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Compliance Into the Weeds

High Calories Compliance Lessons from Kraft Foods


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 the recent SEC enforcement action involving Kraft Foods. While the subject matter of the enforcement action was fraudulent expense recognition, it turns out the real culprit was a corrupt culture. Some of the issues we consider are:
·      What were the underlying facts?
·      What does tone at the top really mean?
·      How does management cost cutting mantra lead to corruption?
·      Why is incentive based comp so deterius?
·      What did SEC Commissioner Crenshaw say about this enforcement action?

Resources

Matt in Radical Compliance

Food For Thought From Kraft Foods

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Daily Compliance News

September 8, 2021 the ABC Fight in Central America edition


In today’s edition of Daily Compliance News:

  • Raytheon under FCPA scrutiny. (WSJ)
  • Why the Kraft Foods SEC settlement is like Wells Fargo. (Radical Compliance)
  • Obstacles in anti-corruption fight in Central America. (Univision)
  • Lack of diversity in PE directors. (NYT)
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Blog

Looking Back on 9/11: Professor Alexander Dill – Patriot Act: The AML Response to Terrorist Threats


This coming Saturday is the 20th anniversary of the attacks upon America on September 11, 2001. Like most Americans, this was the seminal event in the history of our country. I have been thinking a lot about that date and the anniversary; even more so with the fall of Afghanistan and the evacuation from Kabul. I wanted to do something to commemorate this anniversary, so I decided to do a podcast series featuring the personal stories of persons in the compliance field with their thoughts about what the date of 9/11 means to them, how it changed our profession and their thoughts looking back some 20 years later. The lineup for this week is:

  • 6 – Gabe Hidalgo
  • 7 – Juan Zarate
  • 8 – Alex Dill
  • 9 – Eric Feldman
  • 10 – Scott Moritz
  • 11 – John Lee Dumas

My guest today is Professor Alexander Dill. Professor Dill is a scholar specializing in financial regulation, risk management and compliance. He also has corporate experience in ​​the ethics of business practices in finance, bankruptcy, bond covenants, and debt markets. He joined me to talk about The Patriot Act’s impact on responding to terrorist threats. On 9/11, he worked in lower Manhattan.
He recalled Tuesday, September 11, 2001, was a beautiful Tuesday morning. When he got out at his subway stop for work there was a big crowd of people and they were talking about a single engine Cessna, which had accidentally hit the North Tower. That turned out not to be true. He never did make it in his building. He solemnly said, “I think I was lucky because there were people in the corner office watching people as they jumped out of the top floors. I looked down in the ground at a street corner and I saw an engine from one of the American airlines planes which I later saw in the 9/11 Museum.” He saw the South Tower collapse and he related, “I was frozen in my tracks, I just couldn’t move. Then an EMS worker was running up the street and yelled at me, get moving. There was a big cloud of dust chasing her. So, I did finally did start running.”
Dill said that prior to 9/11, anti-money laundering (AML) regulations were very lax and backward looking. The focus was on prosecuting crimes that were already committed, and prosecuting money laundering, more so than the financing of terrorism. Banks were not engaging in meaningful customer due diligence as they felt the process invasive. After 9/11, this all changed. Law enforcement agencies and financial institutions revamped their policies and procedures to take a more preventive approach to AML and financing of terrorism.
Financial institutions also changed their attitudes. Banks had previously considered customer due diligence to be overly invasive in the business model. Whether it was in deposit taking, wire transfers or payouts, they resisted meaningful customer due diligence. All that resistance crumbled in the wake of 9/11. These became the core attributes of the Patriot Act, as federal authorities had long wanted to introduce meaningful customer due diligence and they were finally able to do so in the form of the Patriot Act, which had strong, bi-partisan support. It was this desire for a more preventative, proactive approach led to the Patriot Act.
We also considered the similar regulatory response with non-financial institutions with respect to the Patriot Act AML procedures post-9/11. Dill said, “There was a huge amount of rulemaking that had to be done.” He added that public companies adopted customer due diligence, and that it was applied more broadly applied to different sectors, but with a risk-based approach. Companies now had to file suspicious activity reports, not just banks. Customer identification was also introduced. “The Patriot Act sought to encourage cooperation among law enforcement agencies, and among the financial institutions themselves to share information and obtain information from foreign law enforcement authorities.”
Yet even with the Patriot Act there are still challenges. A key challenge is detecting the financing that goes into these attacks. Funds that finance these actions are sourced from both legal and illegal means, and that is a major issue. This brought other sectors within the ambit of the Patriot Act. Dill said, “they brought in broker dealers, what I call the capital markets from broker dealers, mutual funds and the futures industry, pool operators, commodity brokers, and so on. A customer identification program was introduced. Another problem is trying to prevent future terrorist acts, which complicates design of a system for detection and prevention. Of course, firms also rely on the government’s list of known and suspected terrorists. Finally, is the basis of a risk-based approach, which is usually the transaction amount. Many terrorist-based transactions are relatively small, and this might pose a risk to some compliance officers.”
I concluded by asking Dill to reflect back on what the last 20 years had brought to the world of AML and compliance. His view is that the advent of technology has been the key in AML and the terrorism financing fight, in AML and terrorism financing regulation and in AML and terrorism financing compliance. But technology advances are much broader than simply in combating terrorist financial. Dill pointed to social media which he said has a “creative and productive side, but also kind of a dark side or a negative side.” Cryptocurrency has expanded investment opportunities if you want to get into that value title asset class, “but it is also increasingly used by criminals for money laundering and financing of terrorism.” Finally, there is “AI and machine learning, where this tech can offer very efficient compliance solutions, but the models are often black boxes. They can’t be properly validated, and this increases model risk.” Dill ended with the Anti-Money Laundering Act of 2020, which he said, “really does a good job of enhancing, attempting to enhance innovative technologies to help achieve the law enforcement objective.”
Please check out each of the podcasts this week. They will post at 6 AM CT on the Compliance Podcast Network and JDSupra and midnight on Innovation in Compliance, YouTube, iTunes and Spotify. Tomorrow Eric Feldman will join me to discuss the change in an Inspector General’s (IG’s) role in the wake of 9/11.

