Risk culture and culture of compliance are common buzzwords these days. What’s the difference and what does that mean for your institution? Read on to find out.
Compliance is the act of ensuring that no one at your institution (or working on behalf of your institution) knowingly or accidentally violates a law, regulation, rule, or an institution’s own internal policies.
By extension, a culture of compliance is creating an institution where compliance is a high priority and baked into every action and decision—and is not just an afterthought. While a great deal of strategy can go into how to interpret regulation and finding ways to make compliance a competitive advantage, it’s also a structured and regimented task-focused heavily on execution.
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As a result, the building blocks of a compliance culture are focused on ensuring a financial institution has the tools to complete compliance tasks unencumbered. They include:
Risk management is the process of identifying, assessing, measuring, mitigating, and monitoring risk—including both potential threats and opportunities. (Compliance risk, or the risk of failing to comply, is just one of many risks a financial institution faces.)
Enterprise risk management (ERM) takes risk management to the next level by fully integrating risk management into strategy starting at the very top of the organization. It’s defined as “the culture, capabilities, and practices that organizations integrate with strategy-setting and apply when they carry out that strategy, with the purpose of managing risk in creating, preserving, and realizing value,” according to Enterprise Risk Management—Integrating with Strategy and Performance, a voluntary framework with best practices for ERM published by COSO.
Notice that the word culture is literally ingrained in the definition of ERM. It’s not an add-on or a nice-to-have. It’s a must-have.
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What does a culture of risk management look like? A culture of risk management is a commitment to the core values of an institution. It is both a top-down exercise in developing policies, procedures, messaging, and compensation that supports the institution’s long-term goals, but also one where front-line employees take an active role in managing risk.
Some institutions are risk-averse while others take a more aggressive stance. Neither is necessarily right nor wrong as long as the institution has carefully considered the potential impact of its decision. What’s important is that the institution has carefully aligned its goals, mission, and vision with its risk tolerance for long-term success.
In its enterprise risk management framework, COSO suggests several qualities are needed in a risk-aware culture, one where accountability, behavior, and action all support the bank’s core values. They include:
While risk culture and compliance culture have many similarities, there are key differences between the two. Compliance is an area that involves fulfilling specific requirements on a regular basis. That makes the culture of compliance focus largely on task competition. Risk management culture is more broadly strategic. While there are tasks that must be regularly completed like in compliance, it then takes the results of all those actions to inform strategy.
Resilient banks should have both a compliance culture and a risk culture—but can you have one without the other? Maybe.
You can’t have a risk management culture without also having a compliance culture. Compliance is a high-risk area. Deficiencies can result in reputational damage, lawsuits, enforcement actions, civil money penalties, and any other number of expensive problems. Any risk management culture worth having would allocate resources to compliance and ensure compliance risk was properly managed.
Could you have a compliance culture without a risk management culture? I suppose it’s possible. If a bank had a strong compliance team that managed to get the buy-in of the board and management to build a good compliance program and ensure employees were involved in attaining compliance, it would have the building blocks of a compliance culture even if its overall risk management culture was lackluster.
But the benefits of the compliance culture would be limited. Compliance should be able to feed its results upwards, giving the board a piece of the puzzle that helps the board understand the financial institution’s overall risk exposure and where it fits in terms of its risk tolerance. Without a risk management culture, that information isn’t leveraged nearly as much as it should be.
Is your ERM program based on a strong risk culture? Does it build on the work of compliance, audit, and other areas to inform strategy? To learn more about how these areas can work together to create a more cohesive institution, download our whitepaper Kumbaya: Bringing Together Risk & Compliance.