Federal Budget
Opportunities for Oversight and Improved Use of Taxpayer Funds
Gao ID: GAO-03-922T June 18, 2003
No government should waste its taxpayers' money, whether we are operating during a period of budget surpluses or deficits. Further, it is important for everyone to recognize that waste, fraud, abuse, and mismanagement are not victimless activities. Resources are not unlimited, and when they are diverted for inappropriate, illegal, inefficient, or ineffective purposes, both taxpayers and legitimate program beneficiaries are cheated. Both the Administration and the Congress have an obligation to safeguard benefits for those that deserve them and avoid abuse of taxpayer funds by preventing such diversions. Beyond preventing obvious abuse, government also has an obligation to modernize its priorities, practices, and processes so that it can meet the demands and needs of today's changing world. More broadly, the federal government must reexamine the entire range of policies and programs--entitlements, discretionary, and tax incentives--in the context of the 21st century. Periodic reexamination and revaluation of government activities has never been more important than it is today. Our nation faces long-term fiscal challenges. Increased pressure also comes from world events: both from the recognition that we cannot consider ourselves "safe" between two oceans--which has increased demands for spending on homeland security--and from the U.S. role in an increasingly interdependent world. And government faces increased demands from the American public for modern organizations and workforces that are responsive, agile, accountable and responsible.
First, it is important to deal with areas vulnerable to fraud, waste, abuse and mismanagement. Payments to ineligibles drain resources that could otherwise go to the intended beneficiaries of a program. Everyone should be concerned about the diversion of resources and subsequent undermining of program integrity. Second, and more broadly, policymakers and managers need to look at ways to improve the economy, efficiency and effectiveness of federal programs and specific tax expenditures. Even where we agree on the goals of programs, numerous opportunities exist to streamline, target and consolidate to improve their delivery. This means looking at program consolidation, at overlap and at fragmentation. For example, it means tackling excess federal real property--whether at home or abroad. It means improved targeting in both spending programs and tax incentives--in some cases, spreading limited funds over a wide population or beneficiary group may not be the best approach. Finally, a fundamental reassessment of government programs, policies, and activities can help weed out programs that are outdated ineffective unsustainable, or simply a lower priority than they used to be. In most federal mission areas--from low-income housing to food safety to higher education assistance--national goals are achieved through the use of a variety of tools and, increasingly, through the participation of many organizations, such as state and local governments and international organizations, that are beyond the direct control of the federal government. Government cannot accept as "givens" all of its existing major programs, policies, and operations. A fundamental review of what the federal government does, how it does it, and in some cases, who does the government's business will be required, particularly given the demographic tidal wave that is starting to show on our fiscal horizon.
GAO-03-922T, Federal Budget: Opportunities for Oversight and Improved Use of Taxpayer Funds
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United States General Accounting Office:
GAO:
Testimony:
Before the Committee on the Budget U.S. House of Representatives:
For Release on Delivery:
Expected at 10:00 a.m. EDT Wednesday, June 18, 2003:
FEDERAL BUDGET:
Opportunities for Oversight and Improved Use of Taxpayer Funds:
Statement of David M. Walker,
Comptroller General of the United States:
GAO-03-922T:
Mr. Chairman, Mr. Spratt, members of the Committee:
It is a pleasure to be here today as you deal with one of your
important obligations--to exercise prudence and due care in connection
with taxpayer funds. No government should waste its taxpayers' money,
whether we are operating during a period of budget surpluses or
deficits. Further, it is important for everyone to recognize that
waste, fraud, abuse, and mismanagement are not victimless activities.
Resources are not unlimited, and when they are diverted for
inappropriate, illegal, inefficient, or ineffective purposes, both
taxpayers and legitimate program beneficiaries are cheated. Both the
Administration and the Congress have an obligation to safeguard
benefits for those that deserve them and avoid abuse of taxpayer funds
by preventing such diversions. Beyond preventing obvious abuse,
government also has an obligation to modernize its priorities,
practices, and processes so that it can meet the demands and needs of
today's changing world. More broadly, the federal government must
reexamine the entire range of policies and programs--entitlements,
discretionary, and tax incentives--in the context of the 21ST century.
Periodic reexamination and revaluation of government activities has
never been more important than it is today. Our nation faces long-term
fiscal challenges. Increased pressure also comes from world events:
both from the recognition that we cannot consider ourselves "safe"
between two oceans--which has increased demands for spending on
homeland security--and from the U.S. role in an increasingly
interdependent world. And government faces increased demands from the
American public for modern organizations and workforces that are
responsive, agile, accountable and responsible.
As everyone on this committee knows well, only about 39% of the federal
budget--and even less if you look only at programmatic spending--is
discretionary. The rest is direct or mandatory spending.[Footnote 1]
[See PDF for image]
[End of figure]
In addition, we can't forget about tax incentives. I make this point to
reinforce the fact that efforts to assure prudent use of taxpayer
funds, efforts to guard against fraud, waste, abuse and mismanagement,
and efforts to improve economy, efficiency and effectiveness cannot
focus solely on discretionary appropriations but must also encompass
mandatory programs and tax policy, including tax incentives.
Direct, or mandatory, spending programs are by definition assumed in
the baseline and not automatically subject to annual congressional
review as are appropriated discretionary programs. Nonetheless, a
periodic reassessment of these programs, as well as tax incentives, is
critical to achieving fiscal discipline in the budget as a whole.
Moreover, such a review can help ascertain whether these programs are
protected from the risk of fraud, waste and abuse and are designed to
be as cost effective and efficient as possible.
As you know, the Budget Resolution directs GAO to prepare a report
identifying "instances in which the committees of jurisdiction may make
legislative changes to improve the economy, efficiency, and
effectiveness of programs within their jurisdiction." My testimony
draws in part on some of the items that will be included in that
report.
Today I want to talk about program reviews, oversight, and stewardship
of taxpayer funds on several levels:
First, it is important to deal with areas vulnerable to fraud, waste,
abuse and mismanagement. Payments to ineligibles drain resources that
could otherwise go to the intended beneficiaries of a program. Everyone
should be concerned about the diversion of resources and subsequent
undermining of program integrity.
