Some of the biggest mistakes made when handling a crisis are not dealing with the problem head on, thoughtless or insincere comments, lack of communication with stakeholders, unprepared spokespeople, getting defensive after receiving backlash, or, sitting back and letting the problem grow. Domino’s, Sony, Samsung, BP, United Airlines, Equifax, KFC, are all good examples of companies who stumbled with crisis management. Organizations should study these crises and learn from the mistakes! In this podcast Jonathan Marks provides an overview of crisis management and its elements – prepare, respond, contain, recover, and remediate. He also discusses the board of directors role.
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In this episode of Trekking Through Compliance, we consider the episode And the Children Shall Lead which aired on October 11, 1968, Star Date 5027.3.
Compliance Takeaways:
- How can you ask the right question?
- Compliance leadership is a conversation.
- Tailoring your compliance message.
In this episode I visit with podcast favorite Morrison and Foerster partner James Koukios on the firm’s Top 10 International Anti-Corruption Developments for March 2019. We look at some of the key international developments. Highlights from the podcast include:
- The MTS FCPA Settlement.
- Changes in FCPA Corporate Enforcement Policy-what is ‘De-Confliction’ and ephemeral messaging.
- OECD Working Group on Bribery Reports on the UK’s Foreign Bribery Enforcement Record.
- CFTC announces entry into FCPA enforcement.
- India appoints first anticorruption ombudsman.
To see a copy of the Morrison and Foerster Top 10 International Anti-Corruption Developments for March 2019, click here.
In this episode of Trekking Through Compliance, we consider the episode The Paradise Syndrome which aired on October 4, 1968, Star Date 4842.6.
Compliance Takeaways:
- How can you create a remarkable compliance experience?
- CCO as project sponsor.
- Compliance must widen its circle.
In today’s edition Sunday Book Review edition of Daily Compliance News:
- Because Internet-Gretchen McCullogh
- Turbulence-David Szalay
- Beethoven-The Relentless Revolutionary-John Klubbe
- Becoming Superman: My Journey From Poverty to Hollywood–Michael Straczynski
In this episode of Trekking Through Compliance, we consider the episode The Enterprise Incident which aired on September 27, 1968, Star Date 5031.3.
Compliance Takeaways:
- The power of NO in compliance.
- Communicating across cultural boundaries.
- Tailoring your compliance message.
In this podcast series, recovering screenwriter (and Mr. Monitor) Jay Rosen and Tom (the Compliance Evangelist) indulge in passion for the movies by looking at them through the lens of compliance. Jay is a contemporary movie fan and I am more of a classic movie maven so we present a well-rounded view of the movie fandom. If you want to indulge in your love for the movies with two guys who are passionate about Hollywood and get some ideas for your compliance program, this is the podcast series for you.For this offering, we consider the recently released Spider-Man: Far From Home.
Some of the highlights include:
- What drove the storyline?
- Is teen angst always around?
- How does this movie fit into the MCU?
- How Marvel’s business strategy changed.
- What are some of the leadership lessons?
- What are some of the compliance lessons?
- Jay gives the Inside Hollywood story of the production.
- Jay gives the movie an overflowing bucket of popcorn as a summer movie treat. Tom tepidly gives the movie 3/4 bucket of stale popcorn.
This special bonus episode is a cross-post of Mike Volkov’s 100th episode podcast, where he interviewed me. It was a ton of fun and Mike was gracious enough to allow me to post on the FCPA Compliance Report. Click here for the post on Corruption Crime and Compliance.
Some of the highlights include:
Where is the vast Compliance Podcast Network, and what is coming in the future?
The genesis of for Trekking through Compliance and how were you able to pull together and synthesize all of the Star Trek episodes?
My perspective on this recent DOJ and OFAC Guidance and how should compliance professionals use this guidance?
Given all of this recent government guidance, where does the FCPA Guidance from 2012 fit into the picture? Does it still have value to the compliance professional?
What do you see, over the next five years, and how should compliance professionals prioritize compliance?
We always hear about automation, blockchain, artificial intelligence, data analytics and machine learning – how do we sift through these, find valuable compliance applications and then prioritize the use of these technologies?
When Trump first assumed the presidency there was concern about his commitment to FCPA enforcement. What is my view of how this has turned out?
Where DOJ will be over the next few years on enforcement and compliance?
As compliance continues to evolve and increase its influence, where is the compliance profession growing?
In today’s edition of Daily Compliance News:
- One of the country’s top border officers cannot say whether a 3-year-old child might pose a “criminal or national security threat.” (Slate)
- Does Audi stink? (NYT)
- McKinsey advised big pharma on how to ramp up opioid sales. (NYT)
- Teva clawsback over $50MM (TimesofIsrael)