Implementing GRC technology is probably one of the least pleasant tasks compliance officers have to do. I have literally had one compliance officer call me to complain, “We were using Vendor A, and they stunk, so we’re trying Vendor B,” followed by another compliance officer who said, “We were using Vendor B, and they stunk,…
Read MoreThe Securities and Exchange Commission recently convened a meeting of its Small Company Advisory Committee. Normally news like that would not be big news for securities professionals, except for one point of discussion: overhauling the definition of an accredited investor. We can probably all agree that the current definition is outdated. It was adopted in 1982, and based…
Read MoreNothing beats a good “princeling” case under the Foreign Corrupt Practices Act for tough, teachable moments that a compliance officer should study. We have that example today, since Qualcomm just paid $7.5 million in fines and penalties to the SEC for its princeling offenses. So let’s take a look. The facts are straightforward. Qualcomm makes…
Read MoreLast Friday I had the pleasure of attending the Society of Corporate Compliance & Ethics’ regional meeting for Boston, a great event organized by local compliance hero Web Hull, one of the nicest people in the business. The agenda covered numerous important topics, so let me focus on one that compliance officers probably hear quite…
Read MoreThere we were, me and a small group of compliance professionals, talking shop about where good compliance officers come from these days. One person, a recruiter for asset management firms, told the tale of how she recently placed a chief compliance officer at a hedge fund in the Midwest. This CCO was “a dream candidate,”…
Read MoreCompliance professionals talk all the time about the importance of a rigorous corporate culture and tone at the top—but rarely do we see such a vivid example of those two items like we did earlier this month thanks to the management spat at Bridgewater Associates, a huge hedge fund in bucolic Connecticut. Compliance officers couldn’t…
Read MoreWe all know financial services firms are under tremendous pressure today to improve their compliance and risk management functions. What’s been less clear is how those pressures are influencing firms when they are selecting chief compliance officers. Now we have some better insight into that, and it raises some interesting career questions for compliance officers…
Read MoreYesterday the Securities and Exchange Commission set another precedent in regulatory enforcement: for the first time ever, it reached a deferred-prosecution deal with an executive (rather than a company) over foreign bribery charges. This is not exactly welcome news for corporate compliance officers. The executive is Yu Kai Yuan, a Chinese national who worked in…
Read MoreOn Saturday evening after news broke that Supreme Court Justice Antonin Scalia had died, I sent out this tweet (entirely in jest): Going to petition Obama Admin to nominate #compliance officer for SCOTUS vacancy. Who's with me? @tfoxlaw @BenDiPietro1, looking at you — Matt Kelly (@compliancememe) February 14, 2016 After all, why not? Everyone talks…
Read MoreCorporate compliance enthusiasts have one more item on their To Do list this winter: be sure to review and comment on ISO 37001, the draft standard for anti-bribery management systems. The International Standards Organization has been working on ISO 37001 since 2013, and the goal is a final standard approved and available by the end…
Read MoreAbout Us
Technically, Radical Compliance is the personal blog of Matt Kelly, long-time writer and observer of the corporate compliance and GRC scene. I was a writer, editor, and publisher at Compliance Week, 2003 through 2015; some of you may know me from my career there. I also speak frequently at compliance conferences and other events, and will pretty much shoot the breeze on any compliance topic with anyone who asks.