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Innovation in Compliance

Compliance Insights from Traliant: Episode 2-John Arendes on What the DOJ Wants

Welcome to a special five-part podcast series on compliance insights, sponsored by Traliant. Over this series, we will discuss key issues that Traliant is helping to lead and define the online training industry in going forward. Over this five part series I will visit with  John Arendes, Chief Executive Officer (CEO) at the company on what is new at New Traliant and what the Department of Justice (DOJ) has communicated to the compliance community regarding its expectations around online training and communications; Maggie Smith, Vice President of Human Resources at Traliant on the role of DEI in your corporate ESG program; and Scott Schneider, Head of Content Development at Traliant on your Code of Conduct and anti-corruption training. In this Episode 2, I visit with John Arendes on DOJ communications around its expectations for training.  Highlights include:

  • In DAG Lisa Monaco’s October 2021 speech, she said the DOJ would focus on corporate culture as a key indicia of compliance.
  • The DOJ has made clear that while longer form online training is satisfactory, they expect companies to develop short, direct compliance training for employees.
  • Since the release of the Evaluation of Effective Compliance Programs, the DOJ has mandated, effective and targeted compliance training.

Resources
Traliant Website
John Arendes on LinkedIn

Categories
Blog

DOJ Training Expectations

Welcome to a special five-part blog post series on the New Traliant, sponsored by Traliant, LLC. Over this series, we will discuss key issues that Traliant is helping to lead and define the online training industry in going forward. I will visit with John Arendes, Chief Executive Officer (CEO), on what is new at Traliant and what the Department of Justice (DOJ) has communicated to the compliance community regarding its expectations around online training and communications; Maggie Smith, Vice President of Human Resources, on the role of diversity, equity and inclusion (DEI) in your corporate environmental, social and governance (ESG) program; and Scott Schneider, Head of Content Development, on your Code of Conduct and anti-corruption training. In Episode 2, I visit with John Arendes on DOJ communications around its expectations for training.
There have been multiple communications from the regulators over the past couple of years about what they expect in training, first at the federal level from the DOJ and the Securities and Exchange Commission (SEC) and second at the stage level as many state regulators have also communicated what their expectations are around training. Last October, the Deputy Attorney General (DAG) Lisa Monaco gave a speech where she announced changes under the Biden administration’s DOJ enforcement of the Foreign Corrupt Practices Act (FCPA) and other white-collar crimes. For the first time the DOJ talked about corporate culture, and Monaco said that companies and compliance officers need to assess culture. Moreover, the DOJ would look at a company’s culture in an enforcement action.
All of this means that companies must strengthen their training and communications. Arendes said, “when you look at the very top of an issue it is always stemming from a culture at the top of an organization.” He believes culture should be inclusive, diverse and respectful. This means moving beyond the standard or even traditional ‘check-the-box’ training. This DOJ assessment of corporate culture will require companies go “beyond just checking the box.” Companies need training which offers practical advice, case studies, and address real life scenarios.
This is key to Traliant training, “it’s based on real life. When we talk with our customers, they also say to us and communicate, here’s our culture and here’s what we’re trying to get to. How do you help us with that?” The Traliant approach is to create an entire program of courses that interlocks to each other, to create a learning and engagement experience that we hope will help a company in either changing their culture or reinforcing it, in a documented effective manner.
Another key that Arendes mentioned for anyone evaluating online training is the granularity of the training. For instance, basic discrimination and harassment training for the healthcare community is different for the restaurant environment. You should begin with your vertical, or specific training. In healthcare that would be training based on the healthcare environment. This means your training is targeted right to the audience. From there you should look for the creation of scenarios with different job positions, doing those different scenarios. Arendes provided the example of a nurse, working with a doctor is different from a receptionist working with the doctor.
We concluded with a discussion of the DOJ mandate for shorter, more focused compliance communications as a supplement to deeper dive training. Here the Traliant approach is called ‘Spark’. In this approach, the training is designed to ‘spark’ a conversation. Organizations will periodically use such communications to challenge the entire organization which can facilitate ongoing conversations about specific aspects of culture. From DEI to safety to ESG, to doing business ethically and in compliance. This also fits directly into the DOJ prescription of short, focused communications which can be effective. These can also be well documented so that if a regulator comes knocking you can quickly and efficiently demonstrate targeted, effective communications.
While Arendes cautioned that such short, focused training should not be seen as a deep drive or comprehensive training, it can supplement deeper and richer training. Shorter training can work well to reinforce deeper training. You can roll out these shorter trainings at multiple times throughout the year to “give reinforcement to spark these conversations.” He concluded, here at Traliant, “We have a whole standard library of those that come right out on the box with our library subscription and people are using them continuously, to do this reinforcement throughout the year. Based on their effectiveness and this new DOJ approach, I see those becoming more and more important to compliance programs.”
Join us for our next episode where we look at DEI training.
Check out the podcast with John Arendes this blog post is based upon here.

Categories
Innovation in Compliance

Compliance Insights from Traliant: Episode 1-John Arendes on Transforming Training from Boring to Brilliant

Welcome to a special five-part podcast series on the New Traliant, sponsored by Traliant. Over this series, we will discuss what is new at the company and key issues that Traliant is helping to lead and define the online training industry in going forward. Over this five part series I will visit with  John Arendes, Chief Executive Officer (CEO) at the company on what is new at Traliant. Some of the topics we consider are:

  • What’s new about Traliant?
  • Why is the New Traliant so significant now?
  • How hasTraliant built upon prior strengths to great truly superior online training?

