StrategyDriven Editorial Perspective – Creating Event Certainty, part 1 of 3
With the ill-fated British Petroleum (BP) oil rig continuing to release vast amounts of crude into the Gulf of Mexico, it has now come to light that the United States government, focused on taking over vast portions of the American economy, was negligent in performing its rightful oversight role. A recent report by The New York Times indicated the U.S. Department of the Interior’s Minerals Management Service (MMS) “gave permission to BP and dozens of other oil companies to drill in the Gulf of Mexico without first getting required permits from another agency that assesses threats to endangered species – and despite strong warnings from that agency about the impact the drilling was likely to have on the gulf.” 1 And while MMS is charged with enforcing safety regulations and collecting drilling lease and royalty fees, a 2008 probe by U.S. Interior Department Inspector General Earl Devaney “found MMS employees had sex with and accepted gifts from industry contacts while failing to collect almost $200 million due from energy companies.” 2
Let’s face it; government regulators are not the only the only ones who get too cozy with those they provide oversight for. Accounting firm Arthur Andersen was found guilty of obstruction of justice for their role in helping conceal financial report mischaracterizations by its client, Enron.3 Similarly, the nuclear industry created oversight organization, the Institute of Nuclear Power Operations (INPO), has either failed to identify audited plant performance issues and effectively communicate them or evaluated utilities inadequately acted on INPO’s findings; necessitating ‘last line of defense’ action by the U.S. Nuclear Regulatory Commission as was the case at Arizona Public Service’s Palo Verde Nuclear Generating Station.4 In INPO’s case, its Board of Directors – those who set INPO’s executive salaries and the Institute’s budget – is comprised of nuclear utility Chief Executive Officers, the leaders of the organizations INPO is to independently assess.5 Note that APS’s CEO was INPO’s Chairman of the Board in 2005 during the onset of his plant’s recent performance decline.5, 6
Company leaders should not rely solely on government, consultant, and industry organizations to identify their risks; they and their workforce must actively assess their own performance to find those conditions, methods, and cultures that expose their organization to adverse outcomes. Several years ago, the Alaska Oil and Gas Conservation Commission found that Nabors Drilling, a subcontractor to BP, falsified blowout preventer test results on one of its Alaska oil rigs. One individual interviewed during the investigation alleged BP officials were aware of the practice but did nothing to prevent it.7 Given a blowout preventer failed to operate properly during the ongoing Gulf oil spill event – resulting in a significant release of crude oil to the environment – it is certain that BP and its vendors and contractors will be investigated for their operations, maintenance, and testing practices; this time with the whole world watching.
StrategyDriven Recommended Practices
These events represent a failure to recognize and/or appropriately response to risks. Some of these cases represent a conflict of interest: sexual favors, gift giving, and direct compensation and bonus awards; others an inadequate significance assignment or an ineffective response to findings. They also highlight the existence of unnecessary uncertainty associated with ineffective risk management systems. Because every organization faces risks, how then can unnecessary uncertainty be recognized such that risks are minimized, mitigated, transferred, and/or avoided? What of the unnecessary risk presented by the operations of those companies monitored by those regulators and auditors having a history of performance lapses or others that are structured and/or rewarded in a way that might breed a conflict of interest?
Assessment Practices – Recognizing Risks
- Don’t rely on a single auditor or audit organization. Relying on only one mechanism to identify issues leaves the conflict of interest risk unaddressed. Without redundant oversight groups, bias or ineptness on the part of the singular assessor will leave the organization fully exposed in that area. Not every aspect of performance warrants redundant assessment. Only those areas presenting high or catastrophic risk to the organization should be considered for this added expense.
- Create a culture that values constructive criticism as a vital part of organizational learning and growth. If executives, managers, and employees truly embrace constructive feedback as an opportunity to learn and improve, then the organization itself will identify many of its shortfalls. However, some shortcomings may be outside of the workforce’s collective experience and so actions 1 and 4 still apply.
- Protect internal assessors from abusive feedback and retribution (if needed). Organizations not having a learning culture often blame the messenger for identified performance shortfalls. In these cases, it is important to senior leaders to provide cover for assessors until such a culture has been developed.
- Engage truly independent assessors in the performance evaluation process. Independent assessors as highlighted in both StrategyDriven Strategic Analysis Best Practice 4 – Independent Assessors and StrategyDriven Podcast Episode 15 – Independent Assessors provide a unique, less biased perspective on the organization’s performance and are therefore more likely to identify value adding opportunities. This occurs because the independent assessors are not unduly influenced by the organization’s history and shared culture, they have less fear of retribution and adverse career impact, and if well selected possess knowledge and experience in areas outside that of the organization’s workforce.