Second, and more broadly, policymakers and managers need to look at
ways to improve the economy, efficiency and effectiveness of federal
programs and specific tax expenditures. Even where we agree on the
goals of programs, numerous opportunities exist to streamline, target
and consolidate to improve their delivery. This means looking at
program consolidation, at overlap and at fragmentation. For example, it
means tackling excess federal real property--whether at home or abroad.
It means improved targeting in both spending programs and tax
incentives--in some cases, spreading limited funds over a wide
population or beneficiary group may not be the best approach.
Finally, a fundamental reassessment of government programs, policies,
and activities can help weed out programs that are outdated ineffective
unsustainable, or simply a lower priority than they used to be. In most
federal mission areas--from low-income housing to food safety to higher
education assistance--national goals are achieved through the use of a
variety of tools and, increasingly, through the participation of many
organizations, such as state and local governments and international
organizations, that are beyond the direct control of the federal
government. Government cannot accept as "givens" all of its existing
major programs, policies, and operations. A fundamental review of what
the federal government does, how it does it, and in some cases, who
does the government's business will be required, particularly given the
demographic tidal wave that is starting to show on our fiscal horizon.
Addressing Vulnerabilities to Fraud, Waste, Abuse and Mismanagement:
Programs and functions central to national goals and objectives have
been hampered by daunting financial and program management problems,
exposing these activities to fraud, waste and abuse. These weaknesses
have real consequences with large stakes that are important and visible
to many Americans. Some of the problems involve the waste of scarce
federal resources. Other problems compromise the ability of the federal
government to deliver critically needed services, such as ensuring
airline safety and efficiently collecting taxes. Still others may
undermine government's ability to safeguard critical assets from theft
and misuse.
In 1990, GAO began a program to report on government operations we
identified as "high risk." This label has helped draw attention to
chronic, systemic performance and management shortfalls threatening
taxpayer dollars and the integrity of government operations. Over the
years GAO has made many recommendations to improve these high-risk
operations. We discovered that the label often inspired corrective
action--indeed 13 areas have come off the list since its inception. For
each of these areas, we focus on (1) why the area is high-risk; (2) the
actions that have been taken and that are under way to address the
problem since our last update report and the issues that are yet to be
resolved; and (3) what remains to be done to address the risk.
In January of this year we provided an update for the 108TH Congress,
giving the status of high-risk areas included in our last report
[January 2001] and identifying new high-risk areas warranting attention
by the Congress and the administration.[Footnote 2] GAO's 2003 high-
risk list is shown in Attachment I. Lasting solutions to high-risk
problems offer the potential to save billions of dollars, dramatically
improve service to the American public, strengthen public confidence
and trust in the performance and accountability of our national
government, and ensure the ability of government to deliver on its
promises.
In addition to perseverance by the administration in implementing
needed solutions, we have noted that continued congressional interest
and oversight, such as that exemplified by this hearing today are of
crucial importance. The administration has looked to our
recommendations in shaping government-wide initiatives such as the
President's Management Agenda, which has at its base many of the areas
we have previously designated as high risk.
Clearly progress has been made in addressing most of the areas on our
current high risk list, both through executive actions and
congressional initiatives. However, many of these problems and risks
are chronic and long standing in nature and their ultimate solution
will require persistent and dedicated efforts on many fronts by many
actors. Some will require changes in laws to simplify or change rules
for eligibility, provide improved incentives or to give federal
agencies additional tools to track and correct improper payments.
Continued progress in improving agencies' financial systems,
information technology resources and human capital will be vital in
attacking and mitigating risks to federal program integrity. Some areas
may indeed require additional investments in people and technology to
provide effective information, oversight and enforcement to protect
programs from abuse. Ultimately, a transformation will be needed in the
cultures and operations of many agencies to permit them to manage risks
and foster the kind of sustained improvements in program operations
called for. Continued persistence and perseverance in addressing the
high risk areas will ultimately yield significant benefits for the
taxpayers over time. Finding lasting solutions offers the potential to
achieve savings, improved service and strengthened public trust in
government.
I will now address some specific areas and examples from both our high
risk work and other program reviews that illustrate both the problems
facing us and the opportunities for congressional and executive actions
to better safeguard taxpayer funds.[Footnote 3]
Improper Payments:
Improper payments include inadvertent errors, such as duplicate
payments and miscalculations; payments for unsupported or inadequate
supported claims; payments for services not rendered; payments to
ineligible beneficiaries; and payments resulting from outright fraud
and abuse by program participants and/or federal employees. Recently,
agencies' financial statements also have begun to identify and measure
the wide range of improper payments involved in many activities
throughout government. Agency financial statements for both fiscal
years 2002 and 2001 identified improper payment estimates of
approximately $20 billion. OMB recently testified that the amount of
improper payments was closer to $35 billion annually for major benefit
programs. This range may be indicative of the fact that it is hard to
get a handle on the precise total. Furthermore, as significant as these
amounts are, they do not represent a true picture of the magnitude of
the problem governmentwide because they do not consider other
significant but smaller programs and other types of agency activities
that could result in improper payments. In reviewing fiscal year 2002,
agency financial statements of the 24 CFO Act agencies, we found
references to improper payments in 17 agencies and 27 programs.
Unfortunately, not all of them provided information on the amount of
such payments. In the federal government, improper payments occur in a
variety of program activities, including those related to contractors
and contract management, such as defense; healthcare programs, such as
Medicare and Medicaid; financial assistance benefits, such as Food
Stamps and housing subsidies; and tax refunds.
The Medicare Program:
The sheer size and complexity of the Medicare program makes it highly
vulnerable to fraud, waste and abuse. In fiscal year 2002, Medicare
paid about $257 billion for a wide variety of inpatient and outpatient
health care services for over 40 million elderly and disabled
Americans. To help administer claims the Centers for Medicare &
Medicaid Services (CMS) contracts with 38 health insurance companies to
process about 900 million claims submitted each year by over 1 million
hospitals, physicians, and other health care providers. Although CMS
has made strides, much remains to be done. We have recommended actions
in a number of specific areas, including:
Reducing Improper Payments--Since 1996, annual audits by the Department
of Health and Human Services' Office of the Inspector General have
found that Medicare contractors have improperly paid claims worth
billions of dollars--$12.3 billion in fiscal year 2002 alone. CMS has
been working to better hold individual contractors accountable for
claims payment performance and help them target remedial actions to
address problematic billing practices. Program safeguard activities
have historically produced savings--in the past CMS has estimated a
return of over $10 for every dollar spent in this area:
Monitoring managed care plans: In 2001 auditors found that 59 of 80
health plans had misreported key financial data or had accounting
records too unreliable to support their data, but CMS did not have a
plan in place to resolve these issues.
