Of the more than 100 organizations participating in the Anti-Corruption Compliance Program Benchmarking Survey conducted by Kaplan & Walker LLP and the FCPA Blog, what do you think is the approximate percentage of respondents that:
1. Utilize a stand-alone, documented risk assessment process dedicated solely or largely to Anti-Corruption risk?
a) 10% b) 25% c) 33% d) 50%
2. Have a stand-alone Anti-Corruption manual or other Anti-Corruption policy document (separate from an Anti-Corruption provision of the Code of Conduct)?
a) 25% b) 33% c) 50% d) 75%
3) Require compliance training of some or all third-party intermediaries?
a) 24% b) 38% c) 52% d) 67%
4) Have not formally designated a senior company official to oversee the Anti-Corruption compliance program?
a) 4% b) 14% c) 24% d) 44%
Answers will be posted on the FCPA Blog tomorrow.
Or you can find the answers to these — and dozens of other important Anti-Corruption Compliance Program benchmarking questions –- by ordering the report today.
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