The U.S. Department of Justice published updates to its Evaluation of Corporate Compliance Programs. The document details with specificity the factors that prosecutors consider when investigating a corporation, determining whether to bring charges, and negotiating plea or other agreements. The time to review and implement this evaluation is before an investigation. From compliance program design to adequate resourcing to risk assessments and everything in between, learn what the DOJ expects from your compliance program and tips for how to meet those expectations.
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Kim Cunningham is a licensed attorney in South Carolina and Ohio and a Certified Information Privacy Professional (IAPP). Kim has been practicing healthcare compliance with a focus on privacy for more than five years. Kim has worked to use federal compliance guidance documents to perform both effectiveness reviews and gap analyses across a hospital system.