What should be your organization’s compliance training frequency? How does the amount of training can positively or negatively impact an overall training strategy? Unfortunately, these questions were not answered by the 2020 Update or the 2020 FCPA Resource Guide. Still every company should have a “well-designed compliance program is appropriately tailored training and communications.”
Three key takeaways:
1. Have a well-reasoned approach to training frequency.
2. Lengthier more full-bodied training can be given once every three years or so.
3. Shorter more frequent compliance refreshers or reminders can be used to keep the risk top-of-mind.
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