Upgrading Compliance Policies Around Ephemeral Messaging and Retention Systems: The Latest Best Practices and Lessons Learned for Employee Training and Risk Management
Erin Brown Jones
Partner
Latham & Watkins LLP
Steve Meck
Group General Counsel & Chief Compliance Officer
Weir Group PLC
Doug Cohan
Deputy Compliance Officer/Senior Assistant General Counsel
Hess Corporation
- What the agencies expect for retaining business records and correspondence
- Strengthening written policies governing usage, maintenance, and retention
- How is industry overcoming hurdles to implementing DOJ policy
- The continuing impact of the global pandemic on corporate use of messaging platforms
- How increased usage has impacted compliance efforts
- The necessary skillsets that are required for compliance officers when implementing ephemeral messaging policies