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Ten Top Lessons from Recent FCPA Settlements – Lesson No. 5, Data Analytics

Over the past 15 months, the Department of Justice (DOJ) and Securities and Exchange Commission (SEC) have made clear, through three Foreign Corrupt Practices Act (FCPA) enforcement actions and speeches, their priorities in investigations, remediations, and best practices compliance programs. Every compliance professional should study these enforcement actions closely for the lessons learned and direct communications from the DOJ. They should guide not simply your actions should you find yourself in an investigation but also how you should think about priorities.

The three FCPA enforcement actions are ABB from December 2022, Albemarle from November 2023, and SAP from January 2024. Taken together, they point a clear path for the company that finds itself in an investigation, using extensive remediation to avoid monitoring, and provide insight for the compliance professional into what the DOJ expects in a best practices compliance program on an ongoing basis.

Over a series of blog posts, I will lay out what I believe are the Top Ten lessons from these enforcement actions for compliance professionals who find themselves in an enforcement action. Today, we continue with Number 5, Data Analytics. Data analytics was previously seen as cutting-edge in compliance. Now, they are recognized as part of a best practices compliance program. By this time next year, they will be table stakes for every compliance program. However, the DOJ specifically called out the use of data analytics in these three enforcement actions and the incorporation of data analytics into their compliance regimes in the future.

Albemarle

Albemarle’s NPA specifically called out the Company’s use of data analytics in two ways. The first was to monitor the Company’s compliance program, and the second was to measure the compliance program’s effectiveness. While this language follows a long line of DOJ pronouncements, starting with the 2020 Update to the Evaluation of Corporate Compliance Programs, about the corporate compliance functions’ access to all company data, this is the first time it has been called out in a settlement agreement in this manner. Moreover, although not explicitly tied to the lack of a required corporate monitor, it would appear that by using data analytics, Albemarle was able to satisfy the DOJ requirement for implementing controls and then effectively testing them throughout the pendency of the DOJ investigation.

Andrew McBride, Chief Risk & Compliance Officer at Albemarle. He noted that if you think about each element of a compliance program—policies and procedures, training, due diligence, and pre-approvals—and your investigation process, a recurring theme throughout is the role of data to test that those program elements are working as you intend. McBride believes there are four critical purposes for using data and data analytics to support the ethics and compliance program, which he listed as follows:

  1. Risk Identification Issues. It can be used as a part of transaction testing and auditing to identify problematic behavior, support investigations, and highlight areas of residual risk.
  2. Risk Response. Data analytics can be used as a form of internal control. Albemarle uses data analytics as a form of gatekeeper.
  3. Compliance Program Testing. Data analytics can be used to determine the effectiveness of your ethics and compliance program.
  4. Finally, and perhaps most significantly for the DOJ’s purposes in FCPA enforcement actions, are the reporting requirements to demonstrate that the company meets its requirements as laid out in the resolution documents, whether a DPA, NPA, or other.

SAP

The SAP resolution made several references to data analytics and data-driven compliance. SAP did so around its third-party program and expanded its data analytics capabilities to cover over 150 countries, including all high-risk countries globally. The SEC Order also noted that SAP had implemented data analytics to identify and review high-risk transactions and third-party controls. The SAP DPA follows the Albemarle FCPA settlement by stating that SAP now uses data analytics to measure the compliance program’s effectiveness. This language follows a long line of DOJ pronouncements, starting with the 2020 Update to the Evaluation of Corporate Compliance Programs, about the corporate compliance function’s access to all company data; this is the second time it has been called out in a settlement agreement in this manner. Additionally, it appears that by using data analytics, SAP was able to satisfy the DOJ requirement for implementing controls and then effectively testing them throughout the pendency of the DOJ investigation, thereby avoiding monitoring.

ABB

While not explicitly called out in its DPA, ABB has instituted a significant and company-wide data analytics program as a part of its overall remediation effort. Tapan Debnath, Head of Integrity, Regulatory Affairs, & Data Privacy—Process Automation at ABB, spoke about some of the challenges ABB faced and overcame to institute its data analytics program. He said, “The way data is hosted for us and probably for a lot of organizations is in lots of different places, and there needs to be a lot of data cleanup before we can utilize and use data.” He related that another challenge “for us has also been getting hold of data in different jurisdictions. There may be data privacy laws around data transfer, and there may be blocking statutes around this same thing. So navigating the local law requirements around data transfer, getting a hold of the data, and all of those things have been key challenges, as well as resourcing internally how to do this and getting the external stakeholders to support. I think These key fundamental steps need to be ironed out and looked at early on in the process.”

