Categories
Presidential Leadership Lessons for the Business Executive

George Washington-Continental Congress and Constitutional Convention


Richard Lummis and Tom Fox continue their four-part series on leadership lessons from George Washington. We will look at lessons from Washington’s colonial and frontier period, focusing on the French and Indian War, leadership lessons from Washington’s generalship of the Continental Army, his leadership in both the Continental Congress and Constitutional Convention and we will end with leadership lessons from both terms of Washington’s presidency. In this third episode, we consider the leadership lessons demonstrated by Washington at the Continental Congress and Constitutional Convention.
Highlights of this podcast include:

  1. Introduction into Washington’s generalship of the Continental Army.
  2. Why silence and listening can be so powerful.
  3. Call for strong union in Constitutional Congress.
  4. How did Washington’s leadership in the Constitutional Convention influence the creation of the Chief Executive role?
Categories
This Week in FCPA

Episode 279 – the Happy Hanukkah Edition

Hanukkah comes early this year. As the Rosen household begins its annual celebration, Tom and Jay are back to look at some of the week’s top compliance and ethics stories this week in the Happy Hanukkah edition. 

Stories

1.     Preparing for dawn raid in the era of hybrid work? Andrew Reeves and Annie Birch in FCPA Blog.
2.     When you fight corruption, it fights back. Rick Messick in GAB.
3.     Why does Walmart want to keep an exec quiet about its compliance program? Dick Cassin explores in the FCPA Blog.
4.     Board effectiveness survey.  Paul DiNicola and Leah Malone in the Harvard Law School Forum on Corporate Governance.
5.     New OECD ABC suggestions. Nicola Bonucci and Nat Edmonds in the FCPA Blog.
6.     Graybeards and Youngbloods working together. Carrie Root in CCI.
7.     Trust in companies ‘shockingly’ low? Lawrence Heim in PracticalESG.
8.     Are senior level compliance positions becoming harder to find and fill? Matt Kelly explores in Radical Compliance.
9.     Role of PwC in Tesla/JPMorgan dispute. Francine McKenna explores in The Dig (sub req’d).
10.  How will tech change the work landscape in 2022? Check out this pod with Mrs. Monitor (AKA Rebecca Rosen) on Freshbrewed Tech. 

Podcasts and Events

11.  How can you show ROI from your internal investment in compliance? Nick and Gio Gallo join Tom Fox in the most unusual pod series, Mining the Gold in Compliance. Part 1 – ROI on Compliance. Purchase Decisions. Part 2 – Extending Compliance Value Across an Organization. Part 3 – Compliance and ESG Investments. Part 4 – Finance and Investing Models for Compliance. Part 5 – Investment Strategies for the Compliance Professional.
12.  Are you exasperated? Then check, F*ing Argentina. In this podcast series co-hosts Tom Fox and Gregg Greenberg, author of F*ing Argentina explore the current American psyche of being overworked, over leveraged, overtired and overwhelmed. Find out about modern America’s exasperation with well…exasperation. In Episode 11, a birthday party battle through text messages.
13.  In November on The Compliance Life, I visited with Wendy Badger, CCO at Tennant. In Part 1, she detailed her academic career and early professional life. In Part 2, changing ladders to advance your career. In Part 3, Wendy moved into the CCO Chair. In Part 4, Wendy talked about having courage in your career choices and compliance into the future. Next week, we begin the December series with Matt Silverman, Director of Trade Compliance at VIAVI.
14.  The Compliance Podcast Network welcomes Professor Karen Woody and her new podcast, Once Upon a Trading Law: The History of Insider Trading. In this most unique pod, Karen interviews some of her student to tell the history of insider trading. Check out Episode 1, which looks at the beginnings of insider trading.
15.  Join Tom, Mike Volkov, Carrie Penman, Dr. Pat Harned and Skip Lowney (an all-star panel if there ever was one) for the ECI webinar on the intersection of compliance and E&C programs. Wednesday, December 15, from 2-3:30 ET. Registration and information here.
Tom Fox is the Voice of Compliance and can be reached at tfox@tfoxlaw.com. Jay Rosen is Mr. Monitor and can be reached at jrosen@affiliatedmonitors.com.

