wheelhouse, is that the authors reported, “Among U.S. CEOs and CFOs surveyed, 85% agreed that an unhealthy corporate culture could lead to unethical or illegal behavior. For example, after fraudulent sales practices at Wells Fargo were exposed in 2016, the bank paid billions of dollars in fines and lawsuits and saw its corporate reputation suffer the largest single-year drop in Harris Poll history.”
The bottom line is that many employees might experience the culture as toxic. As the authors noted, “Women, underrepresented minorities, or older employees, for example, might have a much more negative view of the culture than other employees. In most large organizations, distinctive microcultures coexist within the same company, often across business units, functions, geographies, or acquired companies. Individual leaders also create subcultures within their extended team. Whatever their origin, microcultures can diverge from the broader corporate culture, which means that even the best cultures can contain pockets of cultural toxicity.” Does this mean they will be prone to engage in bribery and corruption? Not necessarily but it does mean they may have a propensity to rationalize away such conduct due to the toxicity of culture at their companies.
Bret Hood, writing in a Fraud Magazine article entitled “Twisted rationalization, said, “We might commonly assume that fraudsters choose to commit fraud by deploying rational cost-benefit analyses of potential rewards against the consequences of being caught. However, most fraud perpetrators completely ignore this calculation. Most of their decisions are automatic and unconscious. Sometimes, others massage circumstances so the fraudulent decision maker doesn’t comprehend the ethical implications.” That sounds suspiciously like someone who has been treated so poorly in a toxic culture they feel like they have nothing to lose.
David Schrieberg, writing in a Forbes.com article entitled “How Does Corporate Culture Fuel Fraud? Start With Volkswagen And Wells Fargo”, cited to Steve Morang who said of those entities and their scandals, “The brains behind the “strategic decisions that organizations make, whether Volkswagen or Walmart or Wells Fargo, don’t understand that those decisions, as they get implemented and trickle down the organization, could very much affect their fraud risk profile.” These comments were aimed at the culture of sales, but those same cultural morals created a toxic culture in both organizations.
In our next edition, we consider the Fraud Triangle and compliance.

Categories
The Compliance Life

Mark Beyer – Into Energy, Expanding Risks and Building Out a Compliance Program

The Compliance Life details the journey to and in the role of a Chief Compliance Officer. How does one come to sit in the CCO chair? What are some of the skills a CCO needs to success navigate the compliance waters in any company? What are some of the top challenges CCOs have faced and how did they meet them? These questions and many others will be explored in this new podcast series. Over four episodes each month on The Compliance Life, I visit with one current or former CCO to explore their journey to the CCO chair. This month, my guest is Mark Beyer, the Ethics and Compliance Officer at Pedernales Electric Cooperative.

From Lockheed Martin, Beyer moved into the energy space to the oilfield services company Baker Hughes. There he worked under Trade Compliance Director Ellen Smith (check out Ellen’s story from December 2021 on The Compliance Life). He also improved his Compliance Toolkit at Baker Hughes.

Tool No. 5 was learning about compliance program building. A compliance program is far beyond rules, documents and organization. It is business process designed to operationalize compliance. He also learned how to message compliance into the front lines of business.

Tool. No. 6 allowed Beyer to expand the scope of his compliance knowledge, through learning about anti-corruption compliance. Here Beyer worked under At Baker he worked under CCO legend Jay Martin, who was known for his best practices compliance programs.

Resources
Mark Beyer LinkedIn Profile
Pedernales Electric Cooperative

Categories
Compliance Week Conference Podcast

Carrie Penman on More is Better! Empowering Compliance with Risk-Signal Data

In this episode of the Compliance Week 2022 Preview Podcasts series, Carrie will discuss some of her presentations at Compliance Week 2022, “Navigating the Global Regulatory Environment.” Some of the issues she will discuss in this podcast, and her presentations are:

  • Engage in a conversation on how hotline data can become a critical flow of information that, like the proverbial canary in the coalmine, can tip the business off to issues. At the same time, they are much more easily addressed.
  • Explore how other business functions (e.g., accounting, marketing, sales) have a steady flow of data at their fingertips used to help the business make strategic decisions.
  • Discuss how hotline data can be used as a pivotal business tool to proactively guide important decisions across risk, compliance, and the business at large.