Improving financial management processes: Despite a "clean" opinion on
its financial statements, CMS financial systems and processes do not
routinely generate information that is timely or reliable and do not
ensure confidentiality of sensitive information.
Collecting debt: At the end of fiscal year 1999, over $7 billion of
debt had accumulated on contractors' books as accounts receivable that
were neither collected nor written off. While Medicare contractors have
referred eligible delinquent debt to the Treasury for collection, CMS
continues to face challenges in ensuring that contractors consistently
make these referrals and is working to address this.
Reducing excessive payments for services and products. These hurt not
only the taxpayers but also the program's beneficiaries who are
generally liable for co-payments equal to 20 percent of Medicare's
approved fee. Excessive payments have been found for:
Home health care or skilled nursing facility care: Medicare pays as
much as 35 percent more than providers' costs for home health care and
19 percent more for skilled nursing facility care. Unfortunately, CMS
has not adopted our recommendation that would minimize excessive
payments to some home health agencies.[Footnote 4]
Medical products--Medicare's payment approaches lack the flexibility to
keep pace with market changes. Payments for medical equipment and
supplies are through fee schedules that remain tied to suppliers'
historical charges to the program. Evidence from two competitive
bidding projects suggests that competition might provide a tool that
facilitates setting more appropriate payment rates that result in
program savings:
Outpatient drugs--Medicare pays list prices set by drug manufacturers,
not prices providers actually pay. In September 2001, we reported that
in 2000 Medicare paid over $1 billion more than other purchasers for
outpatient drugs that the program covers. CMS has not acted upon our
recommendations in this area.[Footnote 5]
Medicare Excessive Payments: Outpatient Drugs; In some cases,
Medicare's payments were so high that the beneficiaries' co-payments
alone exceeded the purchase price available to the provider.
In 2001,
* Medicare paid $3.34 per unit for Ipratropium bromide although it
is widely available for $0.77 per unit;
* Medicare paid $588 for leuprolide acetate although it was widely
available at a cost of $510.
The Medicaid Program:
Medicaid, which pays for both acute health care and long-term care
services for over 44 million low-income Americans, has been subject to
waste and exploitation. In fiscal year 2001, federal and state Medicaid
expenditures totaled $228 billion. The federal share was about 57
percent, representing 7 percent of all federal outlays. Medicaid is the
third largest social program in the federal budget (after Social
Security and Medicare) and the second largest budget item for most
states (after education).
CMS, in the Department of Health and Human Services (HHS) is
responsible for administering the program at the federal level, while
the states administer their respective program's day-to-day operations.
The challenges inherent in overseeing a program of Medicaid's size,
growth, and diversity, combined with the open-ended nature of the
program's federal funding, puts the program at high risk. Inadequate
fiscal oversight has led to increased and unnecessary federal spending.
GAO has made recommendations in a number of areas, such as:
Curb state financing schemes. Such schemes inappropriately increase the
federal share of Medicaid expenditures. For example, some states have
created the illusion that they made large Medicaid payments to
providers while in reality they only made temporary electronic funds
transfers that the providers were required to return to them. In some
cases, states have used federal payments for purposes other than
Medicaid. Although Congress and CMS have repeatedly acted to curtail
abusive financing schemes, states have developed new variations. Each
has the same result: some of the state's share of program expenditures
is shifted to the federal government. Curbing abusive state practices
is of increasing importance today since states are under budgetary
pressures. Experience shows that some states are likely to look for
other creative means to supplant state financing, making a compelling
case for the Congress and CMS to sustain vigilance over federal
Medicaid payments.
Curbing states' exploitative practices can yield substantial savings.
CMS' 2001 regulation to close one significant loophole that was being
increasingly used by states to generate excessive federal Medicaid
payments, referred to as the upper payment limit, is estimated to save
the federal government $55 billion over 10 years, and a related 2002
CMS regulation is estimated to yield an additional $9 billion over 5
years. To reduce these and other exploitative schemes and to better
ensure that federal funds were used to reimburse providers only for
Medicaid-covered services actually provided to eligible beneficiaries,
we recommended in 1994 that the Congress enact legislation to prohibit
making Medicaid payments to a government-owned facility in excess of
the facility's costs. To date, no action has been taken.
The figure below shows one state's arrangement to increase federal
Medicaid payments inappropriately.
[See PDF for image]
[End of figure]
Address inappropriate provider claims.
The improper payments that states have identified suggest that--with
augmented and consistent effort--states have the potential to save
Medicaid millions of dollars. An estimate of savings from cost
recoveries for the state of Washington alone, for example, was over $9
million in Medicaid funds during fiscal year 2002 through its hospital
and physician audits.
Our review of certain Medicaid services provided to children through
their schools also demonstrates the importance of heightened scrutiny
over Medicaid expenditures. In one state alone, there were $324 million
in disallowed claims involving school-based services for a 3 ½ year
period ending in fiscal year 2001. Some claims were for service not
covered by Medicaid or for services provided to non-Medicaid-eligible
children.
Improve federal and state agency controls over payments. CMS does not
have a sound method for states to identify areas at high risk for
improper Medicaid payments. Also, in our June 2001 review, we noted
that no state requested the full amount of federal funds available for
antifraud efforts due to a reluctance to put up state matching funds.
Improper Payments at DOD:
Ensuring prompt, proper, and accurate payments continues to be a
challenge for the Department of Defense (DOD). DOD managers do not have
the important information needed for effective financial management,
leading DOD to overpay contractors by billions of dollars over the past
eight years. In our past reports, we have noted that (1) contractors
were refunding hundreds of millions of dollars to DOD each year for a
total of about $6.7 billion between fiscal year 1994 and 2001; (2) DOD
made overpayments due to duplicate invoices and paid invoices without
properly and accurately recovering progress payments; (3) contract
administration actions had resulted in significant contractor debt or
overpayment; (4) DOD and contractors were not aggressively pursuing the
timely resolution of overpayments or underpayments when they were
identified; and (5) DOD did not have statistical information on the
results of contract reconciliation. In May 2002, we reported that DOD
has various short-term corrective actions underway that appear to be
having positive results. However, cost increases, performance issues,
or schedule delays have beset two of DOD's key long-term initiatives:
the Defense Procurement Payment System, which is intended to be DOD's
standard contract payment system, and the Standard Procurement System,
which is intended to be DOD's single, standard system to support
contracting functions and interface with financial management
functions. GAO has recommended that DoD take a number of steps
including developing controls over contractor debt and overpayments:
Earned Income Credit (EIC) Noncompliance:
For tax year 2001, about $31 billion was paid to about 19 million EIC
claimants. Although researchers have reported that the EIC has
generally been a successful incentive-based antipoverty program, IRS
has reported high levels of EIC overpayments going back to 1985. IRS's
most recent study, released in 2002, estimated that between $8.5 and
$9.9 billion should not have been paid out to EIC claimants for tax
year 1999.
