180 likes | 322 Views
Burned Once… Using KRIs to Avoid Litigation and Vice Versa. Joan R. Dindoffer VP and Chief Compliance Officer Private Fiduciary Services Comerica Bank Detroit, Michigan (313)222-9386 jrdindoffer@comerica.com March 31, 2010
E N D
Burned Once…Using KRIs to Avoid Litigation and Vice Versa Joan R. Dindoffer VP and Chief Compliance Officer Private Fiduciary Services Comerica Bank Detroit, Michigan (313)222-9386 jrdindoffer@comerica.com March 31, 2010 Note: The views expressed are those of the presenter, and not Comerica.
Burned once, shame on you. Burned twice, shame on me. • Learn from mistakes. • Litigation • Complaints • Audits • Regulatory Exams • Media Reports • Reported Cases
Pay attention to potential risks at each step in the life of an account. • Account Acceptance • Assets • Expectations • Circumstances of appointment • Account Reviews • Initial Post Acceptance & Annual • Administrative & Reg 9 • Discretionary Distributions • Complaints • Litigation
No surprises! • All the signs were there: • Account Reviews • Discretionary Action Minutes • Complaint Logs
Caution Signs • Concentrations • Own bank stock • Other conflicts • Alternative investments • Closely held assets • Real estate • Performance • Depletion of principal
It’s not always what it seems.Also look for these red flags: • Family dynamics • Squabbles over tangible personal property • Step families • Substance abuse • Spendthrifts • Significant distributions • Unequal distributions • Depletion of principal • Liquidity needs • Account pledged as collateral for bank loan • Difficulties with prior trustee
T.A.R.P.(the kind you CAN control) • Track and Trend • Track by officer, market, business unit, product line, amount of exposure, how surfaced • Trend over each of these criteria • Analyze for pervasiveness and root cause • Report to management and independent compliance oversight committees • Program changes to mitigate risk including enhancements to systems, policies & procedures, controls, and training.
Identify the ROOT CAUSEof the complaint, loss, or claim. • Customer service • Investment performance • Appropriate investment objective and adherence thereto • Poor administration • Documentation • Communication
Analyze the problem. • Fix System • Revise Procedures/Process • Look for system defects • Policy, procedure & process gaps • Widespread unfamiliarity with policies • Flagrant disregard of policies • No perceived issue • Individual training • Supervision • Conscious business risk
Jump into action, before history repeats itself. • Immediate claims -best controlled with prompt attention. • Extrapolate globally to: -Fix systems -Address control gaps -Enhance policies and procedures -Train -Sensitize management to business risks -Address identified pockets of personnel and supervisory issues.
When all else fails • Follow these common sense axioms from “Poor Joan’s Almanac.” (With apologies to Ben Franklin.)
“Mean what you say, and say what you mean.” • Make sure you are following the terms of the governing document, including all amendments, codicils, and court orders. • Make sure you follow your policies and procedures. Don’t establish unrealistic standards. • Follow through on correspondence. Under promise, over deliver.
“Document, Document, Document.” If it’s not in writing, it doesn’t exist.
“Keep your friends close, and your clients even closer.” • Know your customer. • Know the family dynamics. • Be alert to changes in habits. • Over communicate. • Verify client authorizations.
“Two heads are better than one.” • Dual control over • Security of physical assets, medallion stamps, checks. • Secondary approval of address and statement changes. • Oversight of transaction processing • Trading errors • Wire instructions • Reconciliations
Questionsand Comments Thank You!