But how can a mid-level manager (or consultant) convince busy senior managers of their role in compliance? It is certainly challenging, and here are a few suggestions:
While the ROI for export compliance will vary for individual firms, we can identify an overall value proposition easily surpassing the costs involved in implementing a compliance program.
Once you have brought the importance of compliance to senior management’s attention it will be more difficult for them to look the other way. This is known as self-blinding, which carries its own risk. Here is some information from the BIS website about ignoring the warning signs of a potential export:
(3) Do not self-blind. Do not cut off the flow of information that comes to your firm in the normal course of business. For example, do not instruct the sales force to tell potential customers to refrain from discussing the actual end-use, end user, and ultimate country of destination for the product your firm is seeking to sell. Do not put on blinders that prevent the learning of relevant information. An affirmative policy of steps to avoid “bad” information would not insulate a company from liability, and it would usually be considered an aggravating factor in an enforcement proceeding.
Securing C-level buy-in for export compliance is crucial for program success. Highlighting the potential financial and reputational risks, along with the positive impact on brand image and business growth, effectively communicates the value proposition of a strong compliance program.
By demonstrating the long-term benefits that outweigh compliance costs, you can empower senior management to champion a culture of export compliance within your organization. Remember, proactive compliance efforts can save your company significant time, money and legal headaches down the road.
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