Administering the EIC is not an easy task--IRS has to balance its
efforts to help ensure that all qualified persons claim the credit with
its efforts to protect the integrity of the tax system and guard
against fraud and other forms of noncompliance associated with the
credit. Further, the complexity of the EIC may contribute to
noncompliance. The EIC is among the more complex provisions of the tax
code, which can contribute to unintentional errors by taxpayers. In
addition, unlike other income transfer programs, the EIC relies more on
self-reported qualifications of individuals than on program staff
reviewing documents and other evidence before judging claimants to be
qualified for assistance.
Early in 2002, the Assistant Secretary of the Treasury and the IRS
commissioner established a joint task force to seek new approaches to
reduce EIC noncompliance. The task force sought to develop an approach
to validate EIC claimants' eligibility before refunds are made, while
minimizing claimants' burden and any impact on the EIC's relatively
high participation rate. Through this initiative, administration of the
EIC program would become more like that of a social service program for
which proof of eligibility is required prior to receipt of any benefit.
According to IRS, three areas--qualifying child eligibility, improper
filing status, and income misreporting (i.e., underreporting)--account
for nearly 70 percent of all EIC refund errors. Although the task force
initiative is designed to address each of these sources of EIC
noncompliance, many of the details about its implementation are still
to be settled. A significant change to the initiative was announced
just this past Friday, June 13, when IRS said that its pilot effort to
precertify the eligibility of qualifying children for the EIC would not
include requesting claimants to show their relationship to the
qualifying child. Because planning and implementation for the EIC
initiative will proceed simultaneously, its success will depend on
careful planning and close management attention.
Congress has already focused oversight attention on the EIC initiative
and continued oversight can help ensure that the initiative balances
efforts to reduce EIC overpayments with continued efforts to maintain
or increase the portion of the EIC eligible population that receives
the credit. Further, Congress can consider making the several
definitions of children in the tax code more uniform. The differing
definitions contribute to the complexity taxpayers face and complexity
is widely believed to contribute to errors taxpayers make in claiming
the EIC. As early as 1993 we had suggested that Congress consider
changes that would have made the definitions for children more similar
for several tax purposes. More recently, IRS's Taxpayer Advocate, the
Joint Committee on Taxation, and the Department of the Treasury have
made proposals as well.
EIC Problems:
IRS estimated in 2002 that of the $31.3 billion in earned income
credits claimed by taxpayers in tax year 1999, about $8.5 billion to
$9.9 billion, should not have been paid.
This level of noncompliance has remained relatively unchanged even
after a 5-year effort to reduce it.
Collection of Unpaid Taxes:
Collecting taxes due the government has always been a challenge for
IRS, but in recent years the challenge has grown. In testimonies and
reports we have highlighted large and pervasive declines in IRS'
compliance and collections programs. For example, between 1996 and 2001
the programs generally experienced larger workloads, less staffing, and
fewer number of cases closed per employee For the last several years,
Congress and others have been concerned that the declines in IRS's
enforcement programs are eroding taxpayers' confidence in the fairness
of our tax system putting at risk their willingness to voluntarily
comply with the tax laws. Because of the potential revenue losses and
the threat to voluntary compliance, the collection of unpaid taxes is a
high risk area.
A key to reversing these trends and ensuring compliance with the tax
laws is continuing to modernize IRS's management and systems. Such
change is required across IRS. IRS needs to acquire and analyze data on
noncompliance by continuing to implement the National Research Program
as planned. IRS needs to reengineer it compliance and collection
programs. Reengineering depends, in turn, on successfully modernizing
business information systems by implementing recommended management
controls. IRS needs to implement its planned centralized cost
accounting system in order to strengthen controls over unpaid tax
assessments. Because of their magnitude, these efforts are a major
management challenge. IRS has tried to increase enforcement staffing.
However, the hiring of additional staff has been delayed by factors
such as unbudgeted cost increases.
Uncollected Taxes:
By the end of fiscal year 2002, IRS had deferred collection action on
about one out of three collection cases and had an inventory of $112
billion of known unpaid taxes with some collection potential.
Student Financial Assistance:
The Department of Education's student financial assistance programs
disburse about $65 billion annually. Education also manages a $267
billion loan portfolio. Millions of dollars in loans and grants have
been disbursed to ineligible students because of internal control
weaknesses. While the default rate on student loans has come down
substantially, the dollars in default remain high.
Education has made progress on improving its financial management;
however it needs to implement corrective actions to ensure that
relevant, reliable accounting information is available. Over the years,
Education has spent millions to integrate and modernize its many
financial aid systems in an effort to provide more information and
better service to customers--students, parents, institutions, and
lenders. However Education did not have an enterprise
architecture[Footnote 6] and it lacked the ability to track students
across programs. Education also faces challenges in maintaining program
integrity, specifically ensuring that information reported on student
aid applications is correct and that adequate internal controls exist
to prevent erroneous and improper payments of grants and loans. To
improve the integrity of the financial aid programs, Education should
(1) continue to coordinate with the Internal Revenue Service to verify
income information reported on student aid applications, (2) provide
clear policy and guidance on the effect of using tax provisions on
student aid awards, and (3) implement controls to limit improper
disbursements of grants and loans.
Fraud in Student Aid Programs;
* The owner, registrar, director of
education, and other employees at The Training Center, a computer and
travel school in Michigan, were indicted for falsifying documents to
illegally obtain student financial aid. The indictment included an
$875,000 forfeiture to recover the funds these individuals illegally
received.
