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Compliance & Internal Audit CollaborationDeveloping a compliance third line of defense
www.pwc.com
October 2015
The Society of Corporate Compliance & Ethics 14th Annual Compliance & Ethics Institute Conference
Introductions – Walmart & PwC speakers
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Patrick Burns – Walmart, Senior Director, Global Audit Services
• 10 years experience in Internal Audit with Walmart• Auditing experience with various functions of global retail, including
Merchandising, Operations and Compliance• Key focus areas include providing advisory and assurance services to the
Compliance & Ethics organization• Leads forensics and analytics teams focused on advancing auditing techniques
and providing tools and capabilities to the broader business
Phyllis Nordstrom – PwC, Director, Risk Assurance
• Over 15 years of experience in risk management within both the retail & consumer products and financial services industries
• Both industry and public accounting experience in building and leading internal audit, enterprise risk, and compliance functions
• Key focus areas include developing risk programs to enable enterprise governance and management of organizational risks
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Session goals
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Provide an overview of the three lines of defense
Introduce Walmart’s compliance program
Review Walmart Global Audit Service’s approach to compliance auditing
Discuss leading practices to strengthen collaboration across lines of defense
Three lines of defense overview
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3
Why a continued focus on three lines of defense?
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“At a time when stakeholders except ever-more exacting standards of integrity and competence, compliance is now as much about safeguarding reputations and assuring strategic execution as ensuring formal regulation(1)”
“In today’s dynamic business environment, with rapidly emerging trends driving new compliance risks and impacting legal regulation, it’s more challenging than ever for companies to understand and meet baseline obligations(2)”
Sam Walton, regarded personal and moral integrity as critical to the company’s success. As he said, “it starts with each one of us(3)”
“78% of CEOs around the world view increasing regulations as the top threat to business growth(2)”
“The framework aims to provide comfort for the business and the board, while reducing potential strain on resources(1)”
(1) Three Lines of Defence: How to take the burden out of compliance – PwC
(2) State of Compliance Survey 2015- PwC
(3) Walmart’s Global Compliance Program Report on Fiscal Year 2014
Three lines of defense overview
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“Three Lines of Defense” Model
Senior Management
Board/Audit Committee
1st line of defense 2nd line of defense 3rd line of defense
Ma
na
ge
me
nt
Co
ntr
ols
Inte
rna
l C
on
tro
l M
ea
sure
s Compliance
Risk management
Fraud/Security
Quality
Financial controls
Inspection
Inte
rna
l a
ud
it
Re
gu
lato
rs
Ex
tern
al
au
dit
ors
Adapted from ECIIA/FERMA Guidance on the 8th EU Company Law Directive, article 41
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Key roles & responsibilitiesOperational management
Responsibilities
• Areas that own & manage risk
Key Activities
• Implement procedures and oversee execution of processes
• Design, implement, and maintain internal controls
• Implement corrective actions to address deficiencies
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Leading Practices
• Utilizing a long-term risk outlook
• Integrating controls into ways of working
1st line of defense
2nd line of defense
3rd line of defense
Key roles & responsibilitiesCompliance and risk management
Responsibilities
• Ongoing monitoring of risk and controls in support of management
Key Activities
• Assist management in the design and development of processes and controls
• Perform evaluations to assess if controls are performing as intended
• Inform management of emerging issues and changing risks
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Leading Practices
• Enhancing analytics capabilities for ongoing monitoring
• Coordinating risk evaluation with Internal Audit
1st line of defense
2nd line of defense
3rd line of defense
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Key roles & responsibilitiesInternal audit
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Leading Practices
• Increasing knowledge of the business
• Enhancing analytics and forensics capabilities
• Increasing visibility to escalate unmitigated risks
1st line of defense
2nd line of defense
3rd line of defense
Responsibilities
• Provide independent and objective assurance to management and the board
Key Activities
• Perform evaluations to assess effectiveness of internal controls
• Report on effectiveness of first and second lines of defense
• Provide assurance on the effectiveness of governance and risk management
Leveraging the three lines of defense as an asset
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Controls
Process
People
Defining roles and responsibilities such that each line understands their individual responsibilities within the risk framework
Coordinating risk identification to reduce duplication of efforts and coverage gaps
Documenting control activities and data to support consistency in control evaluation
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Walmart’s compliance program
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Overview of Walmart
28 countries
$482.2b fiscal year 2015 net sales
11k stores
245m customer
and member visits each week
2.2m associates
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7
Elements of an effective compliance program
People
Policies & Processes
Systems & Analytics
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Examples of key subject matters
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6 building blocks
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Level 3 Risk-Based Independent Assurance
Who?
Global Audit Services
w/External Support (as
needed)
What?
Assessing effectiveness of
overall compliance programs
Level 2 Risk-Based Continuous Improvement
Who?
