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Compliance Tip of the Day

Compliance Tip of the Day – Trust and Verify

Welcome to “Compliance Tip of the Day,” the podcast where we bring 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, we aim to provide you with bite-sized, actionable tips to help you stay on top of your compliance game. 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.

Today, we continue our 5-part series on using compliance in a best practices compliance program by considering how to trust and verify your use of AI in your compliance program.

For more on this topic, check out The Compliance Handbook, a Guide to Operationalizing your Compliance Program, 6th edition, which LexisNexis recently released. It is available here.

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Daily Compliance News

Daily Compliance News: August 20, 2025, The Boss is Back 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, compliance, ethics, risk management, leadership, or general interest for the compliance professional.

Top stories include:

  • UK drops request for Apple data. (WSJ)
  • Former Mali PM arrested for corruption. (ABCNews)
  • Advice of counsel without the advice. (Reuters)
  • No More Mr. Nice Guy-The boss is back. (FT)

You can donate to flood relief for victims of the Kerr County flooding by going to the Hill Country Flood Relief here.

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Blog

Trust and Verify: How Compliance Can Harness AI Agents Safely

Ed. Note: This week, we present a week-long series on the use of GenAI in a best practices compliance program. Additionally, for each blog post, I have created a one-page checklist for each article that you can use in presentations or for easier reference. Email my EA Jaja at jaja@compliancepodcastnetwork.net for a complimentary copy.

When we think of “trust” in compliance, our minds usually go to whistleblowers, employees, or third parties. But increasingly, the question of trust must extend to a new category of actors: AI agents.

As Blair Levin and Larry Downes explain in their provocative Harvard Business Review piece, titled “Can AI Agents Be Trusted?“, AI agents are not just smarter chatbots. They are software systems that can collect data, make decisions, and even act autonomously based on rules and priorities. For compliance professionals, this changes the game. If AI agents can act on our behalf, can they also be trusted to uphold compliance principles?

The answer is yes, but only if we design and monitor them with the same rigor that we apply to employees, third parties, and business partners. Today, we look at five key takeaways from their article to guide compliance professionals in building AI agents into trustworthy components of their programs.

1. Trust Requires Oversight, Just as with Human Agents

The article makes a simple but powerful analogy: think of an AI agent the way you would think of an employee or contractor. Before delegating sensitive responsibilities, you conduct background checks, put controls in place, and possibly even require bonding. The same must hold for AI.

For compliance, this means creating oversight structures before deploying agents into live workflows. If your compliance AI assistant can monitor transactions for red flags, you must ensure that a human compliance officer reviews its outputs. If it can escalate potential whistleblower complaints, you must validate that escalation logic against regulatory requirements.

AI oversight also means testing for vulnerabilities. As Levin and Downes note, AI agents are susceptible to hacking, manipulation, and even misinformation. Compliance should require penetration testing of any agent integrated into company systems, just as IT would test network defenses.

Trust is never blind in compliance. It is built on verification, monitoring, and accountability. AI agents can and should be trusted, but only when they operate within a compliance framework that mirrors the controls we already use for human agents.

2. Recognize and Manage Bias and Conflicts of Interest

One of the major risks highlighted in the article is bias, whether introduced by marketers, advertisers, or flawed training data. Just as a conflicted employee can steer decisions for personal gain, an AI agent can be subtly manipulated to favor sponsors, advertisers, or even certain viewpoints.

For compliance professionals, this should raise alarms. Imagine an AI agent used for third-party due diligence. If biased data shapes its recommendations, you could end up onboarding a high-risk vendor while rejecting a low-risk one. Worse, if regulators discover that your system relied on biased algorithms, you’ll face serious questions about program effectiveness.

The solution is conflict-of-interest monitoring for AI. Just as employees must disclose outside interests, AI agents should be tested and audited for hidden preferences. Compliance should insist on transparency from vendors about training data sources and sponsorship arrangements. In some cases, contracts with AI providers may need explicit clauses guaranteeing independence from commercial influence.

Compliance has always been about spotting and mitigating conflicts. In the age of AI, that vigilance must extend to our digital agents. Only then can we claim that our programs are fair, impartial, and defensible.