* An investigation at Beacon Career Institute in Florida
(BCI) in Florida revealed a major Pell Grant case that defrauded
Education of over $720,000. The former BCI administrator and other BCI
officials created false documents to justify the disbursement of these
grants. They were ordered to pay restitution totaling $1,778,472 and
sentenced to prison.
* A former instructor at Piedmont College of Hair
Design in South Carolina pled guilty and was ordered to pay restitution
of $27,000 for Pell Grant fraud. Her actions caused over $300,000 in
Pell Grants to be given to ineligible students.
* One individual in
Los Angeles, who was convicted of student aid fraud, conducted weekly
seminars for parents and students, charging $300 for the programs at
which he advised and assisted them in preparing student aid
applications that deliberately misstated their income or dependency
status. The potential loss to the government from his actions was about
$800,000.
For example, in 2001, $21.8 billion remained in default. Education's
Office of Federal Student Aid (FSA) draft fiscal year 2002 performance
plan specified the goals it had for default management; however, it
included only limited information about the strategies to achieve those
goals. Without giving additional details on its strategies for default
recovery and prevention, it is not clear how FSA will determine whether
it has achieved its default management goals. Finally, while Education
has set up voluntary flexible agreements with four of its guaranty
agencies, it is in the process of assessing whether they have been
successful in lowering default and delinquency rates.
Food Assistance Programs:
Each day 1 in every 6 Americans receives nutrition assistance through 1
or more of the 15 programs administered by the U.S. Department of
Agriculture (USDA) In FY 2002 Congress appropriated about $38.8
billion--nearly half of USDA's budget--to provide children and low-
income adults with access to food, a healthful diet, and nutrition
education through programs such as Food Stamps, school-breakfast and
school-lunch programs.) USDA continues to face serious challenges in
ensuring that eligible individuals receive the proper benefits from the
food assistance programs administered by its Food and Nutrition
Service.
In FY 2001 The Food Stamp program alone provided 17.3 million
individuals with more than $15.5 billion in aid. About 149,000
authorized retail outfits accept food stamps. A program this large and
this decentralized is vulnerable to problems and we have made
recommendations in a number of areas, including:
* Erroneous payments: USDA estimated that for FY 2001 erroneous
payments totaled about $1.4 billion --about $1 billion in overpayments
and just under $400 million in underpayments. This is an error rate of
about 9 percent.
* To deal with the complexity of the Food Stamp Program and the high
error rate, the Farm Security and Rural Investment Act of 2002
contained a number of administrative and simplification reforms, such
as allowing states to use greater flexibility in considering the income
of recipients for eligibility purposes and to extend simplified
reporting procedures for all program recipients.
* Misuse of benefits: individuals sometimes illegally sell their
benefits for cash--a practice known as trafficking. In its most recent
report on trafficking [March 2000] USDA estimated that about 3.5 cents
of every dollar of food stamp benefits issued each year from 1996
through 1998 was trafficked by stores--about $660 million.
* Storeowners generally do not pay the financial penalties assessed for
trafficking. For example, we reported in May 1999 that USDA and the
courts collected only $11.5 million, or about 13 percent, of the $78
million in total penalties assessed against storeowners for violating
food stamp regulations from 1993 through 1998.[Footnote 7] Better use
of information technology has the potential to help USDA minimize
fraud, waste, and abuse in the Food Stamp Program. The Food and
Nutrition Service has taken some actions to implement our
recommendations, such as assisting states in the use of EBT data to
identify traffickers and has other actions under way.
Other nutrition programs also suffer from fraud and abuse.
* For example in FY 2001 the Child and Adult Care Food Program (CACFP)
provided subsidized meals for a daily average of 2.6 million
participants in the care of about 215,000 day care providers and
received $1.8 billion in FY 2002. . In response to our November 1999
recommendation[Footnote 8] and reports by the USDA OIG, legislation was
enacted in June 2000 to strengthen CACFP management controls and to
reduce its vulnerability to fraud and abuse. As a result, the Food and
Nutrition Service has intensified its management evaluations at the
state and local levels and has trained its regional and state agency
staff on revised management procedures.
Child & Adult Care Food Program;
* To identify potentially fraudulent
or abusive claims, reimbursement claims are reviewed, but the reviews
are not foolproof. For example, one state we visited used several
methods to evaluate the soundness of claims, but a state reviewer found
that the reviews did not catch a $5,000 overpayment to a day care home
sponsor. In this case, the claim for reimbursement had jumped in one
month to $7,000, from an average monthly claim of $2,000.
* FNS has
not effectively directed states' efforts to control fraud and abuse. In
fiscal years 1997 and 1998, only 23 of FNS' 47 management evaluations
directly evaluated the states' implementation of required controls over
reimbursements to sponsors and providers. Almost half of these reviews
found serious problems, including the failure of some states to conduct
any administrative reviews of sponsors or providers.
National School Lunch Program provided nutritionally balanced, low-cost
or free lunches for over 27 million children each school day in more
than 98,000 public and nonprofit private schools and residential child
care institutions. Past reports have disclosed that the number of
children certified as eligible to receive free lunches in this program
was 18 percent greater than the estimated number of children eligible
for this benefit. Furthermore, in its strategic plan for fiscal years
2000 through 2005, USDA specifically identified the challenge it faces
in ensuring that only eligible participants are provided benefits in
the National School Lunch Program. USDA has taken some initial steps to
develop a cost-effective strategy to address this integrity issue, such
as pilot testing potential policy changes to improve the certification
process.
Credit Card Abuse:
We and a number of Inspectors General have identified improper and
fraudulent use of purchase cards as well as control weaknesses in
numerous agencies such as the Departments of Agriculture, Defense,
Education, Housing and Urban Development, Interior, and the Federal
Aviation Administration. Identified problems include weaknesses in the
review and approval processes, lack of training for cardholders and
approving officials, and ineffective monitoring. These weaknesses
created a lax control environment that allowed cardholders to make
fraudulent, improper, abusive, and questionable purchases. Similarly,
we have found that a weak control environment contributed to
significant abuse and potential fraud in the use of travel cards in the
Department of Defense.
