gds_0310723_v1 1 building an ethics & compliance program presented by steve vincze tap ethics...
TRANSCRIPT
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GDS_0310723_v1 1
Building an Ethics & Compliance Program
Building an Ethics & Compliance Program
Presented by Steve Vincze
TAP Ethics & Compliance Officer
Presented by Steve Vincze
TAP Ethics & Compliance Officer
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Food For ThoughtFood For Thought
“Wisdom comes only through suffering.”Aeschylus,, Agamemnon, 458 B.C.
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More Food For ThoughtMore Food For Thought
“There are only two forces that unite men – fear and interest.”
Napoleon Bonaparte
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Partnership Principles Produce Positive ResultsPartnership Principles Produce Positive Results
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Remember Who Your Audiences AreRemember Who Your Audiences Are
Internal Board Executive Management Functional Areas
Senior ManagementMid-Level Management
Employees Stakeholders
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Remember Who Your Audiences Are Remember Who Your Audiences Are
External Government
HHS– OIG– FDA
DOJCongress
Media Public
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CREDIBILITYCREDIBILITY Is The Key To Effectiveness!Is The Key To Effectiveness!
CREDIBILITYCREDIBILITY Is The Key To Effectiveness!Is The Key To Effectiveness!
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TAP’s CIATAP’s CIA
Signed on Sept. 28, 2001 7-year Duration Requires:
Compliance Program Review by IRO
Average Sale Price (ASP) Reports (Attachment A)
Review of ASP and Best Price by IRO (Attachment B)
Sales & Marketing Systems & Documentation Review by IRO (Attachment C)
OIG
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Apply the “KISS” Rule & Stay FocusedApply the “KISS” Rule & Stay Focused
Review the Basics What Is an Ethics &
Compliance Program? Why We Need an Ethics &
Compliance Program How an Ethics &
Compliance Program Can Improve Our Organization
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What Is an Ethics & Compliance Program?What Is an Ethics & Compliance Program?
The Process of
Ethics & Compliance
An ethics & compliance program is a centralized process to detect, correct and prevent illegal or improper conduct* AND to promote honest, ethical behavior in the day-to-day operations of an organization.
* U.S. Sentencing Commission
Ethics & Compliance Program
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U. S. Sentencing Commission Guidelines for “Effective” ComplianceU. S. Sentencing Commission Guidelines for “Effective” Compliance
(1) Establish Compliance Standards & Policies
(2) Assign Senior Management Oversight
(3) Use “Due Care” When Assigning Responsibility To An Employee (i.e., screen employees for past
offenses)
(4) Conduct Effective Training & Communications
(5) Establish Reporting & Monitoring Mechanisms
(6) Enforce Standards & Discipline Violators
(7) Respond to Violations to Prevent Future Offenses
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Basic Steps to Implement an Ethics & Compliance Program -- “ADIM”
(1) Assess Compliance Risks
(2) Develop Basic Elements
(3) Implement Program
(4) Measure Effectiveness
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TAP’s Ethics & Compliance Program: “Acting on Our Values”
TAP’s Ethics & Compliance Program: “Acting on Our Values”
Compliance Program in place for a number of years with improvements/enhancements added over time
E.g., Compliance Officer, Compliance Committee, Hotline, Code Training
Incorporates “The Spirit of TAP” and “Connected to Care”
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Scope of Our Ethics & Compliance ProgramScope of Our Ethics & Compliance Program
Scope: Holistic, NOT limited to Sales & Marketing issues only.
Should implement the results of a “head-to-toe corporate physical”
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Liability Protection Quality Enhancement Public/Patient Trust Competitive Advantage
Core Benefits Core Benefits
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The Human Element of Effective Ethics & ComplianceThe Human Element of Effective Ethics & Compliance
Requires:
Senior Leadership
Open Communications
Teamwork
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Organizing an Ethics & Compliance ProgramOrganizing an Ethics & Compliance Program
Starts at the TOP: Board of Directors President Management Employees
Leadership By Example: Walk-the-walk Vigorous, visible & vocal THE #1 KEY TO
SUCCESS
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Role of Ethics & Compliance OfficerRole of Ethics & Compliance Officer
Focal point for Ethics & Compliance Program
Establishes accountability, credibility and structure
Independent, well-respected senior manager who reports to the President and has direct access to the Board of Directors
Oversees design, implementation of compliance standards, training, auditing/monitoring, reporting and corrective action
Coordinates closely with other functional areas in the organization, e.g., Legal, HR, Quality Assurance, Sales & Marketing, R&D, Finance, etc..
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Role of Legal CounselRole of Legal Counsel
Advise on pharmaceutical legal and corporate governance issues
Review compliance risk areas
Review compliance implementation
Retain credible consulting advice, as needed
Participate on Compliance Committee
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Role of Senior ManagementRole of Senior Management
Vigorous, Visible & Vocal Support
“Leadership by Example”
Define ethics & compliance as --
“How we do business!”