3. Treat AI Agents as Fiduciaries of Compliance

Perhaps the most compelling insight from Levin and Downes is that AI agents should be treated as fiduciaries. Just as lawyers, trustees, and board members owe a heightened duty of care to their clients, AI agents entrusted with compliance responsibilities must be designed and governed under similar standards.

For compliance officers, this concept aligns directly with DOJ expectations. The Evaluation of Corporate Compliance Programs (2024 ECCP) emphasizes accountability, transparency, and independence. By treating AI agents as fiduciaries, compliance leaders can extend these principles to technology.

What does fiduciary duty look like in practice?

  • Obedience: AI must follow company policies and regulatory standards.
  • Loyalty: AI must prioritize the company’s compliance objectives over any hidden commercial interests.
  • Confidentiality: AI must protect sensitive compliance data from leaks or misuse.
  • Accountability: AI actions must be traceable, with clear logs and audit trails.

This fiduciary framing provides compliance professionals with a powerful tool. It not only reassures stakeholders that AI can be trusted, but it also sets a benchmark that regulators can understand and evaluate. In short, fiduciary AI is defensible AI.

4. Build Market and Insurance-Based Safeguards

The article notes that beyond regulation, market mechanisms such as insurance and independent oversight will be critical to ensuring AI trustworthiness. For compliance leaders, this presents both a risk management strategy and an opportunity.

Just as identity theft insurance evolved alongside online banking, AI liability insurance will likely become a standard corporate requirement. Compliance officers should begin engaging with insurers to explore coverage for AI-related risks, such as data leaks, wrongful denials of due diligence clearance, or biased decision-making.

Equally important are third-party oversight tools. The article envisions AI “credit bureaus” that could audit agent behavior, set decision thresholds, or freeze activity when risks escalate. For compliance, such independent monitoring could provide an external layer of assurance that your AI systems are behaving as intended.

The takeaway is clear: do not rely solely on internal controls. Pair them with market-based safeguards and external verification. Doing so not only strengthens trust in AI agents but also demonstrates to regulators that your program embraces both proactive and independent oversight.

5. Design for Data Security and Local Control

Finally, Levin and Downes stress the importance of keeping decisions local; that is, ensuring sensitive data stays on company-controlled devices and servers, rather than in external clouds. For compliance professionals, this echoes a familiar principle: control the data, control the risk.

Agentic AI, by definition, processes vast amounts of sensitive information. If compliance agents are reviewing hotline reports, transaction monitoring data, or due diligence files, any data leakage could be catastrophic. That’s why strong encryption, local processing, and secure enclaves are essential.

Compliance officers should demand that AI vendors support:

  • On-device or private cloud processing for sensitive tasks.
  • Encryption of all data in transit and at rest.
  • Independent verification of security claims by external auditors.
  • Full disclosure of sponsorships, promotions, and paid influences.

By designing AI agents with local control and transparency, compliance teams can build systems that are both effective and trustworthy. Data security is not just an IT concern; it is a compliance imperative.

Trust, But Never Blindly

AI agents hold immense potential for compliance programs. They can streamline monitoring, accelerate due diligence, and support real-time risk management. But as Levin and Downes remind us, they must also be carefully governed to prevent bias, manipulation, and misuse.

For compliance leaders, the path forward is to treat AI like any other agent (or channel your inner Ronald Reagan: trust, but verify. With oversight, fiduciary framing, market safeguards, and strong data controls, AI can become a trusted partner in compliance—one that strengthens, rather than weakens, the ethical fabric of the organization.

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Daily Compliance News

Daily Compliance News: August 19, 2025, The AI Discontent 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, compliance, ethics, risk management, leadership, or general interest for the compliance professional.

Top stories include:

  • Panamanian Intermediary pleads guilty to bribery and corruption. (Enmayuscula)
  • The winter of our AI discontent. (Bloomberg)
  • Understanding corruption. (Investopedia)
  • When good enough is good enough. (FT)

You can donate to flood relief for victims of the Kerr County flooding by going to the Hill Country Flood Relief here.