For instance, in March 2003, we reported that weaknesses in FAA's
purchase card controls resulted in instances of improper, wasteful, and
questionable purchases, as well as missing and stolen assets. These
weaknesses contributed to $5.4 million of improper purchases. This
included 997 transactions totaling $5.1 million associated with
purchases that were split into two or more segments to circumvent
single purchase limits. In addition, over half of the asset purchases-
-such as computers and other equipment--that we examined had not been
recorded in FAA's property system, increasing the risk of loss or
theft. As a result, FAA could not locate or document the location of
over a third of the items. These missing items totaled almost $300,000.
In separate internal reviews, one FAA location identified over 800
items, totaling almost $2 million, that were lost or stolen in fiscal
years 2001 through 2002. Given systemic weaknesses in FAA's property
controls, the actual amount of missing or stolen equipment FAA-wide
could be much higher. We made a total of 27 recommendations to
strengthen FAA's internal controls and compliance in its purchase card
program, decrease wasteful purchases, and improve the accountability of
assets in order to reduce vulnerability to improper and wasteful
purchases. These included requiring centralized receiving of
accountable assets and sensitive property items, improving physical
security over the storage of computer-related equipment, and following
up on missing property items.
Purchase Card Abuses:
At Education, a purchase cardholder made several fraudulent purchases
from two Internet sites for pornographic services. The name of one of
the sites--Slave Labor Productions.com--should have caused suspicion
when it appeared on the employees' monthly statement.
At HUD, we found improper purchases totaling about $1 million where HUD
employees either split, or appeared to have split, purchases into
multiple transactions to circumvent cardholder limits.
At the two Navy units we reviewed, we identified over $11,000 of
fraudulent purchases including clothing from Nordstrom, as well as
improper, questionable, and abusive purchases, such as rentals of
luxury cars and purchases of designer and high-cost leather goods such
as leather purses costing up to $195 each.
Poor oversight and management of travel card programs led to high
delinquency rates costing millions in lost rebates and increased ATM
fees. For example, as of March 31, 2002, we found that over 8,000 Navy
cardholders had $6 million in delinquent debt. During the period of our
reviews, over 400 Air Force, 250 Navy, and 200 Army personnel committed
potential bank fraud by writing three or more nonsufficient (NSF) fund
checks to the Bank of America. Also, many cardholders used their cards
for inappropriate purchases, such as cruises and event tickets. Our
review of Air Force travel cards, for example, found documented
evidence of disciplinary actions in less than half of the cases
reviewed where cardholders wrote NSF checks, or their accounts were
charged off or placed in salary offset. We made several recommendations
to DOD and the Air Force, including providing sufficient training to
agency program coordinators to promote proper oversight of the travel
card program, including effective monitoring for inappropriate
transactions; reviewing the security clearances of cardholders with
financial problems; and strengthening procedures for canceling cards of
employees leaving the service. DOD and the Air Force concurred and said
that they had actions under way to address many of them.
Examples of Abusive Air Force Travel Card Activity:
[See PDF for image]
[End of table]
HUD Single-Family Mortgage Insurance and Rental Assistance Programs:
HUD manages about $550 billion in insurance and $19 billion per year in
rental assistance. The department relies on a complex network of
thousands of third parties to manage their risk. We have made
recommendations in a number of areas:
* Reducing rental subsidy overpayments: HUD estimates that rental
subsidy overpayments in fiscal year 2000 were $2 billion--over 10
percent of total program expenditures. A significant portion of this
overpayment is attributable to tenants' underreporting of income. We
have recommended steps to improve data sharing between HUD and the
Department of Health and Human Services to help identify unreported
income before rental subsidies are provided.[Footnote 9] HUD needs to
ensure that its rental housing assistance programs operate effectively
and efficiently, specifically that assistance payments are accurate,
recipients are eligible, assisted housing meets quality standards, and
contractors perform as expected.
* Reduce risk of losses in the single-family housing program: HUD also
needs to reduce the risk of losses in its single-family housing program
due to fraud, loan defaults, and poor management of foreclosed
properties. Ineligible buyers sometimes fraudulently obtain loans, or
loans are made on properties actually worth less than the loan amount,
increasing the risk of default and losses. In addition, foreclosed
properties are not always secured and maintained in a timely fashion
and their condition can deteriorate, resulting in lower sales prices
and limiting FHA's ability to recover its costs. HUD's IG has reported
that fraud in the origination of mortgages of single-family properties
continues to be the most pervasive problem uncovered by its
investigations. We have reported on weaknesses in HUD's oversight of
mortgage lenders and have made recommendations aimed at strengthening
HUD's processes for approving and monitoring lenders and holding them
accountable for poor performance.[Footnote 10] We have also recommended
that HUD adopt a foreclosure process more like that used by other
entities to better ensure that properties do not deteriorate and that
it recoups more of its losses when the houses are sold.[Footnote 11]
HUD needs to improve the management and oversight of its single-family
housing programs to reduce its risk of financial losses.
Fraud in FHA Program;
* A joint investigation between HUD's Inspector
General and the Federal Bureau of Investigation uncovered a 20-person
property-flipping scheme in Chicago, Illinois, that resulted in 21
indictments and convictions and 12 jail sentences.
* The use of
fraudulent documentation to qualify borrowers for FHA-insured mortgages
had led to criminal indictments and convictions in several other
communities.
Improve acquisition management and monitoring of contractor
performance. Contractors are responsible for managing and disposing of
HUD's inventory of single-family and multifamily properties-properties
that had a combined value of about $3 billion as of September 30, 2001.
Our review of HUD's files and disbursements indicates that its
oversight processes have not identified instances in which contractors
were not performing as expected. Weaknesses in HUD's acquisition
management limit its ability to readily prevent, identify, and address
contractor performance problems. Without a systematic approach to
oversight and adequate on-site monitoring, the department's ability to
identify and correct contractor performance problems and hold
contractors accountable is reduced. The resulting vulnerability limits
HUD's ability to assure that it is receiving the services for which it
pays.
HUD Contractor Performance Oversight; In one case, HUD paid $227,500 to
have 15,000 square feet of concrete replaced; however, we determined
that only about one-third of the work HUD paid for was actually
performed.
Improving Economy, Efficiency, Effectiveness:
Important as safeguarding funds from fraud, waste, abuse and
mismanagement is, I believe that for long-lasting improvements in
government performance the federal government needs to move to the next
step: to widespread opportunities to improve the economy, efficiency
and effectiveness of existing federal goals and program commitments.