In November, Nicole Argentieri, Acting Assistant Attorney General for the Criminal Division, speaking at the ACI National FCPA, reported that the DOJ is stepping up its use of data analytics to identify instances of corporate misconduct and will boost its cooperation with overseas law enforcement to bring more anti-corruption cases as well. The DOJ and SEC increasingly focus on data analytics for corporate compliance, signaling higher expectations for larger companies.

Data-driven analytics have become a significant part of any best practices compliance program. The DOJ sees it as a critical remedial step for any company in an FCPA enforcement action. The actions taken by ABB, Albemarle, and SAP demonstrate that the DOJ also wants to impress this upon the greater compliance community.

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Data Driven Compliance

Data Driven Compliance: Jag Lamba on Revolutionizing Procurement and Compliance Processes

Are you struggling to keep up with the ever-changing compliance programs in your business? Look no further than the award-winning Data Driven Compliance podcast, hosted by Tom Fox, This podcast features an in-depth conversation around the uses of data and data analytics in compliance programs. Data Driven Compliance is back with another exciting episode. Today, I visited Jag Lamba, founder and CEO of Certa, on Certa tools, which facilitate data-driven compliance.

Jag emphasizes the importance of solving real-existing problems with AI. Certa’s AI tools are designed to address tangible challenges faced by clients rather than being mere marketing buzzwords. Lamba highlights the increasing dynamism in procurement and the prevalence of supply chain disruptions, especially in the wake of the pandemic and geopolitical issues. The agility provided by Certa’s AI tools becomes crucial in such scenarios, enabling organizations to navigate these challenges effectively.

The impact of Certa’s AI tools goes beyond streamlining processes. Lamba emphasizes that digitization and automation not only enhance efficiency but also enable organizations to be more agile and responsive to changing requirements. By digitizing processes related to compliance, procurement, or environmental, social, and governance (ESG) initiatives, organizations can identify opportunities for improvement and drive better business processes and controls. This not only benefits the organization as a whole but also enhances the standing of the individuals responsible for managing these processes within the firm.

Resources:

Jag Lamba on LinkedIn

Certa

 Tom Fox 

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Data Driven Compliance

Data Driven Compliance: Sheetal Parikh on Banking Integration: Connecting Banks and Fintech Companies

Are you struggling to keep up with the ever-changing compliance programs in your business? Look no further than the award-winning Data Driven Compliance podcast hosted by Tom Fox. It features an in-depth conversation about the uses of data and data analytics in compliance programs. Data Driven Compliance is back with another exciting episode. The intersection of law, compliance, and data is becoming increasingly important in the world of cross-border transactions and mergers and acquisitions. Today, we look at the intersection of data analytics, banking, and compliance with Sheetal Parikh.

Sheetal Parikh is a seasoned attorney with over 18 years of experience in the financial services industry, currently serving as the Associate General Counsel and VP of Compliance at Treasury Prime. Drawing from her extensive background in securities and commodities litigation and regulatory work, Parikh advocates for a collaborative approach to integrating Fintech and banks, with a strong emphasis on compliance. She believes that Treasury Prime’s role is not to offload compliance functions but to provide banks and Fintech with a toolkit and set of tools, both through technology and expertise, to establish a compliance program that suits their specific risk profile and use case. Parikh also foresees a future where fintech companies offering banking products and services will face more direct oversight and regulation, as they are currently regulated indirectly through banks. Join Tom Fox and Sheetal Parikh on this episode of the Data Driven Compliance podcast to delve deeper into this topic.

Highlights Include:

  • Banking Integration and Compliance Solutions
  • Responsible Innovation in the Banking Industry
  •  Consequences of Regulatory Non-Compliance
  • Regulating Fintech Companies as Banks

 Resources:

Sheetal Parikh on LinkedIn

Treasury Prime

 Tom Fox 

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