Risk & Compliance Matters

Building a Next-Generation Anti-Bribery & Corruption Compliance Program

Guest Blog

Global companies face unprecedented third party risk in today’s landscape—third parties are involved in 90% of Foreign Corrupt Practices Act (FCPA) cases, and more companies are under investigation than ever before in the history of FCPA enforcement.

To build an effective anti-corruption compliance program, organizations need to follow the required elements for an “effective” anti-briberycompliance program outlined in the United States Sentencing Guidelines (Sentencing Guidelines) and The Resource Guide to the US Foreign Corrupt Practices Act of 1977 (“FCPA Guidance”).

However, to build a program that truly serves the needs of their organization both today and in the future, compliance professionals must help their organizations achieve a new level of performance.

Next Generation Effectiveness: Automation, Accuracy, and Frequency

Best practice program leaders are asking the question: Are we doing everything we can to appropriately, aggressively, and efficiently manage our third party risk?  

More and more, compliance professionals are seeing that their organization may be falling behind the curve in three key areas of best-practice third-party due diligence: automation, accuracy and frequency.

To Compete in the Global Economy, Get Ahead of the Curve—Or Get Left Behind

These trends are having a significant impact on the compliance profession. The true benefit of stepping into the future of third party risk management, compliance professionals will create the bandwidth to do what they do best: mitigate and reduce enterprise risk; strengthen their anti-bribery and corruption programs; and help their organizations thrive in a global economy.     

View on Full Site
Disqus Comments

Top Five Mistakes in Ethics & Compliance Board Reporting

‹ Previous Article

Four Surprising Ethics & Compliance Training Statistics

Next Article ›