The basic goals of many federal programs--both mandatory and
discretionary--enjoy widespread support. That support only makes it
more important for us to pay attention to the substantial opportunities
to improve their cost effectiveness and the delivery of services and
activities. No activity should be exempt from some key questions about
its design and management.
Key Questions for Program Oversight:
* Is the program targeted appropriately?
* Does the program duplicate or even work at cross
purposes with related programs and tools?
* Is the program financially sustainable and are there opportunities
for instituting appropriate cost sharing and recovery from nonfederal
parties including private entities that benefit from federal
activities?
* Can the program be made more efficient through reengineering or
streamlining processes or restructuring organizational roles and
responsibilities?
* Are there clear goals, measures and data with which to track
progress, benefits and costs?.
GAO's work illustrates numerous examples where programs can and should
be changed to improve their impact and efficiency. Today I want to
touch on some of these areas and highlight some significant
opportunities for program changes that promise to improve their cost
effectiveness. I recognize that many of these will prompt debate--but
that debate is both necessary and healthy.
Targeting:
Our work has shown that scarce federal funds could have a greater
impact on program goals by improving their targeting to places or
people most in need of assistance. Poorly targeted funding can result
in providing assistance to recipients who have the resources and
interest to undertake the subsidized activity on their own without
federal financing. Moreover, lax eligibility rules and controls can
permit scarce funds to be diverted to clients with marginal needs for
program funds.
Grant programs: Many federal grant programs with formula distributions
to state and local governments are not well targeted to places with
high needs but low fiscal capacity. As a result, recipients in
wealthier areas may enjoy higher levels of federal funds than harder
pressed areas. Better targeting of grants offers a strategy to reduce
federal outlays by concentrating reductions in wealthier communities
with comparatively fewer needs and greater capacity to finance services
from their own resources. For such mandatory programs as Medicaid,
Foster Care and Adoption Assistance, reimbursement formulas can be
changed to better reflect relative need, geographic differences in the
cost of services and state bases.
* Flood insurance losses: Repetitive flood losses are one of the major
factors contributing to the financial difficulties facing the National
Flood Insurance Program. Approximately 45,000 buildings currently
insured under the National Flood Insurance Program have been flooded on
more than one occasion and have received flood insurance claims
payments of $1,000 or more for each loss. These repetitive losses
account for about 38 percent of all program claims historically
(currently about $200 million annually) even though repetitive-loss
structures make up a very small portion of the total number of insured
properties--at any one time, from 1 to 2 percent. The cost of these
multiple-loss properties over the years to the program has been $3.8
billion. One option that would increase savings would be for FEMA to
consider eliminating flood insurance for certain repeatedly flooded
properties.
* Medicare Incentive Payment Program: The Medicare Incentive Payment
program was established in 1987 to provide a bonus payment for
physicians to provide primary care in underserved areas. However,
specialists receive most of the program dollars, even though primary
care physicians have been identified as being in short supply.
Shortages of specialists, if any, have not been determined. Moreover,
since 1987 the Congress generally increased reimbursement rates for
primary care services and reduced the geographic variation in physician
reimbursement rates. HHS has acknowledged that structural changes to
this program are necessary to better target incentive payments to rural
areas with the highest degree of shortage. For example, if the
program's intent is to improve access to primary care services in
underserved rural areas, the bonus payments should be targeted and
limited to physicians providing primary care services to underserved
populations in rural areas with the greatest need.
* Social Security Government Pension Offset Provision: The Social
Security Administration (SSA) administers the Government Pension Offset
(GPO) provision requiring benefits to be reduced for persons whose
social security entitlement is based on another person's social
security coverage (usually a spouse's). The GPO prevents workers from
receiving a full Social Security spousal benefit in addition to a
pension from government employment not covered by Social Security.
However, the law provides an exemption from the GPO if an individual's
last day of state/local employment is in a position that is covered by
both Social Security and the state/local government's pension system.
In a recent study, we found instances where individuals performed work
in Social Security covered positions for short periods to qualify for
the GPO last-day exemption. The practices we identified in Texas and
Georgia alone could increase long-term benefit payments from the Social
Security Trust Fund by $450 million.[Footnote 12] In our report and
testimony on this topic we presented a matter for congressional
consideration that the last-day GPO exemption be revised to provide for
a longer minimum time period, and the House has passed necessary
legislation that is pending in the Senate.
Consolidation:
GAO's work over the years has shown that numerous program areas are
characterized by significant program overlap and duplication. In
program area after program area, we have found that unfocused and
uncoordinated programs cutting across federal agency boundaries waste
scarce resources, confuse and frustrate taxpayers and beneficiaries and
limit program effectiveness.
* Food Safety: The federal system to ensure the safety and quality of
the nations food is inefficient and outdated. The Food Safety and
Inspection Service within USDA is responsible for the safety of meat,
poultry and eggs and some egg products, while the Food and Drug
Administration under HHS is responsible for the safety of most other
foods. USDA, FDA and ten other federal agencies administer over 35
different laws for food safety. The current system suffers from
overlapping and duplicative inspections, poor coordination and
inefficient allocation of resources. The Congress may wish to consider
consolidating federal food safety agencies under a single risk-based
food safety inspection agency with a uniform set of food safety laws.
* Grants for Homeland Security: GAO identified at least 16 different
grant programs that can be used by the nation's first responders to
address homeland security needs. These grants are currently provided
through two different directorates within the Department of Homeland
Security, the Department of Justice, and the Department of Health and
Human Services and serve state governments, cities and localities,
counties, and others. Multiple fragmented grant programs create a
confusing and administratively burdensome process for state and local
officials and complicate their efforts to better coordinate
preparedness and response to potential terrorist attacks across the
wide range of specialized agencies and programs. In addressing the
fragmentation prompted by the current homeland security grant system,
Congress should consider consolidating separate categorical grants into
a broader purpose grant with national performance goals defining
results expected for the state and local partnership.
* Rural housing assistance: USDA and HUD both provide assistance for
rural housing, targeting some of the same kinds of households in the
same markets. The programs of both agencies could be merged, using the
same network of lenders. A consolidation of these programs building off
the best practices of both programs would improve the efficiency with
which the federal government delivers rural housing programs.
Cost Recovery:
The allocation of costs that once made sense when programs were created
needs to be periodically reexamined to keep up with the evolution of
markets. In some cases, private markets and program beneficiaries can
play greater roles in financing and delivery of program services.
