Featured Articles:

The Shadow AI Crisis — Your Employees Are Already Using AI, and You Don’t Know How (Part 2 of 3)

If Part I of this series described the governance gap at the organizational level, Part II describes the crisis that is already unfolding inside your organization right now — whether you know it or not. Shadow AI is real, it is pervasive, and the statistics are alarming. According to Gartner research across 500 companies, 68% of employees use unauthorized AI tools at work — a...

AI Is Here. Is Governance?

Are your employees whispering corporate secrets into the greedy ears of public-facing AI? Many organizations have no visibility into how their employees are using AI. The solution is not to ban AI. The solution is AI governance. Organizations need approved AI tools, acceptable use policies, employee training, and ongoing monitoring. Organizations need approved AI tools, acceptable use policies, employee training, and ongoing monitoring. The question...

The AI Governance Gap — The Urgency Is Now (Part 1 of 3)

There is a crisis unfolding in corporate boardrooms and compliance departments across America, and most organizations are not responding with anywhere near the urgency the situation demands. The crisis is AI governance — or more precisely, the near-total absence of it. The numbers are striking. According to a Compliance Week 2026 survey, 83% of organizations are using AI tools, but only 25% have implemented a...

Episode 426 — Venezuela Sanctions Update: OFAC’s New General Licenses and the FGDF Framework (Part 1)

Michael Volkov examines OFAC’s new Venezuela general license framework—including General License 52, General License 46B, and the newly effective General License 51B covering Venezuelan-origin minerals—analyzing how these authorizations create conditional pathways for otherwise-prohibited energy and minerals transactions while preserving the underlying blocking regime applicable to PdVSA and the Government of Venezuela. Michael explains the established U.S. entity eligibility requirement, the mandatory contractual conditions requiring U.S....

Venezuela Sanctions Update: Building the Operational Compliance Program (Part 2 of 2)

Part 1 of this series examined the legal framework underlying OFAC’s new Venezuela general licenses—General License 46B, GL 51B, and GL 52—and the Foreign Government Deposit Fund payment mechanism that sits at the center of the authorized transaction structure. Part 2 turns to the practical compliance program question: what does a company actually need to build to execute Venezuela-related transactions safely, accurately, and in a...

Why the Third Party Risk Association Is Leading the Future of TPRM 2.0

Third-party risk management is undergoing a significant transformation. Traditional vendor due diligence programs are no longer sufficient to address the complex ecosystem of risks facing organizations today. Cybersecurity threats, supply chain disruptions, regulatory scrutiny, geopolitical instability, fourth-party dependencies, artificial intelligence risks, and operational resilience concerns have fundamentally changed the nature of third-party risk management. This evolution is what I have described as TPRM 2.0—a strategic...

Would You Fire AI?

If AI were a real employee and made mistakes, would you fire it? AI is transforming business operations, but organizations often overlook one fundamental problem. They hallucinate. AI can generate fake information, fake legal citations, inaccurate regulatory interpretations, incorrect sanctions screening results, and fabricated facts. The danger is not that AI makes mistakes. The danger is that it makes mistakes confidently. Employees frequently assume AI-generated...

Venezuela Sanctions Update: OFAC’s New General Licenses and the Foreign Government Deposit Fund Framework (Part 1 of 2)

The Office of Foreign Assets Control has issued a series of new general licenses authorizing significant categories of Venezuela-related energy transactions that would otherwise be prohibited under the Venezuela Sanctions Regulations, 31 C.F.R. Part 591. These authorizations—General License 46B, General License 51B, General License 52, and General License 50A—represent the most significant expansion of permitted Venezuela-related activity in years. But they are not a relaxation...

Episode 425 — USTR’s Section 301 Forced Labor Tariffs: A Bold Gambit with Major Compliance Implications

Michael Volkov examines USTR’s unprecedented Section 301 forced labor tariff proposal, analyzing how the Trump Administration is leveraging a decades-old trade statute to rebuild broad tariff coverage following the Supreme Court’s invalidation of IEEPA emergency tariffs in Learning Resources, Inc. v. Trump. Covering economies that account for an estimated 99.4% of U.S. imports, the proposal would impose 10% duties on 14 economies with partial forced...