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Rapport 2016 de PWC sur le crime économique

Belle étude annuelle de Pwc consacrée à la criminalité économique : « Global Economic Crime Survey 2016 – Adjusting the Lens on Economic Crime:  Preparation brings opportunity back into focus ».

 

Today more than ever before, a passive approach to detecting and preventing economic crime is a recipe for disaster. To underscore this fact, our survey uncovered a widespread lack of confidence in local law enforcement – a phenomenon that is not limited to regions or level of economic development. The message is clear: the burden of preventing, protecting and responding to economic crime rests firmly with organisations themselves. Our survey this year focuses on three key areas – Cybercrime, Ethics and compliance programmes and Anti-Money Laundering – and explores certain common themes, including managing the risks associated with the pervasion of technology; what it means to conduct business responsibly across a widening business landscape; and integrating ethical conduct into decision-making.

In addition to highlighting specific areas of economic crime worth focusing on, we emphasise the things you can do better to tackle them – implementing more sophisticated and effective measures that can not only reduce these risks, but also bring the benefits of a more threat-aware business, confident of its defences in a changing world.

 

À la prochaine…

Ivan Tchotourian

autres publications Nouvelles diverses

An Effective Compliance and Ethics Program is key

Intéressant document de la Securities and Exchange Commission en matière de criminalité économique : « 2014 GUIDELINES MANUAL – CHAPTER EIGHT – SENTENCING OF ORGANIZATIONS ».

 

These guidelines of the U.S. Sentencing Commission (Chapter 8) offer incentives to organizations to reduce and ultimately eliminate criminal conduct by providing a structural foundation from which an organization may self-police its own conduct through an effective compliance and ethics program.  The prevention and detection of criminal conduct, as facilitated by an effective compliance and ethics program, will assist an organization in encouraging ethical conduct and in complying fully with all applicable laws.

In regard to ‘economic criminality’, however defined, it is equally crucial that regulators across the globe push and pull robustly and cooperatively for effective compliance and ethics programs within industries. Without regulatory/supervisory efforts (a situation that is a systemic risk by itself), ‘economic criminality’ will be nothing more than an academic subject of theoretical interest without any consumer protection values whatsoever. That may well be where the next financial crisis lies. Only the future will tell.

 

À la prochaine…

Ivan Tchotourian