FCPA Compliance Report

Day 11 of One Month to Operationalizing Your Compliance Program-Internal Control Objectives


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Today I want to explore in some detail the first Objective in the COSO 2013 Framework-the Control Environment as a path to operationalize your compliance program. This Objective lays out five steps you can take to put the responsibility on functional corporate disciplines to imbue compliance into the fabric of an organization, through the operationalization of compliance.

A.        Control Environment

Rittenberg said this “sets the tone for the implantation and operation of all other components of internal control. It starts with the ethical commitment of senior management, oversight by those in governance, and a commitment to competent employees.” The five principles of the Control Environment object are as follows:

Principle 1 – The organization demonstrates a commitment to integrity and ethical values.

Principle 2 – The board of directors demonstrates independence from management and exercises oversight of the development and performance of internal control.

Principle 3 – Management establishes with board oversight, structures, reporting lines and appropriate authorizations and responsibility in pursuit of the objectives.

Principle 4 – The organization demonstrates a commitment to attract, develop and retain competent individuals in alignment with the objectives.

Principle 5 – The organization holds individuals accountable for their internal control responsibilities in the pursuit of the objective.

Principle 1 – Commitment to integrity and ethical values

What are the characteristics of this Principle? First, and foremost, is that an entity must have the appropriate tone at the top for a commitment to ethics and doing business in compliance. It also means that an organization establishes standards of conduct through the creation of a Code of Conduct or other baseline document. The next step is to demonstrate adherence to this standard of conduct by individual employees and throughout the organization. Finally, if there are any deviations, they would be addressed by the company in a timely manner. This requires an auditor to be able to assess if a company has the met its requirements to ethics and compliance and whether that commitment can be effectively measured and assessed.

Principle 2 – Board independence and oversight

This Principle requires that a company’s Board of Directors establish oversight of a compliance function, separate and apart from the company’s senior management so that it operates independently in the compliance arena. There should be compliance expertise at the Board level which allows it actively manage its function. Finally, and perhaps most importantly, a Board must actively provide oversight on all compliance control activities, risk assessments, information, compliance communications and compliance monitoring activities. Here, the Board’s Compliance Committee must demonstrate independence. There must also be documented evidence that the Board’s Compliance Committee provides sufficient oversight of the company’s compliance function.

Principle 3 – Structures, reporting lines, authority and responsibility

This may not seem as obvious but it is critical that a compliance reporting line go up through and to the Board. Under this Principle, you should consider all of the structures of your organization and then move to define the appropriate roles of compliance responsibility. Finally, this Principle requires establishment of the appropriate authority within the compliance function. You must be able to assess whether compliance responsibilities are appropriately assigned to establish accountability.

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FCPA Compliance ReportBy Thomas Fox

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