- Use quantifiable information to the extent possible during assessments. Basing assessment findings on quantifiably observable facts helps eliminate subjectivity and opinion from the evaluation’s findings; making it more acceptable to the assessed organization.
- Assess performance against best practice and/or ideal performance; defining performance standards ahead of the assessment. Establishing and communicating the standards by which the organization’s performance will be assessed makes the results more quantifiable and therefore more accepted as well as providing a progress measure for improvement initiatives.
- Actively monitor the publicly available regulatory and audit reports of other companies. Treat the risks posed by other organizations no differently than you would those of direct marketplace competitors. Monitor these businesses’ activities for signs of undesired activities or results.
- Identify and measure marketplace factors that indicate if the performance of other organizations represents a potentially adverse risk to your company. Not all adverse impacts will be realized through direct interaction with this high risk companies. Some impacts may be transferred via suppliers/vendors and customers. Therefore, it is important to understand and monitor the overall marketplace environment.
- Engage with the leaders of these organizations in public and private forums to identify and, as necessary, mitigate risks. If another, non-competitor organization presents a real risk to your company’s operations, communicate that risk to that organization’s leaders and work with them to minimize that risk. A good offense, with the spirit of goodwill and partnership, is sometimes the best defense.
Additional Resources
StrategyDriven best practices (and warning flags) regarding the practices associated with the identification of organizational risks can be found in our Strategic Analysis and Self Assessment Program topic areas.
Final Thoughts…
Enterprise risk management (ERM) is a critical component of an organization’s strategy to mitigate, transfer, and avoid the adverse impacts of undesired events. The recommendations provided within this editorial focus on the assessment activities associated with ERM and represent all those activities that are in our view the several critical actions organizations should take to identify potential adverse events that naturally occur as a part of doing business. It has been our experience that the cost of incident prevention far outweighs the cost of incident recovery. While it is sometimes difficult to justify the expense for preventative action, one only has to look at the cost in life and property of recent industrial accidents to know this cost is truly worthwhile.
Lastly, we identified four organizations – the U.S. Department of the Interior’s Mineral Management Service, Arthur Andersen, the Institute of Nuclear Power Operations, and British Petroleum – as having had performance shortfalls documented in the public domain. In fairness to the dedicated individuals employed by these organizations, many companies and the public have benefited from their well-intentioned oversight efforts. StrategyDriven believes that reforms, both within these organizations and those they serve, are needed to further reduce the likelihood that future catastrophic failure injures the public, employees, shareholders, other stakeholders (vendors, suppliers, and consumers), and the environment.
Final Request…
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Sources
- “U.S. Said to Allow Drilling Without Needed Permits,” Ian Urbina, The New York Times, May 13, 2010 (http://www.nytimes.com/2010/05/14/us/14agency.html)
- “Oil-Spill Agency Fetches $13 Billion Amid ‘Cozy Ties,” Jim Efstathiou Jr., Bloomberg-Businessweek, May 16, 2010 (http://www.businessweek.com/news/2010-05-11/oil-spill-agency-fetches-13-billion-amid-cozy-ties-update4-.html)
- “Called to Account,” Cathy Booth Thomas, Time, June 18, 2002 (http://www.time.com/time/business/article/0,8599,263006,00.html)
- “Palo Verde Performance Improvement Plans,” David Lochbaum, Union of Concerned Scientists, January 11, 2008(http://www.ucsusa.org/assets/documents/nuclear_power/20080111-pv-ucs-r4-inpo-role.pdf)
- “INPO Overview,” Clair Goddard, Institute o Nuclear Power Operations, March 2005 (http://www.serc1.org/documents/Joint%20Standing%20Committees/2005/SERC%20Joint%20Committee%20Meeting%20%283-10-05%29%20Myrtle%20Beach/10a.%20Clair%20Goddard%20-%20Keynote%20Speaker%20from%20INPO.pdf)
- “Annual Assessment Letter – Palo Verde Nuclear Generating Station (NRC Inspection Report 05000528/2006001; 05000529/2006001; 05000530/2006001),” US Nuclear Regulatory Commission, March 2, 2006 (http://www.nrc.gov/NRR/OVERSIGHT/ASSESS/LETTERS/palo_2005q4.pdf)
- “Whistleblower Claims That BP Was Aware Of Cheating On Blowout Preventer Tests,” Marcus Baram, The Huffington Post, May 13, 2010 (http://www.huffingtonpost.com/2010/05/12/bp-whistleblower-claimed_n_573839.html)
Leadership Inspirations – How to Have a Positive Impact
“Be sure to listen carefully, answer wisely, and take action thoughtfully. The positive impact of your presence and production depends on it.”
