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Published byAvice Franklin Modified over 8 years ago
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Comment Period Participation 1 Percent Submitting More Than One Formal Comment Letter/Year
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BSA/AML Focus 2 Percent Reporting BSA/AML Exam Diverted Resources During Review
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Measuring Compliance Risk 3 Percent Managing Compliance Risk as Part of Operations Risk
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Compliance Risk for New Products 4 2007 Always 2009 Always 2009 Usually & Always 2009 Occasionally & Never
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Test Employees’ Compliance Knowledge 5 Percent That Test Employees After Formal Training
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Staffing 6 Size of Staff Relative to 2007
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Board’s Compliance Engagement 7 Percent Whose Examiners Have Encouraged More Board Involvement Board Provides Required Support 2009
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Board’s Compliance Engagement 8 Percent Whose Boards Review Compliance Budget Board Provides Required Support 2009
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Partners’ Regulatory Compliance 9 Percent That Track Partners’ Regulatory Compliance
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Engagement in Affiliated Business 10 Percent Engaged in Affiliated Business Which Must be Disclosed Under RESPA
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Compliance Duties as Part of Job 11 Percent Which Include Compliance Duties in Job Description
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Ombudsman Contact 12 Percent Having Contacted Their Regulator’s Ombudsman on a Compliance Issue
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