Episodes
By Adam Turteltaub Having a compliance champions or ambassadors program can be a great boon for the compliance program, if you keep the champions engaged. Unfortunately, that doesn’t always happen. If not managed properly your champions may end up sleep walking through the job. In this podcast, Matt Silverman, author of the book The Champions Network and Global Trade Director and Senior Counsel at Viavi lays out several strategies for maintaining the involvement and commitment of your...
Published 02/01/24
By Adam Turteltaub Mergers and acquisitions create stress, opportunity and risk both for the organization and the compliance team. In this podcast, Sergio Leal, who until recently was head of M&A compliance at Ericsson along with Jan Sprafke, the company’s chief compliance officer, share their advice for compliance professionals in the midst of a transaction. They stress that the compliance team needs to be involved during the entire lifecycle, from target identification to due...
Published 01/30/24
By Adam Turteltaub To quote CMS, “The Open Payments program is a national disclosure program that promotes a more transparent and accountable health care system. Open Payments houses a publicly accessible database of payments that reporting entities, including drug and medical device companies, make to covered recipients like physicians.” For this transparency to work, though, it’s important for the data to actually be used. Kelly Cooper (LinkedIn), Compliance Specialist at UF Health...
Published 01/25/24
By Adam Turteltaub The 2024 CMS Medicare Physician Fee Schedule extends no less than ten different pandemic flexibilities related to telehealth. In this podcast, Randi Seigel, partner and Jared Augenstein, managing director, at Manatt take us through all of them, including in-person visit requirements, audio-only services, physician supervision and opioid treatment. They also address: * Changes in the structure of the telehealth services list * Changes to payment by place of...
Published 01/23/24
By Adam Turteltaub Effective investigative interviews are both important and sensitive. To get some pointers about how to conduct them properly, we turn in this podcast to Wendy Evans, Senior Corporate Ethics Investigator at Lockheed Martin. Wendy is also an instructor for the SCCE Fundamentals of Compliance Investigations workshops. She recommends starting by doing your homework. Before you talk with anyone, whether a possible witness or the subject, get all the information you can...
Published 01/18/24
By Adam Turteltaub Matt Kelly (LinkedIn), Editor and CEO at Radical Compliance is a close watcher of all things compliance, and in this podcast he shares his take on both the top stories of 2023 and what he sees in the cards for 2024. FCPA On the Foreign Corrupt Practices Act front, he noted a change in enforcement. While the volume of resolutions declined on the DOJ side, the SEC has remained very active. Perhaps most notably, the Albermarle case had an interesting twist. The way...
Published 01/16/24
By Adam Turteltaub We all want the compliance team to be approachable. It would be ideal if, when people thought of compliance, they had positive, maybe even warm and fuzzy, associations in their mind. But, how do we get there? For BroadPath, a friendly blue koala was the answer. In this podcast, Jaime Watkins, the compliance officer there, explains that she drew inspiration from the Basic Compliance & Ethics Academy and an exercise that called for creating a compliance...
Published 01/11/24
By Adam Turteltaub Decades ago, while at a bit of a career crossroads, I was thinking of making a dramatic change and moving halfway around the world. I was talking it through with a friend who said that one day he asked himself whether he wanted to have a successful career or an interesting one. He realized that interesting was more important to him. That decision led him from Missouri to New York to Hong Kong, Singapore and Thailand, where he ended up enjoying great success. Ricardo...
Published 01/09/24
By Adam Turteltaub Compliance professionals can face a lot of resistance in the course of their work: leaders who don’t have the time, budget limits, managerial indifference, and even outright hostility. But, sometimes the impediments are inside us. In this podcast, Kristy Grant-Hart, CEO of Spark Compliance Consulting and author of the new book Your Year as a Wildly Effective Compliance Officer, points out that sometimes we get in our own way. It’s just easier for us to see what the...
Published 01/04/24
By Adam Turteltaub We are starting a new year of Compliance Perspectives podcasts by going back to basics with an episode designed for those who are charged with starting a compliance program. While the conversation is directed to this audience, there are some good reminders even for established programs. Providing guidance are Pam Cleveland, Compliance Officer – Medicare Advantage for UCLA Health FPG and Megan Grifa, Senior Director, Compliance at Sidecar Health. So, if you are...
Published 01/02/24
By Adam Turteltaub When compliance professionals discuss AI most of the conversation tends to focus on the risk.  Frank Orlowski (LinkedIn), Founder and President of Ation Advisory Group, though, is far from all gloom and doom on the topic. In fact, he believes AI can be an asset to compliance programs. AI, he explains, can be of great value for compliance any place where there are large amounts of transactions that need to be monitored and checked. Two notable examples are travel &...
Published 12/21/23
By Adam Turteltaub The topic of conflicts of interest (COIs), especially in healthcare, is a very broad one. It can encompass professional activities, board membership, purchasing, procurement and more. But it is the financial conflicts, especially for those that conduct research, that can be most problematic. To help unpack the topic we are joined in this podcast by Will Crawford (LinkedIn), an associate in the DC office of Hogan Lovells. He explains that, in the case of research, a...
Published 12/19/23
By Adam Turteltaub Record retention and information governance have grown exponentially more complex as the number of laws have proliferated and the amount of data housed has exploded. This has vastly complicated the question of what data to hold onto and for how long. Mark Diamond, CEO of Contoural, points out that sometimes there are even competing and conflicting compliance regimes. For the most part, the rules specify a minimum number of years that information must be retained....