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Compliance Tip of the Day

Compliance Tip of the Day – AI Assistant for Compliance

Welcome to “Compliance Tip of the Day,” the podcast where we bring 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, we aim to provide you with bite-sized, actionable tips to help you stay on top of your compliance game. 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.

Today, we continue our 5-part series on using compliance in a best practices compliance program by considering how a compliance professional can use AI as an Assistant.

For more on this topic, check out The Compliance Handbook, a Guide to Operationalizing your Compliance Program, 6th edition, which LexisNexis recently released. It is available here.

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AI Today in 5

AI Today in 5: August 19, 2025, The AI and Compliance Episode

Welcome to AI Today in 5, the newest addition to the Compliance Podcast Network. Each day, Tom Fox will bring you 5 stories about AI to 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 about AI.

  • Texas AG goes after chatbots for kids’ mental health services. (KVUE)
  • China is turning to AI in information warfare. (NYT)
  • Does using AI put you on the wrong side of compliance? (UC Today)
  • Using AI for cross-border trade. (World Business Outlook)
  • Greenlight sues Compliance AI over trademark violation. (Bloomberg)

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

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Word of the Week

Word of the Week with Kenneth O’Neal – Discussing Character: Importance, Decline, and Impact

Each week, Kenneth O’Neal discusses a word that describes a principle or value of the Qualities of Success. We suggest you use the Word of the Week in your thoughts, deeds, and actions. You may currently possess the qualities and desire to develop them to a higher level. You could replace a bad habit with a good habit. Write an action step and use it daily to produce the quality in your life. In this episode, Kenneth O’Neal and Rick Phipps discuss the word – Character.

Kenneth and Rick discuss the concept of character and its significance in personal and professional life, exploring the decline in character and moral standards over the past 25 years. They cite examples like Watergate and Enron to illustrate their points. The discussion includes the origins of the word’ character,’ the positive effects of strong character, and the challenges faced in maintaining it in modern society. They emphasize the importance of integrity, consistent values, and effective communication, drawing on historical figures like George Washington to exemplify strong character. The episode concludes with a call to action for listeners to reflect on their character and strive to do the right thing.

Key highlights:

  • Weekly Word: Character
  • The Importance of Strong Character
  • Decline in Character and Cultural Values
  • Historical Examples of Character

Resources:

KRONEAL Consulting

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Innovation in Compliance

Innovation in Compliance – Gaurav Kapoor on Risk Management and the Role of AI in GRC

Innovation comes in many areas, and compliance professionals need to be ready for it and embrace it. Join Tom Fox, the Voice of Compliance, as he visits with top innovative minds, thinkers, and creators in the award-winning Innovation in Compliance podcast. In this episode, Tom Fox interviews Gaurav Kapoor, Vice Chairman, Co-Founder and Board Member of MetricStream, discussing his extensive professional background, from co-founding MetricStream to his current focus on customer intimacy amid AI market disruptions.

Kapoor delves into the evolving landscape of risk management, emphasizing the importance of midyear reviews and integration of various risk themes like operational risk, audit compliance, and cybersecurity. He elaborates on the role of AI in GRC, stating how generative and agent AI can streamline compliance processes and enhance risk management strategies. The conversation also touches on the increasing significance of cybersecurity, geopolitical instability, and climate impact on risk assessment. Kapoor highlights the shift from compliance to a more resilient and risk-aware culture within organizations.

Key highlights:

  • The Importance of July in Risk Management
  • AI’s Role in GRC
  • Emerging Risks and AI Applications
  • Counseling Boards on Risk Management
  • Top Concerns for the Second Half of 2025
  • Evolving Role of Compliance and Risk Officers

Resources:

MetricStream Website and on LinkedIn

Gaurav Kapoor on LinkedIn

Tom Fox

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Blog

Building Your Own AI Assistant: Compliance Lessons in Customization

Ed. Note: This week, we present a week-long series on the use of GenAI in a best practices compliance program. Additionally, for each blog post, I have created a one-page checklist for each article that you can use in presentations or for easier reference. Email my EA Jaja at jaja@compliancepodcastnetwork.net for a complimentary copy.