Howard T. Dickens Jr.
StrategyDriven Podcast Special Edition 34b – An Interview with Dave Esler, co-author of The Pursuit of Something Better, part 2 of 2
StrategyDriven Podcasts focus on the tools and techniques executives and managers can use to improve their organization’s alignment and accountability to ultimately achieve superior results. These podcasts elaborate on the best practice and warning flag articles on the StrategyDriven website.
Special Edition 34b – An Interview with Dave Esler, co-author of The Pursuit of Something Better, part 2 of 2 examines how U.S. Cellular achieved superior results by becoming a Dynamic Organization, a transformational change that focused the organization on the customer and on valuing its front line associates. During our discussion, Dave Esler, co-author of The Pursuit of Something Better and Principal at Esler Kruger Associates, shares with us his insights and illustrative examples regarding:
how U.S. Cellular defines employee empowerment
- mechanisms used to recruit individuals who embody the ‘Dynamic Organization’ culture
- actions taken when individuals not buying into the organization’s culture are identified
- how executives judge the amount of change their organization can absorb at any one time
- what U.S. Cellular leaders would do differently if they were to implement the ‘Dynamic Organization’ model beginning today
Additional Information
In addition to the invaluable insights Dave shares in The Pursuit of Something Better and this special edition podcast are the resources accessible from his website, www.EslerKruger.com. Dave’s book, The Pursuit of Something Better
, can be purchased by clicking here
.
Final Request…
The strength of our community grows with the additional insights brought by our expanding member base. Please consider rating us on iTunes by clicking here. Rating the StrategyDriven Podcast and providing your comments online improves our ranking and helps us attract new listeners which, in turn, helps us grow our community.
Thank you again for listening to the StrategyDriven Podcast!
About the Author
Dave Esler, co-author of The Pursuit of Something Better, is a Principal at Esler Kruger Associates, a consulting firm that for more than 20 years has helped organizations and their leaders become more effective. Dave has a corporate background in communications and human resources from Metropolitan Life and Nortel Networks and several years of consulting experience. He is the author of many articles on a variety of business topics.
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Six Steps to Achieving Work-Life Balance
Work life balance is the key issue of these times. Because we can work and be connected around the clock should we? My son is a swimmer and swimmers, as well as other successful athletes, work under certain success criteria. Here they are: 1) they set goals and reward themselves when they reach them; 2) they can turn on and off their focus; 3) they build up their work efforts to a peak, knowing that a rest or taper period is coming; 4) they know that by training with fast sprints they are ready to work harder at a much more efficient pace; 5) they know that a positive attitude makes all the difference; and 6) they plan their time well and plan themselves first. Let’s break these down as they relate to taking a vacation.
1) Setting Goals and Rewarding Yourself. I know that when I reward myself for hitting my numbers, I am more motivated to reach my objectives and I can usually build into my goal a financial target that pays for the reward (trip). I have a sense of accomplishment and that energy is felt by everyone around me. Reward yourself with a trip by setting the right goals and feel the power.
[wcm_restrict]2) Focus. Being focused and clear on your key priorities each and every day allows one to accomplish more. As a result of this focus, the time and money follow that allow for vacation time. What do those days before a great vacation look like to you in your office now? Do you work harder before a trip? Do you make better and clearer decisions? Are you more organized? Do you delegate more? What if you could accelerate the number of days like that you had and were say 10% more effective for 12 weeks of a quarter? Do you think you could reward yourself with a week off as a result? If we are all judged by our results, why not?
3) Build and Taper. When I was training for the iron man, I worked out extremely hard for a number of weeks and then gave myself an easy one to taper. My coach said it allowed my body to heal, and it kept me from burning out. Is tapering a key element to your work effectiveness? Could it be your secret weapon?
4) Sprints versus Endurance. I swim often. I know that in order for me to swim faster, it is more important to swim ten 50 yard sprints versus one 500 yard endurance set. As a result, I go faster. Can you harness the power of sprints (hard work at a fast pace in between your rest periods) to not only produce the same amount as you would have if you never took a break, but you reached higher heights? It’s possible – I do.
5) Attitude. What can place you in a better attitude than a vacation? What if you knew where your future trips were going to be and when – and you had them planned? Would you have a great attitude? You would always have something to look forward to? Your mind would be expanded and refreshed, and you would have to hit your objectives to fund these endeavors. Knowing that you have excitement in your future delivers the positive energy necessary for success.
6) Time Management. I have found that there is so much wasted time each day. Heck, just reviewing my email can take most of the day if I let it. If my objectives are clear and my priorities are straight, I know what to do and what not to do and this frees me up to do what I want to do. Did you stay with me on that one? You are wasting time now. Stop and invest this time in the right work and life objectives.
