Compliance

oil derricks vintage

We Still Haven’t Seen the SEC’s Final Disclosure Rules, But We Already Know the Impact Won’t Be Equal

SEC regulations on what companies must report regarding their environmental impact are expected this year. While large firms and those in high-carbon industries have already started disclosing some of this information, as FTI Consulting’s Ben Herskowitz and Todd Rahn discuss, both size and sector play a role in firms’ climate disclosure program maturity. Climate change has increasingly become a major...

company budget

Survey: 3 in 4 FinServ Firms Spending More on Compliance

Heightened regulatory scrutiny is pushing compliance spending up at financial services firms, according to a survey by tech provider SteelEye, which reported that 76% of finserv firms elevated compliance expenditures over the past year. The survey, part of SteelEye’s annual report on compliance practices, included responses from more than 300 senior compliance decision-makers in financial services firms in the U.S.,...

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It’s Not Just the Feds: State AGs Are Reaching Through Your Corporation

No longer simply legal advisers for their respective governors, state attorneys general are increasingly taking an offensive position, bringing lawsuits against companies and executives they accuse of bad conduct. A team of attorneys from Troutman Pepper, led by Clayton Friedman and Trey Smith, explore recent cases and how executives can strengthen the corporate veil. A few big headlines aside, executives...

3 questions culture

Pinpointing Culture of Compliance Is a Challenge. Start With These 3 Questions.

FTI Consulting’s Angie Gorman, Janet Hale and David Stickney offer their guidance to help companies set about measuring the effectiveness of their compliance culture — including commitment, capacity and cooperation. In today’s environment of heightened regulatory scrutiny and enforcement, ensuring a culture of compliance is more relevant than ever. However, as compliance practitioners, we often struggle with not only understanding...

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2023 State of Regulatory Compliance

Understanding the impact of regulatory challenges Survey Report 2023 State of Regulatory Compliance What’s in this report from Regology:As the regulatory landscape continues to evolve at a rapid pace, compliance professionals are coping with an increasingly difficult job, and a new survey from Regology reveals how compliance teams are handling the changes. For the report, Regology surveyed 127 people working...

parliament

Coming Soon to the UK: Sweeping Corporate Criminal Liability Reforms?

UK legislators have proposed major amendments to the Economic Crime and Corporate Transparency Bill currently passing through Parliament. If adopted, the amendments would significantly expand the range of potential corporate crime offenses available to prosecutors, introducing new so-called “failure to prevent” fraud, false accounting and money laundering offenses for corporates, and — perhaps most radically — allow for the attribution...

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Analysis of Recent DOJ Statements

DOJ leaders provide insight into agency's plans. Analysis of Recent Statements DOJ Shaping the Future of Corporate Criminal Enforcement What’s in this whitepaper from Tom Fox:Along with the recent update to the DOJ’s “Evaluation of Corporate Compliance Programs” document, compliance practitioners can take their cues from two recent speeches by high-ranking DOJ officials, both at the ABA’s 38th annual National Institute...

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2023 Evaluation of Corporate Compliance Programs

Keeping up with 2023 changes to DOJ guidelines. Additions, Deletions & Changes From 2020 2023 Evaluation of Corporate Compliance Programs What’s in this whitepaper from Tom Fox:In March, the DOJ released a highly anticipated 2023 update to its “Evaluation of Corporate Compliance Programs” document (ECCP), which was most recently revised in 2020. ECCP should be mandatory reading for all compliance...

kyc fingerprints

Everything You Need to Know About pKYC

Simply knowing your customer isn’t enough anymore; to keep pace with modern threats, perpetual know-your-customer practices will enable organizations to manage risk. Moody’s Keith Berry tells companies everything they need to know about pKYC and argues for a mindset-shift in many organizations. Organizations have to protect themselves from fluctuating risk levels and new financial crime threats. For many compliance teams,...

spoonful of sugar

Corporate Enforcement Policy Updates: A Spoonful of Sugar or Just More Medicine?

By adding incentives to encourage self-disclosure of corporate misconduct, the DOJ signaled a major change in its approach. And while many of the changes are welcome, Blank Rome’s Inbal P. Garrity and Amelia Clegg wonder if the revisions are sweet enough. The DOJ’s Criminal Division may not have had a change of heart when it comes to corporate criminal enforcement,...

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