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New Compliance Survey

UVa Compliance Survey
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Questions marked with an * are required Exit Survey
 
 
Compliance Area
 
 
 
Vice President (or Equivalent)
 
 
Survey completed by:
* First Name : 
* Last Name : 
Title : 
 
 
 
For the compliance progam in this area, please provide the status of the following components, which are deemed in the Federal Sentencing Guidelines to be minimum requirements:

 
 
 
* 1. We have established compliance standards and procedures to prevent and detect criminal activity.

[The organization shall establish standards and procedures to prevent and detect criminal conduct.]
 
No
 
Yes
 
In Progress
 
N/A (please explain)
 
 
Please enter the expected date of completion
MonthDayYear
  
 
 
* 2. We have established oversight by high-level personnel, with periodic reporting from individuals with operational responsibility.

[(A) The organization's governing authority shall be knowledgeable about the content and operation of the compliance and ethics program and shall exercise reasonable oversight with respect to the implementation and effectiveness of the compliance and ethics program.
(B) High-level personnel of the organization shall ensure that the organization has an effective compliance and ethics program, as described in this guideline. Specific individual(s) within high-level personnel shall be assigned overall responsibility for the compliance and ethics program.
(C) Specific individual(s) within the organization shall be delegated day-to-day operational responsibility for the compliance and ethics program. Individual(s) with operational responsibility shall report periodically to high-level personnel and, as appropriate, to the governing authority, or an appropriate subgroup of the governing authority, on the effectiveness of the compliance and ethics program. To carry out such operational responsibility, such individual(s) shall be given adequate resources, appropriate authority, and direct access to the governing authority or an appropriate subgroup of the governing authority.]
 
No
 
Yes
 
In Progress
 
N/A (please explain)
 
 
Please enter the expected date of completion
MonthDayYear
  
 
 
* 3. We have established due care in delegating substantial discretionary authority.

[The organization shall use reasonable efforts not to include within the substantial authority personnel of the organization any individual whom the organization knew, or should have known through the exercise of due diligence, has engaged in illegal activities or other conduct inconsistent with an effective compliance and ethics program.]
 
No
 
Yes
 
In Progress
 
N/A (please explain)
 
 
Please enter the expected date of completion
MonthDayYear
  
 
 
* 4. We have established effective communication to all levels of employees.

(A) The organization shall take reasonable steps to communicate periodically and in a practical manner its standards and procedures, and other aspects of the compliance and ethics program, to the individuals referred to in subparagraph (B) by conducting effective training programs and otherwise disseminating information appropriate to such individuals' respective roles and responsibilities.
(B) The individuals referred to in subparagraph (A) are the members of the governing authority, high-level personnel, substantial authority personnel, the organization's employees, and, as appropriate, the organization's agents.]
 
No
 
Yes
 
In Progress
 
N/A (please explain)
 
 
Please enter the expected date of completion
MonthDayYear
  
 
 
* 5. We have established systems for monitoring, auditing and reporting suspected wrong-doing without fear of reprisal and for periodically evaluating the effectiveness of the compliance and ethics programs.

The organization shall take reasonable steps—
(A) to ensure that the organization's compliance and ethics program is followed, including monitoring and auditing to detect criminal conduct;
(B) to evaluate periodically the effectiveness of the organization's compliance and ethics program; and
(C) to have and publicize a system, which may include mechanisms that allow for anonymity or confidentiality, whereby the organization's employees and agents may report or seek guidance regarding potential or actual criminal conduct without fear of retaliation.
 
No
 
Yes
 
In Progress
 
N/A (please explain)
 
 
Please enter the expected date of completion
MonthDayYear
  
 
 
* 6. We have established consistent enforcement of compliance standards including disciplinary mechanisms and appropriate incentives to perform in accordance with the compliance and ethics program.

[The organization's compliance and ethics program shall be promoted and enforced consistently throughout the organization through (A) appropriate incentives to perform in accordance with the compliance and ethics program; and (B) appropriate disciplinary measures for engaging in criminal conduct and for failing to take reasonable steps to prevent or detect criminal conduct.]
 
No
 
Yes
 
In Progress
 
N/A (please explain)
 
 
Please enter the expected date of completion
MonthDayYear
  
 
 
* 7. We have established reasonable steps to respond to and prevent further similar offenses upon detection of a violation.

[After criminal conduct has been detected, the organization shall take reasonable steps to respond appropriately to the criminal conduct and to prevent further similar criminal conduct, including making any necessary modifications to the organization's compliance and ethics program.]
 
No
 
Yes
 
In Progress
 
N/A (please explain)
 
 
Please enter the expected date of completion
MonthDayYear
  
 
 
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