In the ever-changing world of compliance, resource constraints remain one of our biggest hurdles. Whether you’re drafting policies, conducting risk assessments, or preparing investigation summaries, the work is often repetitive, labor-intensive, and subject to tight deadlines. Enter the AI assistant, not as a futuristic dream, but as a practical, buildable tool available to compliance professionals right now.

Alexandra Samuel’s article in Harvard Business Review titled How to Build Your Own AI Assistant, makes one point crystal clear: if you can describe a project in plain English, you can build your own AI assistant. And for compliance professionals, this represents a transformative opportunity to reduce administrative burdens while increasing consistency, accuracy, and adaptability.

But building your compliance AI assistant isn’t about chasing efficiency alone—it’s about making intentional design choices that reinforce compliance objectives, protect corporate culture, and ensure regulatory defensibility. Today, we consider five key takeaways for compliance professionals, each showing how you can harness AI assistants to enhance, not replace, your compliance program.

1. Start with the Right Use Cases

Before building, compliance leaders must ask: What problems do we want AI to solve? Samuel notes that AI assistants excel in four domains: writing and communications, troubleshooting, project management, and strategic coaching. For compliance, this translates into use cases like:

  • Drafting first-pass policy updates aligned with global regulations.
  • Summarizing enforcement actions for Board reporting.
  • Automating responses to routine employee compliance questions (e.g., “Can I accept this client gift?”).
  • Tracking investigation timelines and automatically extracting action items from meeting transcripts.

Choosing the right use case ensures your AI assistant is a force multiplier rather than a shiny distraction. Importantly, you want to start with low-risk, high-volume tasks. Drafting an anti-corruption annual training memo? AI can handle the boilerplate. Deciding whether to disclose a potential FCPA violation to the DOJ? That still belongs squarely in the human domain.

The real lesson here: compliance officers should not let “AI hype” dictate priorities. Instead, define pain points within your compliance workflow and build assistants targeted at those specific, recurring problems. Start small, iterate, and scale responsibly.

2. Design Clear Instructions—Your Assistant Is Only as Good as Its Guidance

According to Samuel, the “heart” of a custom AI assistant is the set of instructions you provide. For compliance teams, this is where risk and opportunity intersect. If your assistant doesn’t know who it is, what standards to apply, and what tone to use, it will produce outputs that undermine your credibility.

Think of instructions as your assistant’s Code of Conduct. Instead of saying “you are a compliance assistant,” you can be more precise:

  • “You are a corporate compliance officer drafting policies for a multinational company. You must ensure all content aligns with DOJ guidance on effective compliance programs, uses a professional but approachable tone, and provides practical examples for employees.”

These custom instructions allow you to “bake in” compliance frameworks from day one. For example, you can require the assistant to reference the COSO Framework for Internal Controls, ISO 37001, or the DOJ’s Evaluation of Corporate Compliance Programs whenever relevant.

The key compliance insight: good AI assistants reflect great compliance design. Just as vague compliance policies create ambiguity, vague AI instructions create unreliable outputs. Invest time in precise persona-building for your assistant, and you’ll reap consistent, defensible results.

3. Feed It Knowledge—Without Losing Control of Sensitive Data

Samuel emphasizes that AI assistants become truly powerful when equipped with background documents, such as policies, reports, contracts, or training decks. For compliance, this is both a gold mine and a minefield.

On one hand, uploading prior investigation reports, risk assessments, or compliance training modules allows your assistant to generate outputs that reflect your company’s real history and regulatory environment. Imagine an assistant that can instantly pull together a cross-border risk assessment using your own prior filings and internal guidance.

On the other hand, compliance officers must stay vigilant about data protection, privilege, and confidentiality. Sensitive HR records, whistleblower reports, and privileged investigation materials should never be indiscriminately fed into a platform without proper safeguards.

Here lies the balancing act: compliance teams must create AI assistants that are well-informed but tightly governed. This may involve anonymizing data, working through secure enterprise-grade AI platforms, or restricting inputs to public and non-sensitive internal documents.