Create a “Culture of Ethics & Compliance”
without fear of retaliation
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Code of Conduct, Policies &ProceduresCode of Conduct, Policies &Procedures
Establish Standards, Policies & Procedures: “Central Component” “…focus first on risk areas
most likely to arise...” e.g., Sales, Marketing, FDA,
etc… Review and amend Code of
Business Conduct and Operational Guidelines as needed
Code functions “Like a constitution…”
Code of Business Conduct
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Ethics & Compliance Training:Ethics & Compliance Training:
Compliance Program Training
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Ethics & Compliance TrainingEthics & Compliance Training
Conduct Training & Education:
“...important part of any compliance program...”
Ethics & Compliance Training Two Goals:
all employees receive training on how to perform job in compliance with stds & reg’s.
each employee will understand that compliance is a condition of employment
“…at least annual(ly)”
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Ethics & Compliance Training Ethics & Compliance Training
Two Types of Training: General (“Basic”):
“Acting on Our Values” Introduction to Ethics &
Compliance Program Framework
– Code of Business Conduct – Operational Guidelines– Control Documents– Reporting Mechanisms
All employees annually Targeted Technical, e.g.,
Sales & Marketing R&D, Q/A, etc. Select employees regularly
Need Both
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DisciplineDiscipline
Disciplinary Action should be: Taken when violations
substantiated Proportional to offense Consistent with policies Documented
Lack of appropriate disciplinary action can destroy the credibility and effectiveness of an ethics & compliance program.
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Measuring Ethics & Compliance EffectivenessMeasuring Ethics & Compliance Effectiveness
“An on-going evaluation process is critical to a successful compliance program.”
- OIG Compliance Guidances
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Measuring Ethics & Compliance EffectivenessMeasuring Ethics & Compliance Effectiveness
“An effective compliance program should also incorporate periodic (at a minimum, annual) reviews of whether the program’s compliance elements have been satisfied...” -- OIG Guidances Dissemination of Program’s
Standards Training Ongoing education Disciplinary actions Others (Employee survey,
etc.)
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Measuring Ethics & Compliance Program EffectivenessMeasuring Ethics & Compliance Program Effectiveness
Employee Survey: Focus on Understanding and
Awareness of Compliance Program elements.
Take benchmark early in process Take follow-up 12-18 months
later. Should show a difference --
evidence of impact and measurable change -- i.e., effectiveness
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How Ethics & Compliance Can Improve Our Organization
How Ethics & Compliance Can Improve Our Organization
Good Compliance Is Good Business!Good Compliance Is Good Business!
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CREDIBILITYCREDIBILITY Is The Key To Effectiveness!Is The Key To Effectiveness!
CREDIBILITYCREDIBILITY Is The Key To Effectiveness!Is The Key To Effectiveness!
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Knowledge = Credibility
Know Your Organization
Know the Meaning of “Effective” Compliance
Legal Standard -- “due diligent steps”
Technical Issues Government Expectations Operational Benefits
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Positive Communications
Define Ethics & Compliance Positively as “a way of doing business that adds value.” Ethics & Compliance =
Precision + Accuracy = Better
Information/DocumentationBetter Decision-MakingHigher Quality/More Efficient
OperationsMore Competitive PositionLower Risk of Violations
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Positive CommunicationsPositive Communications
Counters Negative Perceptions that Ethics & Compliance = Added Costs Administrative Burdens Imposed Rules and Regulations Negative Impact on Business “A pain in the …”
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Effective Ethics & Compliance ResultsEffective Ethics & Compliance Results
Increases: Precision and Accuracy of
Documentation
Quality of Decision Making and Operational Efficiency
Employee Competence, Morale, Loyalty and Productivity
Customer/Public Trust Satisfaction & Security
Reduces: Inaccuracies Leading to
Mistakes or Poor Decisions
Risk of Government Investigations
Risk of Whistleblower or Other Suits
Employee/Customer Dissatisfaction & Turnover
$$ Costs/FINES $$$$ Revenue/QUALITY $$
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What’s Ahead?What’s Ahead?
Empirical Measurement Using Technology
Accountability
More, more, more….
Compliance Effectiveness
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What’s Ahead?What’s Ahead?
A Theme of Partnership and Common Purpose Between Public & Private Sectors
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Food For ThoughtFood For Thought
“With regard to excellence, it is not enough to know, but we must try to have and use it.”
Aristotle, Nichomachean Ethics, circa 340 B.C.
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Have Fun!Have Fun!
Thank You!Thank You!Thank You!Thank You!
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Contact InformationContact Information
Steve VinczeSteve Vincze
Ethics & Compliance OfficerEthics & Compliance Officer
TAP Pharmaceutical Products Inc.
675 North Field Drive
Lake Forest, IL 36106
Tel. (847) 582-6301
Fax. (847) 582-5006
e-mail: [email protected]