Positioning Compliance for Effectiveness
Positioning the compliance function for effectiveness is a matter of first defining the roles executive management and the board want the function to play. An understanding of those roles provides a powerful context for evaluating how to position the compliance function within the organization.
Key Considerations
Regulatory settlements addressing egregious non-compliance issues sometimes stipulate a different line of reporting for a company’s compliance officer. For example, it is not unusual for settlement deals to stipulate that the chief compliance officer (CCO) not be subordinate to the chief legal officer or chief financial officer and that he or she should report directly to the chief executive officer (CEO) and the board. But the question remains: What is the CCO expected to do?
Generally, a company’s compliance function is responsible for overseeing or coordinating compliance efforts, ensuring that the company and its employees understand and comply with applicable laws, regulations and internal policies. Some functions may deal with all compliance matters. Depending on the organization’s industry, other functions may focus on specific compliance domains, such as environmental, health and safety contracting; product quality; employment and labor; and anti-corruption. Ethical and responsible business behavior (including privacy and use of customer data) may also fall within the scope of a compliance function’s responsibilities. With the numerous IT regulations coming into effect in recent years, IT compliance is a growing and complex area of responsibility for the CCO.
A compliance function may be led by someone designated as the compliance officer or an equivalent title. If responsible for overall compliance, that person may be the CCO, which we use here to refer to the function’s leader. We see two distinctive CCO roles in practice, as well as variants of each.
When applying the above principles to the CCO (among others) the key question is: What do the board and the CEO expect from compliance? Effective compliance management starts at the top. If a viable line of defense is intended, the Champion CCO will not be able to deliver.
Learn more about compliance topics by exploring this related publication on KnowledgeLeader: Positioning Compliance for Effectiveness
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