In recent years, the SEC and DOJ have made it clear that they want to see hard data to support a company’s claim that its compliance program is robust and functioning effectively. But gathering and analyzing compliance program data can be a daunting task for many companies. In this quick guide, we provide step-by-step instructions on how companies can get started on the process. For a full discussion of this process see our four-part series on measuring compliance: “Getting Started” (Aug. 2, 2017); “Seven Areas of Compliance to Measure” (Aug. 16, 2017); “How to Measure Quality” (Sep. 6, 2017); and “Gathering and Analyzing Data” (Sep. 20, 2017).