Track 1: Interactive Benchmarking Series: The Grey Areas of Operationalizing New DOJ Guidance and Policies
Lauren Kootman
Assistant Chief, Corporate Enforcement, Compliance, and Policy Unit, Fraud Section
U.S. Department of Justice
James J. Gibson
Global Compliance Counsel
Coca-Cola
Natasha Trifun
Executive Director, Head of Compliance, R&D, Global Medical, External Funding & Global Functions
Alexion Pharmaceuticals, Inc.
Rachel Maimin
Partner
Lowenstein Sandler LLP
Dr. Donatus Kaufmann
Strategic Executive GRC Advisor
Kaufmann & Company (Germany)
- Concrete examples of program upgrades and compliance pain points
- Testing the effectiveness of your compliance program to show that it is: improving, adapting, and updating the program to ensure that it is sustainable and adapting to changing risks
- Reviewing the qualifications and expertise of your compliance personnel
- Rethinking resource allocation and delivery methods for training
- Fostering and sustaining a strong corporate culture
- Dashboards and other mechanisms for reporting