Thursday, April 4, 2013

Your Compliance & Ethics Function: Aligned, Not Maligned

Today, more than ever, your organization needs you. As a Chief Compliance & Ethics Officer navigating the increasingly complex regulatory landscape, your objectivity and expertise provide your board and senior leadership team with a beacon to guide them. Oftentimes you are viewed as the guardian at the gate.

While your colleagues and directors will likely embrace and support your role, your precautionary observations, and your recommendations, that enthusiasm does not always translate vertically throughout the organization. Members of your team may already have encountered the resistance that emerges when raising regulatory compliance, ethics or internal control concerns in the midst of deadline-driven projects. Not often do the profit center managers in our organization stand up and cheer our scrutiny and counsel when we review their proposed product and service offerings, marketing materials, and incentive compensation plans.

We do not further the compliance & ethics mission in our organization when our role is viewed in isolation as too far removed from the day-to-day goals and objectives of our organization. Let’s face it—our organization was most likely founded to obtain a for-profit or not-for-profit objective, not to support our compliance & ethics function.

Over the years I have identified some key steps that allow own compliance & ethics role to align tightly with the growth strategies and objectives that our organizations strive to implement. I refer to these steps as getting down into the MUD:

·         Meet as many key managers at all levels in your organization as feasible. The more colleagues you become familiar with, the greater likelihood that your involvement will be sought out earlier in the planning, development, and execution of new programs, products, and initiatives.
·         Understand genuinely the plans, imperatives, and metrics that drive key managers in your organization in their respective roles. When you truly understand the why, what and how of each division and department, then you will be better able to anticipate and address potential regulatory compliance, ethical, or internal control exposures.
·         Defer to your operational colleagues when a decision does not require approval from you. Your credibility as Chief Compliance & Ethics Officer is strengthened when you resist the urge to exert your will upon every decision in a project, program, or product launch.

When we take the time to get to know our operational colleagues, understand their roles more fully, and defer to their subject-matter expertise, we will find that those same colleagues are much more likely to invite us to advise them regarding regulatory compliance, ethics, and internal control matters. Instead of being maligned as the killjoys at headquarters, let us become aligned with our shared organizational mission as we serve to safeguard it from foreseeable risks.

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