Resources
Traliant Website
John Arendes on LinkedIn

Categories
Blog

Transforming Training From Boring to Brilliant

Welcome to a special five-part blog post series on the New Traliant, sponsored by Traliant, LLC. Over this series, we will discuss what is new at the company and key issues that Traliant is helping to lead and define the online training industry in going forward. I will visit with John Arendes, Chief Executive Officer (CEO), on what is new at Traliant and what the Department of Justice (DOJ) has communicated to the compliance community regarding its expectations around online training and communications; Maggie Smith, Vice President of Human Resources, on the role of diversity, equity and inclusion (DEI) in your corporate environmental, social and governance (ESG) program; and Scott Schneider, Head of Content Development, on your Code of Conduct and anti-corruption training. In Episode 1, I visit with John Arendes on the New Traliant.
Arendes was brought on to lead the company in late 2021. It has always been known as one of the most innovative online training companies with its fabulous tagline of “Boring to Brilliant.” Arendes went on to note that the “good news is there has been extremely strong leadership but one of the co-founders and the other co-founder was getting ready to do the same.” He went on to relate that he was brought into to build upon their success.
The biggest challenge in the online training arena is how do you make compliance training more engaging, and how do you really design a product suite that changes behavior. Indeed, this is a challenge that Arendes has worked on at other compliance organizations, training engagement. Arendes said, “what has really been the secret sauce in terms of engagement is making the courses applicable to the environment in which one takes it.” He provided the following example, “we have a preventing discrimination and harassment course that is designed for healthcare, and it is in this health care environment, which is much different than those that work in a retail environment or an or office environment. When individuals can see their environment replicated in a hospital setting in a doctor’s office, working with nurses, and creating real life scenarios; that is what makes the Traliant training much more engaging.” Further, he noted, “We’ve had customers tell us that they look forward to our next season, with new scenarios, real life scenarios taken from the news.” When employees take a Traliant online training module, “they can relate to it and that has really been a significant factor in why our success has been so strong.”
A key area of Traliant innovation has been in the area of how you make behavioral changes through online training. Arendes said that a key from the online training perspective is to have an impact around the design of training so that it engages employees. He pointed to Code of Conduct training and noted that a key driver is “how do we create code of conducts that represent the environment in which that company culture is based on? How does an organization think about anti-bribery/anti-corruption and all those other components that the DOJ wants organizations to look at?” He feels it should be based on “real life scenarios so that people understand clearly, what is required of them, not just from reading a document.”
Another change has been in damages. Not that the DOJ has increased fines and penalties but that reputational damages has become as important or even more important than regulatory fines and penalties. This really speaks to overall corporate culture and how a company expresses the importance of what they are doing simply beyond “just training.” This
has led to many companies embracing the concept of not simply online training but online education. He believes this is starting to change culture, as employees “realized that the organization had taken the time to reflect and think about their own mission, what the employees hear, is that this engagement was being rolled out.” He noted that the challenge for companies is how to make that transition, from ‘training’ to ‘education’. Traliant has gone a long way towards solving this because it is able to do these online educational “customizations, that allow organizations to express their culture and the importance of why this is in their culture at a very cost-effective way.”
Join us for our next episode where we look at current DOJ expectations around compliance training.
Check out the podcast with John Arendes here.

Categories
Innovation in Compliance

A Conversation with Skillsoft and StoneTurn: Part 4 – John Arendes on Assessing Your Risks


Welcome to a special five-part podcast series, A Conversation with Skillsoft and StoneTurn: From the Code of Conduct to Risk Assessment to Continuous Improvement. This week’s podcast series is jointly sponsored by Skillsoft and StoneTurn Group, LLP. In this podcast series we will explore the recently released 2020 Update to the Department of Justice’s (DOJ) Evaluation of Corporate Compliance Programs (2020 Update). We focus on your Code of Conduct and how it is informed by your Risk Assessment, training on your Code of Conduct, performing a Risk Assessment and conclude with how all this ties to continuous monitoring and continuous improvement. Participants in this podcast series include: from Skillsoft, Charlie Voelker, Director, Compliance Products; John Arendes, Vice President and GM of Global Compliance Solutions; from StoneTurn, Toby Ralston, Managing Director, Jamen Tyler, Managing Director and Stephen Martin, Partner. In this fourth episode, I visit with Arendes on assessing your risks and using that process to then manage those risks.
The two recent releases of information in the form of the 2020 Update and FCPA Resource Guide, 2nd edition, make clear that companies must assess their risk and manage their risk. Years ago, there was this idea of one size fits all for compliance programs. The government’s thinking on this began moving towards taking into account a number of different risk variables that impact those businesses and what exposes them to areas of risk. This has led to the current environment where it is clear that one size does not fit all. Arendes said you should begin with the precept “to understand what the goal is of that risk assessment. What are you trying to get out of it? Is it a holistic view? Is it a specific area of risk or are there areas of data risks that we want to look at? The bottom line is to understand what’s your goal of the risk assessment.” Arendes also said an independent perspective should be sought. Using outside firms, having someone come in with an objective view is certainly an important part of your risk assessment.
Webinar
If you enjoyed today’s podcast, I want to let you know about an upcoming webinar Skillsoft and StoneTurn are hosting. The webinar “Evolving Your Compliance Program” will be held on Wednesday Sept 23 and will explore how companies are leveraging data and information to improve and evolve their compliance programs. Information and Registration click here.
Resources
For more information on Skillsoft’s compliance offerings, click here.
For more information on the Skillsoft/StoneTurn partnership, click here.
For more information on StoneTurn, click here.