Published 12/14/23
By Adam Turteltaub Ronnie Feldman (LinkedIn), CEO, Founder and Creative Director of Learnings & Entertainment, thinks that compliance teams play too much defense and not enough offense. What does that mean?  In this podcast he explains that offense is the proactive preventative measures designed to prevent problems. Defense is reactive and made up of investigating allegations and cleaning up issues. To his experience, the time and money are more focused on defense than...
Published 12/12/23
By Adam Turteltaub On February 22, 2022 the European Commission adopted a proposal for a directive on corporate sustainability due diligence.  In this podcast, George Porter, Knowledge and Training Manager at Ground Truth Intelligence reports that the directive, which is still being negotiated, is both a continuation of past measures and something new. It is designed to unify a great deal of previous regulations and create an ESG framework for both EU-based companies and those doing...
Published 12/07/23
By Adam Turteltaub While the pandemic seems, at least for now, to be receding into our past, many of the changes from it have not, including a large percentage of the workforce that works remotely. While in some ways we have gotten used to this new normal, Lori Tansey Martens (LinkedIn), President, International Business Ethics Institute warns that there remains cause for concern. Specifically, the prevalence of high number of remote works has been and continues to negatively impact...
Published 12/05/23
By Adam Turteltaub While most eyes have focused on the US Department of Justice’s document Evaluation of Corporate Compliance Programs when looking for guidance, it’s not the only DOJ source out there. Josh Drew (LinkedIn), Member, Miller & Chevalier explains that it would be wise to also look to Attachment C. What is it? It’s a document typically attached to Foreign Corrupt Practices Act (FCPA) resolutions. It specifies what the defendant company will need to do to establish and...
Published 11/30/23
By Adam Turteltaub At this point anyone in healthcare who doesn’t have a plan for managing HIPAA compliance risks is behind the eight ball and times. But, for those who do have a program in place, the question is: does it currently reflect your risk profile? Nancy Roht (LinkedIn), Managing Principal at Compliance Pro Consulting points out in this podcast that just because the HIPAA regulations don’t specify how often a HIPAA risk assessment should be done it’s best to do so annually,...
Published 11/28/23
By Adam Turteltaub Steve Forman (LinkedIn), Senior Vice President at Strategic Management Services, had an eye-opening experience years ago when interviewing for the job of Vice President of Audit and Compliance for New York Presbyterian Hospital. The chair of the board’s audit and compliance committee told him that his main role was not to find problems or weaknesses but to validate through the discipline of the audit processes what management suspected were problematic areas in terms of...
Published 11/21/23
By Adam Turteltaub Economic espionage sounds more like the stuff of a spy thriller than a day-to-day concern for business. Not so, as it turns out. To learn more we sat down with the FBI’s Counterintelligence Division Unit Chief Matthew Charles and Cyber Division Supervisory Special Agent Michelle Liu. Economic espionage generally refers to stealing trade secrets for the benefit of an overseas competitor, often one aligned with a foreign government. An employee at your organization...
Published 11/16/23
By Adam Turteltaub How do you understand “neurodiversity” or “neurodivergence”? It starts with the recognition that no two human are exactly alike and not two brains function exactly the same way. It then goes on to recognize that for people with ADHD, autisms, dyslexia, sensory integration and executive function issues, those differences can be substantial. Estimates are that about 20% of the workforce has some sort of neurodivergence. In this podcast, Jason Meyer (LinkedIn),...
Published 11/14/23
By Adam Turteltaub Currently there is a patchwork of anticorruption laws across the EU. What has been lacking, though, is a EU-wide approach. That is likely to change soon, reports Vera Cherepanova, founding partner of Studio Etica. Change is afoot.  In May 2023 the EU issued a new proposal to combat corruption, including a new Directive of the European Parliament and the Council on combatting corruption by criminal law. The new directive, she explains, makes it clear that actions by...
Published 11/09/23
By Adam Turteltaub Kristine Coy-Foster (LinkedIn), Senior Manager, Compliance & Employee Engagement at Vulcan, had a challenge many in compliance face: tracking all her to-dos, and then, once a to-do turned to done, tracking the accomplishment. It was important for her to be able to capture the challenges she faced, new ideas tested and processes developed. Trying to keep it all straight in Outlook or Excel spreadsheets wasn’t enough. To solve the problem she invested the time to...
Published 11/07/23
By Adam Turteltaub Since the 1930s the United State has had import bans on forced and convict labor. But, the rules were tightened, explains Evelyn Suarez, Principal, The Suarez Firm and Thad McBride, Partner, Bass, Berry & Sims PLC, in 2021. That is when Congress passed the Uyghur Forced Labor Prevention Act (UFLPA). The act has a rebuttable presumption that goods made in whole or part with labor from the Xinjian region in China is made with forced labor. If US customs suspects...
Published 11/02/23
By Adam Turteltaub We spend a lot of time in compliance discussing how to encourage employees to come forward and report any wrongdoing they see around them. Considerably less time, though, is spent on how to handle employees who report their own wrongdoing. In this podcast, Stefani Sonzzini Navarro, LATAM Compliance Officer for Corteva Agrisciences balances the scales. Encouraging employees to come forward with their own questionable acts, she explains, begins with having the right...
Published 10/31/23