Is it possible to work less and travel more – and be even more successful? Without giving away all my secrets I will tell you that for ten years I have worked to build around me the people, procedures, goals, and empowerment to allow me to do more. I am happy, my family is happy, my staff and customers are happy and our results have never been better (17% average year over year growth for the last ten years). You can take these vacations but it takes a commitment to a change in lifestyle. Financial planners say that you should pay yourself first. I say that you should plan yourself first (planning your personal time first). Then, sprint efficiently and happily from one positive thing to the next and leave others to determine if you are working or playing!
Go Away !!![/wcm_restrict][wcm_nonmember]
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About the Author
Michael MacNair owns MacNair Travel Management, a privately owned American Express Representative Office, which has helped organizations develop a clear Travel Management System that delivers unparalleled value and exceeds expectations. MacNair Travel is a Travel Leadership Consulting Firm because of its proactive consulting toward the development of a cutting-edge travel plan, dedication to unbiased rate searches that save money and time, and dedicated service teams that build confidence. Michael MacNair, author of Smooth Landings
, conducts Travel Management seminars for many organizations, such as the National Business Travel Association, and is a frequent media spokesperson. For more information, visit: www.macnairtravel.com or call 703-836-1100.
Standards and Expectations Warning Flag 2 – Ghost Standards
Some things can go without saying… performance standards are not one of them.
By defining expected behaviors, performance standards serve as both a translation of the organization’s values and a foundational cornerstone of individual accountability. Yet some executives and managers don’t specify their expectations; leaving employees to decide for themselves what behaviors to exhibit. And because of differing individual gifts, experiences, and beliefs, each employee will divine a slightly different set of expectations; resulting in inconsistent performance at best.
Executives and managers not defining and communicating their performance expectations abdicate their authority as arbiters of accountability to the workforce. Without informing employees of what is expected of them, leaders cannot hold workers accountable when something goes right or wrong – there is no yardstick against which to make such judgments. Accountability disappears in the face of employee challenges to management’s criticisms of them and praise of others.
Ghost standards are those vague and undefined performance expectations managers believe workers will intuitively know. While this may be true of even a majority of the existing workforce, turnover and time-in-life dependent values will likely change this situation; leaving employees guessing as to what management really wants and managers wondering what went wrong.
Absent the mechanisms that define expected worker performance, executives and managers cannot expect either consistency in employee actions or results. Ghost standards erode management’s authority and can ultimately lead to a diminished bottom line. While not all inclusive, the four lists below, Process-Based Warning Flags, Process Execution Warning Flags – Behaviors, Potential, Observable Results, and Potential Causes, are designed to help organization leaders to recognize whether they have abdicated their responsibility to actively manage worker performance by relying on undefined, unspoken behavioral standards. Only after a problem is recognized and its causes identified can the needed action be taken to move the organization toward improved performance.
Process-Based Warning Flags
- standards are not well documented or easily located and retrieved
- communications programs, such as a required reading program, does not exist or do not adequately ensure employee awareness and understanding of performance standards and expectations
- compliance with performance and quality standards are not tracked with mechanisms such as performance metrics
- training programs do not routinely reinforce all of the organization’s performance standards and expectations
- reinforcement programs, such as a management observation program, either does not exist or does not adequately cover the broad spectrum of organizational standards
- adherence to performance standards and expectations is not incorporated into the organization’s performance appraisal system
Process Execution Warning Flags – Behaviors
- executives and managers do not routinely include the discussion of organizational performance standards in their communications
- executives and managers do not make the time to observe in-the-field work and reinforce performance expectations; they seldom practice management by walking around
- executives and managers seldom provide feedback outside of routine performance review periods
- executives and managers do not demand or focus on performance measures reflective of the organization’s adherence to performance standards
Potential, Observable Results
- Inconsistent employee performance and results
- Frustration and attrition of top performing employees
- Overall financial performance is less than what it could be if all employees met the high standards expected by leadership and reflected in the work of top performers
Potential Causes
- executives and managers don’t feel the routine reinforcement of standards is important
- executives and managers assume employees understand what is expected of them and so don’t believe it is necessary to document and make easily accessible specific performance guidelines
- executives and managers feel overwhelmed by administrative work and prioritize in-the-field observation of work and reinforcement of standards as being of secondary importance
- executives and managers are uncomfortable with confrontation and so do not aggressively reinforce organizational standards
Additional Information
The following StrategyDriven resources can be used to further explore the relationship between defined expectations and accountability and help reduce the likelihood ghost standards will be relied upon to manage an organization.