The compliance lesson is simple but non-negotiable: context matters, but confidentiality reigns supreme. Building a compliance AI assistant means establishing protocols for what can and cannot be shared.

4. Iterate Constantly—Think Like a Compliance Monitor

Just as compliance programs require continuous improvement, so too do AI assistants. Samuel makes it clear that assistants won’t be perfect out of the box. They require ongoing feedback, refinement, and adjustment.

For compliance professionals, this is second nature. We already think in terms of monitoring, auditing, and revising. Apply the same discipline to your AI assistant:

  • Audit its outputs for accuracy, tone, and regulatory defensibility.
  • Track where it consistently underperforms (e.g., misinterpreting data privacy rules) and feed corrective instructions.
  • Periodically, “refresh” its context files to reflect updated regulations, new enforcement actions, or changes in corporate policy.

Samuel suggests asking your assistant to write their own revised instructions based on your feedback. That’s a compliance monitoring exercise in itself—your assistant becomes both subject and participant in continuous improvement.

The compliance takeaway: treat your AI assistant as a dynamic system, not a static tool. Just as DOJ expects ongoing risk assessments and remediation, regulators will expect that AI tools in compliance are actively managed, not blindly trusted.

5. Embed Ethical Guardrails and Accountability

The most important compliance lesson in building your own AI assistant is ensuring accountability. As Samuel warns, assistants can hallucinate or produce flawed outputs. In compliance, this is not simply an annoyance; more importantly, it is a potential liability.

That means your assistant must operate under ethical guardrails:

  • Always include a human-in-the-loop review before any AI-generated compliance document is finalized.
  • Require disclosures when AI was used in drafting policies, reports, or training.
  • Train employees not to treat AI outputs as gospel but as drafts for critical evaluation.
  • Align your assistant’s objectives with compliance KPIs, accuracy, transparency, and defensibility, rather than raw speed.

This mirrors the DOJ’s emphasis on corporate accountability. An AI assistant may help draft your gifts and entertainment policy, but it cannot stand before prosecutors and defend your compliance program. That responsibility remains squarely with leadership.

The compliance lesson here is unmistakable: AI is a tool, not a scapegoat. Build it to augment compliance decision-making, not to absolve it.

From Experiment to Integration

Building your own AI assistant is not a technical challenge. It is a compliance design challenge. As Alexandra Samuel reminds us, if you can describe your project, you can build your assistant. For compliance officers, that means thinking intentionally about use cases, precision in instructions, safeguards for sensitive data, iteration, and ethical guardrails.

The opportunity is immense. With thoughtfully designed AI assistants, compliance professionals can shift their focus from repetitive drafting to higher-order strategy, from administrative overload to proactive risk management. But the responsibility is equally immense. An AI assistant reflects the design choices of its creators, choices that must always prioritize compliance culture, accountability, and trust.

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Corruption, Crime and Compliance

AI Legal Compliance and Governance

AI promises efficiency, innovation, and new opportunities – but are companies moving too fast in the rush to adopt it? The risks are very real, from false content to flawed decision-making, and the global regulatory patchwork is only getting more complex. The challenge now is building governance and compliance frameworks that keep pace without stifling progress.

In this episode of Corruption, Crime, and Compliance, Michael Volkov explains why an AI compliance program is essential to corporate governance today.

You’ll hear him discuss:

  • Why companies need to start with a clear use case and weigh benefits against potential legal and compliance risks before rolling out AI
  • The evolving patchwork of regulations, including the FTC, state-level laws in the US, and the EU’s AI Act
  • How sector-specific rules in healthcare, financial services, and defense add new layers of complexity
  • The two biggest risks: AI-generated false content that can cause liability and reputational harm, and decision-making systems that create unfair or discriminatory results
  • What strong AI governance looks like, from board oversight and compliance officers to clear policies and cross-functional committees
  • The role of training, documentation, and incident reporting in ensuring responsible, transparent AI use
  • Why embedding responsible AI into company values and employee performance reviews helps build a culture of accountability

Resources

Michael Volkov on LinkedIn | Twitter

The Volkov Law Group