Global Compliance w/External Support
(as needed)
What?
Monitoring implementation of controls/policies
Level 1 Execution-Based Inspecting
Who?
Business Management &
Operations
What?
Executing daily operational routines, controls and
procedures
Audit can be an effective partner
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Assess Risk
Develop the Audit Plan
Determine the Audit Approach
Conduct the Audit
Communicate the Results
Example of an Audit Approach
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Market Knowled
ge & Global
Trends/Insights
Audit
Results
Risk Assessment
DataProgram &
Market Maturity
Compliance Priorities
Assess Risk
Assess Risk
Develop the Audit Plan
Determine the Audit
Approach
Conduct the Audit
Communicate the Results
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10
Assess Risk
Develop the Audit Plan
Determine the Audit
Approach
Conduct the Audit
Communicate the Results
Compliance PrioritiesCompliance Audit Plan focused on the right local
market compliance risks, with a mix of walkthroughs, program reviews and process-level audits.
Subject Matter Priority Market 1 Market 2 Market 3 Market 4 Market 5
A High X X X X X
B High X X X X X
C High X X X
D Moderate X X X X
E Moderate X X X
Develop the Audit Plan
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Process-Level Audits
Ad Hoc Developing Practicing Optimizing Leading
Program-Level Audits
Compliance Program Maturity Level
Audit Approach may include:
Determine the Audit Approach
Assess Risk
Develop the Audit Plan
Determine the Audit
Approach
Conduct the Audit
Communicate the Results
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Assess Risk
Develop the Audit Plan
Determine the Audit
Approach
Conduct the Audit
Communicate the Results
Conduct the Audit & Communicate Results
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Leading practices to strengthen the second and third lines of defense
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12
Increasing coordination and effectiveness Compliance & Internal Audit collaboration
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3
Tailored Approach
4
Cross LineCoordination
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Tools & Technology
2
Talent Model
5
Knowledge Sharing
1
Risk Culture
Increasing coordination and effectiveness Risk Culture
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1
Risk Culture
• Involvement: board and senior management ownership in risk management
• Clarity: defining roles and leadership responsibilities to identify accountable owners
• Authority: elevating the authority and visibility of risk teams across the lines of defense
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Increasing coordination and effectiveness Talent Model
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2
Talent Model
• Business Knowledge: gain a clear understanding of strategic priorities and business operations
• Skills: evolving talent capabilities outside of risk management, including analytics, change management, technology, and operations
• Talent Pipeline: expanding the talent pipeline to include a mix of risk management, business, and functional resources
Increasing coordination and effectiveness Tailored Approach
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3
Tailored Approach
• Maturity: evaluate the level of maturity of the compliance program or processes
• Approach: utilize a mix of consulting and objective audit activities based on program maturity
• Risk Framework: establish a risk framework that is utilized across lines of defense
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Increasing coordination and effectiveness Cross Line Coordination
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4
Cross LineCoordination
• Risk Evaluation: collaborate to perform risk assessments and identify emerging risks
• Coverage: coordinate risk evaluation to reduce duplication of efforts and business impact; a “one-to-many” approach
• Approach: apply consistent risk methodology across lines of defense (e.g., risk definitions, severity ratings, data classification)
Increasing coordination and effectiveness Knowledge Sharing
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5
Knowledge Sharing
• Leadership Communication: ongoing meeting cadence across risk leadership to discuss emerging risks and issues
• Risk Reviews: regular compliance and internal audit meetings to discuss risks for changing business operations
• Reporting: consolidated risk reporting to provide management and the board with an holistic risk perspective
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Increasing coordination and effectiveness Tools & Technology
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6
Tools & Technology
• GRC tools: utilize a common risk framework and tools to perform risk assessment, monitoring, and evaluation
• Analytics: combine risk factors, business knowledge, and technology to enhance analytics to identify emerging risks
• Information Management: integrate risk methodology into data governance and management initiatives
Elevating the maturity for lines of defense
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Review unique responsibilities of each line of defense
Evaluate resources needed to keep pace with changing risks
Align resources to strategy & risk
Strive for aligned risk management
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PwC
PwC Contact Information
Phyllis Nordstrom, PricewaterhouseCoopers LLP
Director - Risk Assurance
214-754-5445; [email protected]
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Thank you
This publication has been prepared for general guidance on matters of interest only, and does not constitute professional advice. You should not act upon the information contained in this publication without obtaining specific professional advice. No representation or warranty (express or implied) is given as to the accuracy or completeness of the information contained in this publication, and, to the extent permitted by law PwC US, its members, employees and agents do not accept or assume any liability, responsibility or duty of care for any consequences of you or anyone else acting, or refraining to act, in reliance on the information contained in this publication or for any decision based on it.
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