Featured Articles:

U.S. Issues New OFAC and BIS Guidance on Cuba: What Exporters Need to Know

The U.S. government has issued significant new guidance clarifying how sanctions and export controls apply to certain oil-related transactions involving Cuba. In coordinated actions, the Office of Foreign Assets Control (OFAC) announced a new “favorable licensing policy” for specific resales of Venezuelan oil to Cuba, while the Bureau of Industry and Security (BIS) issued interpretive guidance regarding the availability of license exceptions under the Export...

Cybersecurity’s New Frontline: What the 2026 CrowdStrike Global Threat Report Reveals

As 2026 unfolds, the global cyber threat landscape is rapidly evolving — driven by accelerating attacker sophistication, geopolitical pressures, and, above all, the rise of artificial intelligence as both a tool and a target. The recently released 2026 CrowdStrike Global Threat Report highlights a stark shift: adversaries are no longer only exploiting technical vulnerabilities. They are leveraging AI to supercharge attacks, compress response windows, and...

Episode 397 — LRN’s Program Effectiveness Report

Each year, LRN’s Ethics & Compliance Program Effectiveness Report provides one of the most useful snapshots of the global compliance profession. The 2026 report—“The Next Leap: Technology, Trust, and the Transformation of Compliance”—again offers valuable insight into how corporate ethics and compliance programs are evolving amid rapid technological change, new regulatory expectations, and shifting workplace culture. Based on surveys of more than 2,500 compliance professionals and employees worldwide,...

BIS Fines Thermal Camera Exporter $1 Million for China Export Violations: De Minimis Miscalculations and Compliance Gaps

The U.S. Department of Commerce’s Bureau of Industry and Security (BIS) recently imposed a $1 million civil penalty against Teledyne FLIR, a U.S. manufacturer of thermal imaging cameras, for multiple violations of the Export Administration Regulations (EAR) involving exports to China and Hong Kong. The enforcement action highlights a recurring compliance challenge for multinational exporters: the complex application of the EAR’s de minimis rules, as...

Lessons Learned: Strengthening Oversight of Financial Reporting Risks (Part II of II)

Recent enforcement actions by the SEC have reinforced a message that boards and senior leadership have heard before—but too often underestimate in practice: financial reporting risk is a governance risk. When internal controls fail, disclosure judgments are compromised, or performance pressures override discipline, regulators do not view the breakdown as a technical accounting issue. They view it as an oversight failure. The lessons from recent...

When Financial Controls Fail: The SEC’s ADM Settlement and the Cost of Misleading Investors (Part I of II)

In late 2025, the Securities and Exchange Commission (SEC) charged Archer-Daniels-Midland Company (ADM) and three of its former executives with accounting and disclosure fraud, in what has become one of the most significant financial reporting enforcement actions of 2026. The case underscores a fundamental compliance truth: strong internal controls and transparent disclosures are not optional — they are core risk controls that protect investors, markets,...

OFAC Fines Real Estate Executive $3.77 Million for Breaching Syria Sanctions

A real estate executive reached a $3.77 million settlement with the Office of Foreign Assets Control after OFAC accused them of violating U.S. sanctions against Syria. The person — who committed the alleged violations years before the U.S. repealed a host of Syria restrictions in 2025 — provided “managerial services” in their position as a senior official and board member of four Syrian real estate...

OFAC Fines Florida Prep School for Accepting Tuition Payments from Sanctioned Parents

The Treasury Department’s Office of Foreign Assets Control (OFAC) has delivered a pointed reminder that sanctions risk is not confined to banks, multinational manufacturers, or energy traders. It extends to schools — even elite athletic boarding schools operating primarily within the United States. In a recent enforcement action, OFAC imposed a civil penalty against IMG Academy, a Florida-based athletic preparatory boarding school, after the school...

Episode 396 — Commerce Department Levies Second Largest Fine Against Applied Materials for Illegal Exports to China

The Commerce Department’s Bureau of Industry and Security (BIS) has sent an unmistakable message to the semiconductor industry: creative interpretations of the Export Administration Regulations (EAR) will not shield companies from significant enforcement risk. BIS imposed a $252 million penalty against Applied Materials — the second-largest fine in the agency’s history — for illegally exporting semiconductor manufacturing equipment to China’s Semiconductor Manufacturing International Corp. (SMIC),...

Culture as Control (Part II): Why Ethics and Integrity Are the Most Effective Risk-Reduction Mechanism

For boards and audit committees, culture should be viewed not as an abstract value but as a core internal control—often the most effective one. Traditional controls are necessary but limited. Policies cannot anticipate every scenario. Monitoring systems detect only what they are designed to see. Audits are retrospective. Culture, by contrast, governs behavior when controls are weakest: in gray areas, under pressure, and in decentralized...