Compliance

Bristol Palin, Abstinence and the Compliance Defense

Bristol Palin, Abstinence and the Compliance Defense

Newsflash: compliance programs are only effective when they're being put into practice. Having a paper compliance program is no kind of defense... just like claiming to be abstinent while acting otherwise didn't keep Bristol Palin from her latest pregnancy. And like Ms. Palin, some will find there are consequences of SAYING you're adhering to the compliance program but not walking...

Medical Device Loans: Transparency is Key to Anti-Corruption

Medical Device Loans: Transparency is Key to Anti-Corruption

Medical device firms have long loaned hospitals their equipment rent free with the understanding that the institutions will give them a certain amount of business in other areas. While this business model is pervasive in the health care industry and has generally gone unchallenged, it may in fact be a form of bribery. The risks with this arrangement are many,...

Latin America’s Compliance “Circle of Trust”

Latin America’s Compliance “Circle of Trust”

An effective compliance program is predicated on trust; without employees' trust in their compliance officer, the compliance function is unlikely to be regarded seriously. This is especially true in Latin America, where building strong relationships and engaging staff face to face is of utmost importance. No "tick box" compliance programs welcome here.

Daniel M. Silva / Shutterstock.com

Never Tick Off a Redbird

Baseball's St. Louis Cardinals are being investigated by the DOJ and the FBI for allegedly hacking into the Houston Astros' database. You read that right. One of the National League's best performing teams was after the secrets of one of the worst teams in the League. In a world where successful entities attempt to steal data from their least viable...

Warning: Keeping Compliance Simple

Warning: Keeping Compliance Simple

Complex compliance strategies may sound sophisticated, but do they belie a the CCO's own self-importance? When it comes to compliance, perhaps simpler is better. The objective is straightforward; so should be the plan for getting there. If our strategies are too involved, we run the risk of losing stakeholders' understanding and buy-in...

Are Disclosures a Pathway to Off-Label Promotion?

Are Disclosures a Pathway to Off-Label Promotion?

Pharma companies' promotion of their products for off-label use has to date met with legal action from the FDA, but that may change. Last month, Amarin Corporation filed a complaint against the FDA, contending that its First Amendment rights were impinged upon. The forthcoming ruling in this case could mean huge benefits for the pharma industry.

richard bistrong

The Best Compliance Reads Are Not About Compliance

Some of the best lessons on compliance, risk, anti-bribery, and anti-corruption measures aren't found among GRC experts at all, but outside of this sphere. Here, Richard Bistrong explores several illuminating works that have direct application for the compliance practitioner. Compelling reads, all, they just might cause you to look at your methods a little differently.

The New Role of the CCO: Good News and Bad News

The New Role of the CCO: Good News and Bad News

Which do you want to hear first? It seems the role of the CCO has gained steadily in influence, but there's progress to be made yet. CCOs must be viewed and treated as business partners in their organizations, which means they've got to make building relationships with other business partners a priority. Having strong relationships certainly helps to mitigate risks.

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