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EMBARGOED!

EMBARGOED! Episode 35: GIR’s Enforcement Action Survey and What’s Next in Afghanistan

Back from summer vacation, Brian and Tim welcome guest Michael Griffiths of Global Investigations Review (GIR) to discuss his recent survey of U.S. trade practitioners, who were asked to identify the most influential OFAC and BIS enforcement actions of the past few years. Then, Brian and Tim focus on the top story of the past month, Afghanistan, to forecast what U.S. sanctions policy may look like in the face of Taliban rule and what measures the U.S. may take to avoid a full blown humanitarian crisis.

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Questions? Contact us at podcasts@milchev.com.
EMBARGOED! is not intended and cannot be relied on as legal advice; the content only reflects the thoughts and opinions of its hosts.
***Stay sanctions free.***

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Compliance Kitchen

OFAC Settlement on Syria & Iran Sanctions


The Kitchen takes a closer look at a recent OFAC settlement with First Bank and JC Flowers & Co. in regards to Iran & Syria Sanctions.

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The Ethics Experts

Episode 078 – Dan and David Staker

In this episode of The Ethics Experts, Nick welcomes David Staker, CEO and president at Plastic Packaging Technologies, LLC, and Daniel Staker, executive vice president and shareholder at Plastic Packaging Technologies, to the show.

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Looking Back on 9/11

Looking Back at 9/11: Juan Zarate – The Treasury Department Responds


Juan Zarate is the Global co-Managing Partner and Chief Strategy Officer at K2 integrity. On 9/11 he was a prosecutor at the Treasury Department working on international enforcement issues, anti money laundering, anti-corruption and anti-terrorist financing. He joins Tom Fox to commemorate the 20th anniversary of 9/11. They discuss how his role changed, the Treasury Department response and what the tragic event means for him.
Listen to the Episode Now:

A Change of Mission
9/11 changed the mission of the Treasury Department. Juan tells Tom, “We went after terrorist financing to try to disrupt and dismantle Al-Qaeda’s terrorist networks and infrastructure, and disrupt how illicit financing was flowing through the international system.” He recalls where he was on the fateful day and how seeing the smoke from the Towers and the Pentagon affected him emotionally. Something very different was happening, he recalls; the country was under attack.
He outlines the strategic, departmental and tactical changes implemented after 9/11 to fight terrorism. The President declared that we were now at war. “The attitude and the strategic direction of the government was [that] we now have to prevent terrorist attacks,” Juan recalls. “We have to disrupt and dismantle terrorist networks. And that led to an entire preventative paradigm for the counter-terrorism approach to the government.” The new mission of the Treasury Department was the following areas, Juan remarks: “How do you use financial information more aggressively? How do we think about the use of tools and authorities that the Treasury has, like sanctions, anti money laundering rules? How do we think about the relationships internationally with central banks, finance ministries? How do we get the world on board to disrupt terrorist financing, to rip these organizations out of the legitimate financial commercial world?” The Patriot Act was one tactical change, among others, that was implemented to achieve the new mission of fighting terrorism.
What 9/11 Means
Tom asks Juan, “What are your reflections now as we come up on the 20th anniversary of the day of 9/11, and really what it meant for America and for you 20 years later?” Juan responds that he has mixed emotions. He thinks about the victims and their families first of all. That day changed history, he says. “It changed the way that the U S government viewed the world. It changed the way that we operated our strategy. And it changed the sense of our vulnerability.” The recent events in Afghanistan make the 20th anniversary even more difficult for Juan. “I have very mixed emotions coming on the 20th anniversary of 9/11,” he concludes, “but I’m very proud of the work that we did. I’m proud of the people I served with and my sympathies go out to the victims and their families.”
Resources
Juan Zarate at K2 Integrity 

Categories
Daily Compliance News

September 7, 2021 the Regime Change edition


In today’s edition of Daily Compliance News:

