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There are four significant controls that every compliance program should have in it. They are: 1) DOA; 2) maintenance of the vendor master file; 3) contracts with third parties; and 4) movement of cash/currency.
The bottom line is that internal controls are just good financial controls. The internal controls that detail requirements for third-party representatives in the compliance context will help to detect fraud, which could well lead to bribery and corruption.
Three key takeaways:
1. Remember the top four internal controls for an effective compliance program.
2. Effective internal controls should do more than protect but also prevent internal program violations.
3. Effective internal compliance controls are good financial controls.
Learn more about your ad choices. Visit megaphone.fm/adchoices
By Thomas Fox5
11 ratings
There are four significant controls that every compliance program should have in it. They are: 1) DOA; 2) maintenance of the vendor master file; 3) contracts with third parties; and 4) movement of cash/currency.
The bottom line is that internal controls are just good financial controls. The internal controls that detail requirements for third-party representatives in the compliance context will help to detect fraud, which could well lead to bribery and corruption.
Three key takeaways:
1. Remember the top four internal controls for an effective compliance program.
2. Effective internal controls should do more than protect but also prevent internal program violations.
3. Effective internal compliance controls are good financial controls.
Learn more about your ad choices. Visit megaphone.fm/adchoices