1 / 13

MA. EXPORT CENTER COMPLIANCE EXPORT EXPO

MA. EXPORT CENTER COMPLIANCE EXPORT EXPO. Presented by : Paul Divecchio –DiVecchio & Associates Phone: (617) 513-3230, Fax: (508) 393-3645 Email: pauldivec@earthlink.net. WHATZ HAPPENEN Criminalization of corporate wrongdoing

Télécharger la présentation

MA. EXPORT CENTER COMPLIANCE EXPORT EXPO

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. MA. EXPORT CENTER COMPLIANCE EXPORT EXPO Presented by : Paul Divecchio –DiVecchio & Associates Phone: (617) 513-3230, Fax: (508) 393-3645 Email: pauldivec@earthlink.net

  2. WHATZ HAPPENEN • Criminalization of corporate wrongdoing • Dramatically increased Penalties $$$$$$$ • Higher scrutiny on corporate ethics “Corporate Governance” • Accountability for Executives (Decision Makers) • Evolving enforcement initiatives & tools • Global Compliance a MUST • REFORM????????

  3. CURRENT CLIMATE - REFORM • MANY REGULATORY CHANGES (You have to Keep Up With Them) “EXPORT CONTROL REFORM” * Singular licensing Agency * Singular Control List * Singular Enforcement Agency * Singular IT Data Base • Targeted Enforcement (Collaborative Effort) – “Fusion Center” • Ambiguous Regulations/Convoluted • Status – The “beast” publish 1st qtr 2013 (includes definition “specially designed”) - Classification/licensing – “problematic” - Census – Changes to REGS “still coming”??????

  4. CHANGING ENVIRONMENT • Laws & Regulations constantly shifting - Foreign policy (“as the world turns”) • Global Trends - Nonproliferation (“the know standard”) – U.S. “EPCI” – Regime “catch all” - Anticorruption Laws (FCPA) - Greater Regime participation – Mexico/Singapore/Malaysia/Taiwan - Transhipment “Best Practices” - Compliance and Enforcement issues of U.S. Corp’s foreign affiliates • Enforcement Initiatives - Spot audits –AES data/license data/PLC & PSV/safeguard trips/web • New Investigatory Tools - Global harmonization of resources - Intelligence sharing - Automation of export reporting (enforcement targeting) - Tenfold increase in Penalties HIGHER SCRUTINY = NEW COMPLIANCE CULTURE

  5. A Company Insurance Policy to Minimize Risk Exposure. International Trade Compliance Is: 2

  6. ACCOUNTABILITY Knowledge includes not only actual knowledge of an event, but also an awareness of “highprobability”* of its occurrence. Not this! So … use all available information.Seek more information if you have suspicions.*The US government would like to revise its regulations to say that you have “knowledge” of an event if a reasonable exporter would consider the event “more likely than not”. THIS WAS WITHDRAWN BY BIS

  7. COMPLIANCE POSITIONRight Person – Right Place • SKILL SETS ARE CRITICAL • PERSONALITY-INITIATIVE-LOGIC-COMMUNICATION-CAN HANDLE STRESS • SUPPORTIVE ORGANIZATION • INHERANT AUTHORITY-OBJECTIVITY-VISIBILITY

  8. Compliance Objectives Stimulate and help: • Increase Export Compliance Awareness • Enhance Levels of Knowledge • Promote Coordination/Cooperation • Review Procedures • Identify Needs and Resources • Establish Company-wide Compliance

  9. Trade Compliance Program • Connecting People and Processes Globally • Automation – Trade Tools • Maintaining a Robust Compliance Program is Critical! Compliance is a Living Process NOT a Project

  10. 1. Compliance risk assessment & prioritisation 2. Compliance Planning 5. Management Review & Certification 3. Implementation & Operation 4. Measurement, Evaluation & Corrective Action 5-Step Implementation Process* *Integrated into existing risk management processes

  11. PROCESS ASSESSMENT • Learn how the business actually runs: gather information from every part of the business that presents a compliance risks • Learn the trade lanes • Learn the information lanes • Find where the business will be in five years • Assess the information • Evaluate your processes and procedures and write a report describing the gaps • Practice Note: One size does not fit all. You cannot write clear, practical steps for each business operation until you know, what they do, and how they do it

  12. Export Compliance Decisions IT OUT, NOT: WHEN IN WHEN IN IT OUT 1. USE COMMON SENSE!! Everybody Has it?? 2. Document Decisions Demonstrate your D2 “Due Diligence” 3. Abide by the Exporters Cardinal Rule

  13. EVERYONE'S ACCOUNTABLE

More Related