Categories
Daily Compliance News

December 3, 2021 the Recidivists on Notice Edition

In today’s edition of Daily Compliance News:

  • DOJ reaffirms recidivists are on notice. (WSJ)
  • Didi de-listing in US. (Bloomberg)
  • Current and former SEC Chiefs trade tips on crypto. (NYT)
  • Did Purdue Pharmacy wrongly hide assets in bankruptcy? (Reuters)
Categories
Blog

Investment Strategies for the Compliance Professional

Welcome to the final entry in our special five-part blog post series on how to unlock the gold in your program. I have visited with Gio Gallo and Nick Gallo, Co-CEO’s of ComplianceLine, LLC, the series sponsor. In this concluding Part 5, we consider investment strategies for the compliance professional.
We began with the basic concept in investing that the greater the risk, properly managed, the greater the potential return. From there, we turned to how would an investor type, whether it be a Private Equity (PE), Venture Capitalist (VC) or others, think through managing risk. What sort of models would they use? How could those models assist compliance professionals to manage risk? With proper risk management, this can create a huge return on your compliance investment.
Nick explained this is the relationship between risk and return and not the just existence of whether there is a risk at all. He stated, “The amount of risk that someone is willing to take on is generally tied to the return that they expect or the return that they think is possible.” For the compliance professionals this is “trying to give some new colors to paint with new words”. It allows you to speak finance language a little bit more. Finally, for someone with a legal training (like myself) he added, “even if you don’t actually understand all these concepts, at least appear to understand them, high enough level to be talking across the table.” It really boils down to a question of risk and return.
We considered the two big categories of investments in the alternative space (i.e., non-public and non-banking). The first is private equity investing and second is venture capital investing. A typical private equity investor is going to try to make a bunch of bets. They are going to try to have a positive return on virtually all of those bets, the standard deviation, the volatility or the range of outcomes are going to be particular and are going to be relatively more dialed in around what the upside is. This allows them to protect their downside by buying good businesses that are probably proven to some level. While there obviously is downside, hopefully there will be protection. Another way to look at is they are going to be running a bunch of different plays on those investments or on that portfolio so there is relatively a high confidence interval on a dialed in investment outcome with the possibility for some big pops.
On the other side of the fence, is venture capital investing, which tends to have a much wider standard deviation of return. Here investors take on companies at an earlier stage. Gio said, “Maybe they are not proven yet. Maybe they are not cashflow positive. Maybe they have not even found their legs or their market.” Here maybe one out of 10 investments pan out, although of course, if you hit big it can be a home run or even a grand slam.
Both of these examples are important because they demonstrate the lens through which a finance professional will look at a potential compliance program investment. There is actually a wide range of how a finance person is going to think about risk. It is not simply “is there a risk or not? Because the answer is there’s always risk.” Even if you can find the safest investment there is always some risk present.
The final concept to overlay on top of this is beta, which Nick explained “is essentially the extent to which a particular investment moves with the broader market. You can use this as a concept to talk about an investment in your ethics and compliance space, or we can boil it down to talk about the stability of an investment relative to the market. And some things will have a positive beta or a negative beta or a high beta or a low beta or whatever, but the market goes up 5% and your investment goes up 5% with it. The market goes down 5% and it goes down 5% with it has a beta of one. If the market goes up 5% and your investment goes up 10% and it goes down 5% and then the investment goes down 10%, it is more volatile and it’s swinging more violently with market moves and has a beta of, in this case, two.”
This allows a compliance profession to think about broad compliance investments in a similar framework. Your compliance investment may have “a beta of zero. This could generate positive returns for your bottom line, irrespective of what our business does. Whether our business is going up or it’s going down, these investments that we, as an ethics compliance department, want to make are going to reinforce our culture and you are going to drop dollars to our bottom line, irrespective of what’s happening with the top line.”
You can take that same concept further by positing a negative beta or a zero-beta investment. It is important to remember that when you speak to a finance professional you are “not just a risk person, you are speaking to a risk and return person.” This means they will understand that a compliance investment will perform particularly well in a down market. Nick concluded, “if you are making ethics and compliance investments or taking steps within your program or getting budget released to actualize your program, that actually releases the magic in the workforce by driving higher employee engagement and lowering turnover.” These are two areas that directly impact the bottom line regardless of what might be happening at the top line of the organization, “regardless of what headwinds the organization might be approaching or hitting.”
These concepts were all obviously new to me, but the Brothers Gallo are really on to something here. By using these approaches to talk to finance professional in their terms and approaching your budget from the finance perspective, you have a real opportunity to garner budget dollars to invest in your compliance program. By using the strategies of compounding and extending out the value of compliance throughout the organization, you can then demonstrate the return on that investment.
Check out the full podcast series this blog post series is based upon.
Episode 1
Episode 2
Episode 3
Episode 4
Episode 5

Categories
Compliance Kitchen

New Nicaragua Sanctions


US adds sanctions on Nicaragua following recent sham elections.

