Getting to the Root of the Problem- An important Step
to Strong Compliance
The compliance examiners are coming! It is time to get
everything together to prepare for the onslaught right? Time to
review every consumer loan that has been made and every account that has been
opened in the last 12 months, right? Not necessarily; the compliance
examination is really an evaluation of the effectiveness of your compliance
management program (“CMP”). By approaching your examinations and audits in
the same manner, the response to the news of an upcoming review becomes (almost)
welcome.
The Elements of the CMP
There is really no “one size fits all” way to set up a
strong compliance program. There are, however, basic components that all
compliance management systems need. These components are often called the
pillars of the CMP. The pillars are:
· Board
Oversight
· Policies
and procedures
· Management
Information systems including risk monitoring
· Internal
Controls
The relative importance of each of these pillars depends on
the risk levels at individual banks. The compliance examination is a test
of how well the bank has identified these risks and deployed
resources. For example, in a bank that has highly experienced and
trained staff coupled with low turnover, the need for fully detailed procedures
may be minimal. On the other hand, at a bank where new products are being
offered regularly, the need for training can be critical. The
central question is whether or not the institution has identified the risks of
a compliance finding and having done so, taken steps to mitigate
risks.
Making the CMP fit Your Institution
Making the CMP fit Your Institution
Making sure that your CMP is right-sized starts with an
evaluation of the products that are being offered and the inherent risk in that
activity. For example, consumer lending comes with a level of risk.
Missed deadlines, improper disclosures or misinterpretations of the
requirements of the regulations are risks that are inherent in a consumer
portfolio. In addition to the risks inherent in the portfolio are
the risks associated with the manner in which the institution conducts it
consumer business. Are risk assessments conducted when a product is
going to be added or terminated? In many cases, either decisions can
create risks. For example, the decision to cease HELOC’s may create a
fair lending issue; while the decision to start making HELOC’s has to be made
in light of the knowledge and abilities of the staff that will be making the
loans and the staff that will be reviewing for compliance.
As a best practice, compliance has to be a part of the
overall business and strategic plan of a financial institution. The CMP
has to be flexible enough to absorb changes at the bank while remaining
effective and strong.
The True Test of the CMP
Probably the most efficient way to determine the strengths
and weakness of the CMP is by reviewing the findings of internal audits and
examinations. When reviewing these findings what is most important is
getting to the root of the problem. Moreover, not only the findings,
but the recommendations for improvement that
can be found in examination and audit reports can be used to help “tell
the story” of the effectiveness of the CMP. It is very important to
determine the root cause the finding. Generally,
the answer will be extremely helpful in addressing the problem. There are
times when the finding is the result of a staff member having a bad day. On those bad days, even the secondary review may
not quite catch the problem. For the most part, these are the types of
findings that should not keep you up at night.
The findings that cause concerns are the ones that
result from lack of knowledge or lack of information about the requirements of
a regulation. These findings are systemic and tend to raise the antenna
of auditors and examiners. Unfortunately, too often the tendency is to
respond to this kind of finding by agreeing with it and promising to take
immediate steps to address it. Without knowing the root cause of the
problem, the fix becomes the banking version of sticking one’s finger in the
dyke to avoid a flood.
Addressing Findings
We suggest a five step process to truly address findings and
strengthen the CMP.
1. Make sure that
the compliance staff truly understands the nature of the finding. This
may sound obvious, but far too many times there is a great deal loss in
translation between the readout and the final report. If staff feels like
what was discussed at the exit doesn’t match the final report, here is a
communication concern. We recommend
fighting the urge to dismiss the auditor/examiner as a crank! Call the
agency making the report and get clarification to make sure that the concern
that is being express is understood by staff.
2. Develop an
understanding of the root cause of the finding. Does this finding
represent a problem with our training? Perhaps we have not deployed our
personnel in the most effective manner. It is critical that management
and the compliance team develop an understanding or why this finding occurred
to most effectively address it.
3. Assign a
personal responsible along with an action plan and benchmark due
dates. Developing the plan of action and setting dates develops an
accountability for ensuring that the matter is addressed.
4. Assign an
individual to monitor progress in addressing findings. We also recommend
that this person should report directly to the Audit Committee of the Board of
Directors. This builds further accountability into the system.
5. Validate the
response. Before an item can be removed from the tracking list,
there should be an independent validation of the response. For example,
if training was the issue; the response should not be simply that all staff
have now taken the training. The process should include a review of the
training materials to ensure that they are sufficient, feedback from staff
members taking the training, and finally a quality control check of the area
affected.
Not only does determining the root cause of a
problem make the response more effective, but in doing so, the CMP will be
strengthened. For example, It may be easy to see a problem with
disclosing right of recession disclosures. It may be harder to see that
the problem is not the people at all, but that the training they received is
confusing and ineffective. Only by diving into the root cause of the
problem can the CMP be fully effective.
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