See matching posts in thread - Position Wanted-Corporate Compliance...
I have taken over for the cc officer who left and I have NOTHING to get started
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They also aggravated the government by not setting up a compliance and ethics program properly. The Office of Inspector General (OIG) told Pfizer that as a part of their latest settlement, they could not have the compliance officer (CO) report to the general counsel (GC.)
2 Comments - Or if there is a breakpoint and mergining the compliance function into another - where would you see that going other than the GC?
Last year, Smart Solutions & Support, Romania, launched the first European training program for Ethics & Compliance Officers. The whole program comprises three course: ECO 1 - "Ethics & Compliance: Corporate Governance" (5 days - 30 hours - 12 credits); ECO 2 - "Ethics & Compliance: Internal Audit Techniques" (3 days - 18 hours - 6 credits); ECO 3 - "Ethical Decision Making and Conflict Resolution" (3 days - 18 hours - 6 credits).
Consular Officer Ethics and Compliance: U.S
Who should chair the Compliance Oversight Committee? Most people will tell you that the compliance officer (CO) should be the Chair of the Compliance Committee
4 Comments - This committees often meets monthly to go over detailed operational decisions related to the ongoing management of the compliance program. I don’t see a reason or need to even have the Compliance Officer as a formal member of the Board level committee that deals with compliance
Active vs. passive Compliance I am very frustrated with people who overemphasize passive compliance activities – things such as writing policies, education, risk assessments, and codes of conduct
3 Comments - There are many people that spend more time writing and modifying the code of conduct or reporting on ethics and compliance than building the moral awareness of his subjects or following complaints
When it comes to clinical compliance I'm going to look at it from the policy and procedure point of view. As a compliance professional you do not have to be clinical to make sure it gets done
This conference is designed for board members and members of a board audit and/or compliance committee of not-for-profit health care organizations. Compliance officers may attend with their board member(s). CEOs, CFOs, and other senior officers are also welcome to attend
02-13-2012 - 02-14-2012
Challenges confronting compliance officers are discussed. Prioritizing Risks Brenda Tunstill, CHC, CCEP, MBA, Corporate Compliance Officer, St. John’s Regional Health System This session will cover a variety of current event topics
03-09-2009 12:00 AM - 03-12-2009 12:00 PM ET
Phone: +1 952.933.4977Toll - Free: 888.277.4977helpteam@hcca-info.org
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