Happy 4th of July!
On behalf of the Volkov Law Group and Corruption, Crime & Compliance, I want to wish everyone, friends and families a wonderful 4th of July holiday!! Today we recognize the wisdom and forethought of our Founders!
On behalf of the Volkov Law Group and Corruption, Crime & Compliance, I want to wish everyone, friends and families a wonderful 4th of July holiday!! Today we recognize the wisdom and forethought of our Founders!
Matt Stankiewicz, Senior Associate at The Volkov Law Group, rejoins us for another posting on cryptocurrency compliance. Matt can be reached at [email protected]. For those still new to the sector, Coinbase has established itself as one of (if not the) most prominent cryptocurrency exchanges operating in the U.S. Coinbase, to the delight of compliance officers everywhere, has been mostly diligent in attempting to comply with...
In a special podcast episode, I take time out from the legal and compliance world to discuss the wonderful island of Sicily, Italy. To explain and provide an introduction to Sicily, and in particular the western region, I interview my wife, Rosetta Sciacca, about Sicily, its people, its culture and its cuisine. Happy Fourth of July!!!
I am excited to announce the addition of Karin Sweigart as a new Senior Associate at The Volkov Law Group. When I launched the firm, I was committed to providing high-quality ethics and compliance, and enforcement defense services. With the help of my existing members we have been fortunate to grow and develop our services and capabilities. I am proud to announce that Karin Sweigart...
In these turbulent times in our country, there is a premium on the concepts of empathy and compassion. A successful leader in any organization has to demonstrate his or her ability to feel compassion. In any relationship, a person has to have the ability to see the issues or a perspective through the other person’s eyes (and ears and heart). Once you understand another person’s...
A compliance program is a continuously evolving process. The lifeblood of a compliance program is its ability to refresh itself, to incorporate new information and data, and adjust to meet new challenges. The culture and compliance loop requires discipline – a company refreshes its risk assessment, designs and implement new policies and procedures to address the risk, adopts new compliance controls, monitors the performance of...
Maybe I am missing something, but everyone is jumping on the culture bandwagon. Regulators like to speak about it; prosecutors like to emphasize it – everyone likes to talk about it as a way to encourage corporate leaders to commit to promoting an ethical culture. Let’s face it – talking about culture is an easy way to demonstrate your commitment to ethics and to compliance...
The Justice Department has released two important documents that provide guidance to compliance practitioners as to compliance program best practices: (1) The FCPA Guidance; and (2) The Evaluation of Corporate Compliance Programs. In combination, these two documents provide important compliance program guidance. In this episode, Michael Volkov discusses various issues related to ethics and compliance program best practices.
There are a lot of talented CEOs. Some remarkable leaders, innovators and eloquent spokespeople for their companies. In several recent experiences, I have been befuddled by some CEOs. When a CEO addresses a global ethics and compliance staff or has the opportunity to address a large staff or division meeting, the CEO should take the opportunity to reinforce the company’s culture and compliance program message. ...
Congratulations on your new position as the chief compliance officer. You successfully interviewed with the company, met the senior executive team and the audit committee chair, and negotiated a nice compensation package. You are feeling “pretty, pretty good” (ala Larry David) about your new job and looking forward to starting your new position. So, now, what do you do? My first question for you is...