This site uses cookies to provide you with a more responsive and personalized service. By using this site you agree to our use of cookies. Please read our cookie notice for more information on the cookies we use and how to delete or block them.

Bookmark Email Print this page

Compliance Programs: What Separates "Good Enough" From "Great"?

CFO Insights


Subscribe to receive updates when new CFO Insights are released:

Deloitte CFO Insights subscription Email | DeloitteUS Twitter Twitter

The velocity of change in today’s world is accelerating, and with it the ever-changing risk landscape.

CFO Insights – Compliance programs: What separates "good enough" from "great"?

Ethics and compliance executives may have come a long way in developing sophisticated measures to prevent, detect, and mitigate risk of malfeasance. But given that those who wish to violate the rule of law are using more sophisticated tactics, “good enough” in compliance is just not good enough today.

What separates a “good” ethics and compliance program from a “great” one, though? And, how does an organization’s investment in compliance and reputational risk mitigation systems and processes measure up against leading practices?

In this issue of CFO Insights, we look at the building blocks of a world-class program that not only protects an organization from internal and external threats, but also enhances its brand and strengthens its relationships with multiple stakeholders.

Download the CFO Insights article, "Compliance programs: What separates 'good enough' from 'great'," to learn more.

Related links

Share this page

Email this Send to LinkedIn Send to Facebook Tweet this More sharing options

Stay connected