Categories
Innovation in Compliance

Gold in the Compliance Hills: Part 4, Finance and Investing Models for Compliance


Welcome to a special five-part podcast series on how to unlock the gold in your program, hosted by Tom Fox with guests Gio and Nick Gallo from ComplianceLine. One of the ongoing issues in compliance is to demonstrate the Return on Investment (ROI) in your compliance program. One way to do so is by demonstrating the extended value of compliance literally across your entire company. When overlaid with an ESG component, you can begin to see the gold in your compliance hills. In addition to showing how you can unlock the gold in your own compliance hills, Gio and Nick walk you through how demonstrate ROI for your internal budgeting process which can provide to you the financial resource to strengthen and improve your compliance program.
Join us for the full 5 episodes and learn to see your compliance program in an entirely new light. In this Part 4, we consider finance and investment models for the corporate compliance function.
Some of the highlights of this episode include:

  • How does the Black Swan model of risk relate to the corporate compliance function?
  • When is a possible event simply a risk and when is it a Black Swan event?
  • Why is business continuity so critical?
  • What are Private Equity and Venture Capital models of funding and how to they relate to the corporate compliance function?
  • How to think about the payout of an investment in compliance.

Resources
Gio Gallo on LinkedIn
Nick Gallo on LinkedIn
ComplianceLine

Categories
Content Coalition

The Content Coalition Episode 011: Why You Need to Treat Your Podcast Like Its Own Business For Optimal Growth

 

In this episode of The Content Coalition, we interview Mark Asquith, CEO and Co-founder of Rebel Base Media.
Rebel Base Media is a podcast tech and strategy company that owns Captivate.fm, Productivity, Podcast Websites, Podcast Success Academy & Rebel Base Studios. The company creates technology and solutions that helps podcasters to find, amplify and build influence around their unique voice.
Tune in as Mark talks more about his current venture Podcast Websites, the benefits of having a website for would-be podcast hosts, why podcasting is like a journey toward personal development, and more.

Get more great The Content Coalition episodes over on Repurpose House, or watch the interview on YouTube!

What You’ll Learn

  • [01:32] Learn how Podcast Websites started and Mark’s backstory
  • [02:36] How the agency grew into a successful software and digital service business
  • [04:48] A little tease of their upcoming projects that are very beneficial to would-be podcast hosts
  • [06:24] Why having a website is important for a podcast
  • [09:00] Learn how a website a must for monetization, lead capturing, and even risk management
  • [13:09] Discover the other features of Podcast Websites both front and back-end
  • [16:18] Mark’s top recommended podcasts to listen to
  • [18:08] 1 actionable thing to implement in the next 24 hours

Connect with Mark

Categories
Hidden Traffic Podcast

How Import and Export Compliance Is Fighting Forced Labor with Mollie Sitkowski


 
Mollie Sitkowski is Trade Compliance Counsel at Faegre Drinker, where she handles import and export control and compliance work on behalf of the firm’s clients. She has assisted numerous clients in developing and implementing import and export compliance programs, and offers continued training to the business areas that touch on import and export compliance. She discusses how import and export compliance intersects with human trafficking.
 

 
Customs has the authority to issue a WRO (withhold-release-order) if they have information that reasonably indicates that goods were made, either in part or in full, with forced labor. The goods are detained until you can prove otherwise. The vast majority of forced labor detentions are done under WROs, Mollie says. You have to provide two things required by the regulations within 90 days or you can choose to export. However, customs has escalated so much that it is difficult to acquire all the necessary data within 90 days, unless you already have a good compliance program and good auditing in place.
 
“To require you to have mapped out your entire trade flow and be able to provide that kind of detail all the way through the chain; I think that’s something that hopefully will really be an impediment to trafficking over the long run,” Gwen shares.
 
Resources
Mollie Sitkowski on LinkedIn | Twitter
 

Categories
Life with GDPR

Potpourri Edition


Jonathan Armstrong returns from assignment to take on a potpourri of issues with co-host Tom Fox. We use the recent speech by Deputy Attorney General Lisa Monaco as a jumping off point to discuss how this change in DOJ enforcement policy and focus will be impacted by GDPR, the new EU Whistleblower Directive and how increased international cooperation around international anti-corruption compliance may play out. Some of the issues we consider include:

  1. Data protection issues under the new DOJ FCPA enforcement policy?
  2. Monitorships outside the US.
  3. Data privacy and investigations.
  4. Class actions in the UK going forward.
  5. Increased cooperation between the DOJ/SEC and the UK Serious Fraud Office.

Resources
Check out the Cordery Compliance, client alert on this topic, click here. For more information on Cordery Compliance, go their website here. Also check out the GDPR Navigator, one of the top resources for GDPR Compliance by clicking here.

Categories
Daily Compliance News

December 2, 2021 the Verifiable Proof Edition


In today’s edition of Daily Compliance News:

  • EU wants ‘verifiable proof’ Peng is safe. (com)
  • Corruption preventing Texas from fixing its broken power grid. (MSNBC)
  • Elizabeth Holmes admits ‘mistakes were made’ even by her. (NYT)
  • Myanmar lays out new corruption charges. (CNN)