A year ago, we issued a paper explaining how supervisors go about the complex task of assessing a firm’s culture.
Since then, there has been no let-up in the regulatory and supervisory focus on culture; it has spread across jurisdictions and been accompanied, increasingly, by a drive to introduce formal accountability regimes.
Given the continuing evolution in regulatory thinking and supervision of culture, this short update to our previous paper:
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Culture in financial services: Scrutiny by the regulator, in principle and in practice