Title: Roadmap For An Effective Compliance And Ethics Program
1Roadmap For An Effective Compliance And Ethics
Program
- The Top Ten Things
- the Board Must Know
Name of Presenter Title Date
2Not Just About Sentencing
- United States Sentencing Guidelines
(Guidelines), which address criminal conduct,
are the foundation for compliance and ethics
programs that address all misconduct (Program). - 2004 Amendments to the Guidelines set forth
specific goals for Programs. - The Department of Justice and the SEC measure
Programs against Guidelines standards when
considering actions against entities. - Other government agencies such as HHS, EPA and
State also use the Guidelines as the principle
benchmark for Programs.
3Key Requirements for Program
- 1. Board needs to be knowledgeable about and
oversee the Program. - 2. Must establish a tone at the top that
demonstrates corporate commitment to ethical
conduct and compliance with the law. - 3. Requires an organizational structure where
senior personnel have overall responsibility for
the Program and individual responsible for
day-to-day operations has appropriate authority
and access to the Board or subcommittee of the
Board. - 4. Program must have adequate resources.
- 5. The Company must have appropriate corporate
standards and procedures designed to achieve
compliance.
4Key Requirements for Program (continued)
- 6. Effective compliance training should be
provided and Board needs to participate. - 7. A confidential and anonymous disclosure
mechanism (hotline) is required. - 8. Must provide incentives to perform consistent
with Program and apply consistent disciplinary
measures for misconduct (carrot and stick). - 9. Risk Assessment drives the Program.
- 10. The Program needs to be kept effective and
regularly evaluated and revised as appropriate.
5Board Must Know About and Oversee Program
- Guidelines Require
- The Board shall be knowledgeable about the
content and operation of the compliance and
ethics program and shall exercise reasonable
oversight with respect to the implementation and
effectiveness of the compliance and ethics
program. (8B2.1(b) (2) (A)). - Implementation
- This training.
- Regular written reports
- to be supplied
6Tone at the Top
- Guidelines Require
- Establishment and maintenance of an
organizational culture that encourages ethical
conduct and a commitment to compliance with the
law. (8B2.1 (a) (2)).
- Implementation
- to be supplied
7Organizational Structure
- Guidelines Require
- High level personnel who have substantial control
over the organization or who have a substantial
role in making policy are responsible for the
compliance program. ( 8B2.1(b) (2) (B). - Day-to-day operational responsibility for the
program delegated to individuals who report to
high level personnel. Individuals responsible for
day-to-day operations must have . . . appropriate
authority and direct access to the governing
authority or an appropriate subgroup of the
governing authority (8B2.1(b) (2) (C)).
8Implementation of Organizational Structure
to be revised appropriately
9Program Must HaveAdequate Resources
- Guidelines Require
- Individuals responsible for day-to-day operations
must have adequate resources . . ..(8B2.1(b) (2)
(C)).
- Implementation
- Budget for Program for last year _____
- Staffing for Program for last year ______
- Budget for Program this year ______
- Staffing for Program this year ______
10Compliance Standards and Procedures
- Guidelines Require
- The organization shall establish standards and
procedures standards of conduct and internal
controls designed to prevent and detect
misconduct. (8B2.1 (b) (1)).
- Implementation
- to be supplieddiscussing code of conduct,
policies etc.
11Compliance Training
- Guidelines Requirements
- The organization shall take reasonable steps to
communicate periodically and in a practical
manner its standards and procedures, and other
aspects of the compliance and ethics program, to
the Board, high level personnel, substantial
authority personnel, the companys employees, and
as appropriate, the companys agents by
conducting effective training programs and
otherwise disseminating information appropriate
to such individuals respective roles and
responsibilities. (8B2.1(b) (4) (A)).
12Compliance Training (continued)
- Implementation
- to be suppliedidentifying training courses,
when given, who took them (by category), what is
to be provided in the future etc.
13Hotline
- Guidelines Require
- The organization shall take reasonable
steps---(C) to have and publicize a system, which
may include mechanisms that allow for anonymity
or confidentiality, whereby the organizations
employees and agents may report or seek guidance
regarding potential or actual misconduct
without fear of retaliation. (8B2.1(b)(5)(C)). - Sarbanes-Oxley imposes similar requirements.
- Implementation
- to be supplied
14Carrots Sticks
- Guidelines Require
- The organizations compliance and ethics program
shall be promoted and enforced consistently
throughout the organization through (A)
appropriate incentives to perform in accordance
with the compliance and ethics program and (B)
appropriate disciplinary measures for engaging in
misconduct and for failing to take reasonable
steps to prevent or detect misconduct.
(8B2.1(b)(6)). - Particularly important with regard to senior
management who must set the tone at the top and
whose performance and compensation may be
considered by the Board.
15Carrots Sticks (continued)
- Implementation
- to be supplied
16Risk Assessment
- Guidelines Require
- The organization shall periodically assess the
risk of misconduct and shall take appropriate
steps to design, implement, or modify the
Program to reduce the risk of misconduct
identified through this process. (8B2.1(c)).
Implementation to be supplied
17Program Needs to be Kept Effective and Regularly
Evaluated
- Guidelines Require
- The organization shall take reasonable steps(A)
to ensure that the organizations compliance and
ethics program is followed, including monitoring
and auditing to detect misconduct and B) to
evaluate periodically the effectiveness of the
organizations compliance and ethics program.
(8B2.1 (b) (5) (AB)). - After misconduct has been detected, the
organization shall take reasonable steps to
respond appropriately to the misconduct and to
prevent further similar misconduct including
making any necessary modifications to the
organizations compliance and ethics program.
(8B2.1 (b) (7)).
18Program Needs to be Kept Effectiveand Regularly
Evaluated (continued)
- Implementation
- to be supplied