  • New head of IASB. (WSJ)
  • Regime change in Guinea. Why should you pay attention. (NPR)
  • Are movies back? (Bloomberg)
  • You might not return to the office in 2021. (NYT)
Categories
Blog

Looking Back on 9/11: Juan Zarate-the Treasury Department Responds

This coming Saturday is the 20th anniversary of the attacks upon America on September 11, 2001. Like most Americans, this was the seminal event in the history of our country. I have been thinking a lot about that date and the anniversary; even more so with the fall of Afghanistan and the evacuation from Kabul. I wanted to do something to commemorate this anniversary, so I decided to do a podcast series featuring the personal stories of persons in the compliance field with their thoughts about what the date of 9/11 means to them, how it changed our profession and their thoughts looking back some 20 years later. The lineup for this week is:

  • 6 – Gabe Hidalgo
  • 7 – Juan Zarate
  • 8 – Alex Dill
  • 9 – Eric Feldman
  • 10 – Scott Moritz
  • 11 – John Lee Dumas

Juan Zarate is the Global Co-Managing Partner and Chief Strategy Officer at K2 integrity. On 9/11 he was at the Treasury Department working on international enforcement issues, anti-money laundering (AML), anti-corruption and anti-terrorist financing. Zarate discussed how his role changed, the Treasury Department response and what the tragic event means for him.
On 9/11, Zarate was in his office, which faced south giving him a view right to the Pentagon. Zarate had a TV in his office, obviously watching with horror as to what was happening in New York. He had been a terrorism prosecutor for a number of years at the Department of Justice (DOJ) so was aware of Al Qaeda. “When I looked south across the windows from the office you could see smoke billowing from the Pentagon. From the fourth floor of the Treasury Department, looking out across the river, you could see smoke rising from the Pentagon.” This affected him emotionally; something very different was happening, he recalled; the country was under attack.
Zarate said there were three categories of changes in fighting terrorism after 9/11. They were at the strategic level, departmental level and then the tactical level. He said, “What happened at that point was the government decided that the president decided very clearly we’re now at war. We can’t sit back. We can’t follow these cases after the fact, right? We are not here to just prosecute people. We now have to prevent these attacks from happening” through more proactive measures. “The attitude and the strategic direction of the government was [that] we now have to prevent terrorist attacks,” he recalled. “We have to disrupt and dismantle terrorist networks. And that led to an entire preventative paradigm for the counter-terrorism approach to the government.”
At the departmental level, the new mission of the Treasury Department was, “How do you use financial information more aggressively? How do we think about the use of tools and authorities that the Treasury has, like sanctions, anti-money laundering rules? How do we think about the relationships internationally with central banks, finance ministries? How do we get the world on board to disrupt terrorist financing, to rip these organizations out of the legitimate financial commercial world?”
At the tactical level, there was the passage of the Patriot Act, which broadened and deepened the AML system, and then enabling the international community. There was the creation of the Financial Action Task Force (FATF), which “created new standards for combating terrorist financing, things like dealing with cash couriers and other elements of the financial system, where we needed to make sure that the international community and in particular, the banks and the banking centers were doing everything possible to prevent terrorists from getting into the system.” This was a “wholesale shift that happened over time, but it was pretty quickly as there was a clear mandate from the President to prevent another attack and to do everything, to disrupt and dismantle terrorist networks.”
There were other areas in this tactical level. Zarate discussed the Executive Orders that came out, the list of terrorists, terrorist organizations, organizations supporting terrorism that came from the US. There were regulations specifying Bank Secrecy Act (BSA) regulations which came from OFAC and later FinCEN. Zarate said the ATF had a role as well as Federal Air Marshalls. He concluded, “there was an entire range of things, we were doing tactically and legally to try to amplify what we were doing from a US government and a Treasury perspective.”
I asked Juan, “What are your reflections now as we come up on the 20th anniversary of the day of 9/11, and really what it meant for America and for you 20 years later?” He responded that he has mixed emotions. He thinks about the victims and their families first of all. That day changed history. “It changed the way that the US government viewed the world. It changed the way that we operated our strategy. And it changed the sense of our vulnerability.” The recent events in Afghanistan make the 20th anniversary even more difficult for Juan. “I have very mixed emotions coming on the 20th anniversary of 9/11,” he concluded, “but I’m very proud of the work that we did. I’m proud of the people I served with, and my sympathies go out to the victims and their families.”
Join us tomorrow when Professor Alexander Dill reflects on being in Manhattan, in the financial district, on 9/11 and the changes brought by the Patriot Act.
Please check out each of the podcasts this week. They will post at 6 AM CT on the Compliance Podcast Network and JDSupra and midnight on Innovation in Compliance, YouTube, iTunes and Spotify.

Categories
Compliance Kitchen

DOJ Enforcement Action Re: World Mining and Oil Supply


In this episode, the Kitchen takes a look at a DOJ action against World Mining and Oil Supply company over allegations of violation of Export Control Reform Act and a related conspiracy.