In this first full compliance conference in over 2 years, I hope you can join me at Compliance Week 2022. This year’s event will be May 16-18 at the JW Marriott in Washington DC. The line-up of this year’s event is first-rate, with some of the top ethics and compliance practitioners around.

Gain insights and make connections at the industry’s premier cross-industry national compliance event offering knowledge-packed, accredited sessions and take-home advice from the most influential leaders in the compliance community. Back for its 17th year, compliance, ethics, legal, and audit professionals will gather face-to-face to benchmark best practices and gain the latest tactics and strategies to enhance compliance programs. And many others to:

  • Network with your peers, including C-suite executives, legal professionals, HR leaders, and ethics and compliance visionaries.
  • Hear from 75+ respected cross-industry practitioners who are CEOs, CCOs, regulators, federal officials, and practitioners to help inform and shape the strategic direction of your enterprise risk management program.
  • Hear directly from the two SEC Commissioners and gain insights into the agency’s enforcement areas, and walk away with guidance on remaining compliant within emerging areas such as ESG disclosure, third-party risk management, cybersecurity, cryptocurrency, and more.
  • Bring actionable takeaways back to your program from various session types, including ESG, Human Trafficking, Board obligations, and many others, to listen, learn and share.
  • The goal of Compliance Week is to arm you with information, strategy, and tactics to transform your organization and your career by connecting ethics to business performance through process augmentation and data visualization.

I hope you can join me at the event. For information on the event, click here. As an extra benefit to listeners of this podcast, Compliance Week is offering a $200 discount on the registration price. Enter discount code TFLAW $200 OFF.

Categories
The ESG Compliance Podcast

Practical ESG That Cuts Through The Fluff With Lawrence Heim


Lawrence Heim joins the podcast to discuss PracticalESG, the CCRcorp-run blog working to provide ESG information in bite-sized pieces, SEC’s proposed framework and its contents, the processes of regularizing standards, and what organizations must do to ensure accurate tracking and reporting.
▶️ Practical ESG with Lawrence Heim:
Key points discussed in the episode:
✔️ Practical ESG receives tons of positive feedback and aims to cut through the fluff and marketing.
✔️ With an expert advisory board, PracticalESG has had in-depth contributions on climate issues, investor perspectives, corporate culture, and how they all relate to a successful ESG program.
✔️ Just recently, the ISSB has made public a new multi-jurisdictional working group of regulatory agencies in the accounting and securities arenas for a number of countries.
✔️ Convergence is the process of establishing standards as regulatory. When IFRS adopts a standard, it isn’t automatically established as regulatory. Countries must go through legal and administrative processes to make them enforceable. FASB is responsible for this function in US jurisdiction.
✔️ The SEC’s proposed framework has three scopes: direct emissions, third-party emissions, and supply chain emissions.
✔️ Lawrence Heim notes a potential misunderstanding in the SEC proposal: CO2 emissions reporting by companies to EPA is limited to operations that emit 25,000 tons of CO2 annually – either directly from their locations or as a result of third-party combustion of the products manufactured (such as gasoline). EPA’s CO2 emissions reporting will not ease the proposed SEC emissions calculation burden for companies that are below the EPA threshold.
✔️ Manage and track responses to information requests in your organization. With receptionists, monitor how they reply to more technical questions and equip them with the right tools and know-how.
Lawrence Heim is the Editor of CCRCorp’s ESG platform, PracticalESG.com, where he shares insights based on over 35 years of supporting companies in environmental, health & safety compliance and management. He’s led various types of non-financial audits, designed corrective action programs and helped implement sustainability programs. He spent nearly a decade in-house at a Fortune 150 manufacturer and went on to help create the Global Environmental Risk Consulting Practice at Marsh USA. Later, Lawrence founded & led the Sustainability practice at Elm Consulting Group, and most recently, he led the development of supply chain due diligence standards at the Responsible Business Alliance/Responsible Minerals Initiative. When the SEC’s conflict minerals rules were under consideration, Lawrence was the only non-financial auditor selected to give testimony to the Commission. In 2018, he published the book “Killing Sustainability.” Lawrence also sits on the board of ASSET, a non-profit anti-slavery organization.