* Public Power: The federal government began to market electricity
following the construction of dams and major water projects primarily
from the 1930's to the 1960's. However, the restructured and
increasingly competitive electricity industry suggests that a
reassessment of the roles and missions of federal subsidies is needed.
Although the Power Marketing Administrations (PMAs) are generally
required to recover all costs, in fact in some cases rates do not
recover full costs incurred by the federal government in producing,
transmitting and marketing federal power. The Congress has the option
of requiring the PMAs to sell their power at market rates to better
ensure the full recovery of these costs.
* Child Support Enforcement: The Child Support Enforcement Program is
to strengthen state and local efforts to obtain child support for both
families eligible for Temporary Assistance for Needy Families (TANF)
and non-TANF families. From fiscal year 1984 through 1998, non-TANF
caseloads and costs rose about 500 percent and 1200 percent,
respectively. While states have the authority to fully recover the
costs of their services, states have charged only minimal application
and service fees for non-TANF clients, doing little to recover the
federal government's 66 percent share of program costs. In fiscal year
1998, for example, state fee practices returned about $49 million of
the estimated $2.1 billion spent to provide non-TANF services. To
defray some of the costs of child support programs, Congress could
require that mandatory application fees should be dropped and replaced
with a minimum percentage service fee on successful collections for
non-TANF families.
Beyond program design: operational economy, efficiency and
effectiveness:
Beyond program management, there are governmentwide areas where major
savings could come from improving economy, efficiency and
effectiveness. Today I would like to highlight one GAO thinks is so
important that we added it to the high-risk list--the management of
federal real property.
Excess and underused property and deteriorating facilities present a
real challenge--but also an opportunity to reap great rewards in terms
of improved structure and savings for the federal government's
operations. In the U.S. government's fiscal year 2002 financial
statements show an acquisition cost of more than $335 billion for the
federal government's real property. This includes military bases,
office buildings, embassies, prisons, courthouses, border stations,
labs, and park facilities. Available governmentwide data suggest that
the federal government owns roughly one-fourth of the total acreage of
the nation--about 636 million acres.
Underutilized or excess property is costly to maintain. DoD alone
estimates that it spends about $3 to $4 billion per year maintaining
unneeded facilities. Excess DoE facilities cost more than $70 million
per year, primarily for security and maintenance.
There are opportunity costs -these buildings and land could be put to
more cost-beneficial uses, exchanged for needed property, or sold to
generate revenue for the government. Table 1 below highlights excess
and underutilized property challenges faced by some of the major real
property-holding agencies.
Table 1: Excess Property Challenges at Some of the Major Real Property-
Holding Agencies:
Agency: DOD; Excess and underutilized property challenge: Even with
four rounds of base realignment and closures that
reduced its holdings by 21 percent, DOD recognized that it still had
some excess and obsolete facilities. Accordingly, Congress gave DOD the
authority for another round of base realignment and closure in the
fiscal year 2002 defense authorization act, scheduled for fiscal year
2005.
Agency: VA; Excess and underutilized property challenge: VA recognizes
that it has excess capacity and has an effort
underway known as the Capital Asset Realignment for Enhanced Services
(CARES) that is intended to address this issue. VA recently completed
its initial CARES study involving consolidation of services among
medical facilities in its Great Lakes Network (including Chicago) as
well as expansion of services in other locations. VA identified 31
buildings that are no longer needed to meet veterans' health care needs
in this network, including 30 that are currently vacant.
Agency: GSA; Excess and underutilized property challenge: GSA
recognizes that it has many buildings that are not financially
self-sustaining and/or for which there is not a substantial, long-term
federal purpose. GSA is developing a strategy to address this problem.
The L. Mendel Rivers Federal Building in Charleston, S.C. is a prime
example of a highly visible, vacant federal building held by GSA.
Agency: DOE; Excess and underutilized property challenge: After
shifting away from weapons production, DOE had 1,200 excess
facilities totaling 16 million square feet, and the performance of its
disposal program had not been fully satisfactory, according to DOE's
Inspector General. Facility disposal activities have not been
prioritized to balance mission requirements, reduce risks, and minimize
life-cycle costs. In some cases, disposal plans were in conflict with
new facility requirements.
Agency: USPS; Excess and underutilized property challenge: The issue
of excess and underutilized property will need to be
part of USPS's efforts to operate more efficiently. Facility
consolidations and closures are likely to be needed to align USPS's
portfolio more closely with its changing business model.
Agency: State; Excess and underutilized property challenge: Although
State has taken steps to improve its disposal efforts
and substantially reduce its inventory of unneeded properties, it
reported that 92 properties were potentially available for sale as of
September 30, 2001, with an estimated value of more than $180 million.
State has begun the disposal process for some of these properties.
State will also need to dispose of additional facilities over the next
several years as it replaces more than 180 vulnerable embassies and
consulates for security reasons. Security also has become a primary
factor in considering the retention and sale of excess property.
[End of table]
If the federal government is to more effectively respond to the
challenges associated with strategically managing its multi-billion
dollar real property portfolio, a major departure from the traditional
way of doing business is needed. Better managing these assets in the
current environment calls for a significant paradigm shift to find
solutions. Solutions should not only correct the long-standing problems
we have identified but also be responsive to and supportive of
agencies' changing missions, security concerns, and technological needs
in the 21ST century. Solving the problems in this area will undeniably
require a reconsideration of funding priorities at a time when budget
constraints will be pervasive.
Because of the breadth and complexity of the issues involved, the long-
standing nature of the problems, and the intense debate about potential
solutions that will likely ensue, current structures and processes may
not be adequate to address the problems. Thus, as discussed in our
high-risk report, there is a need for a comprehensive and integrated
transformation strategy for federal real property. This strategy could
address challenges associated with having adequate capacity (people and
resources) to resolve the problems. The development of a transformation
strategy would demonstrate a strong commitment and top leadership
support to address the risk. An independent commission or
governmentwide task force may be needed to develop the strategy. We
believe that OMB is uniquely positioned to be the catalyst for
identifying and bringing together the stakeholders that would develop
the transformation strategy, drawing on resources and expertise from
the General Services Administration, the Federal Real Property Council,
and other real property-holding agencies. For example, OMB could assess
agency real property activities as part of the executive branch
management scorecard effort. Congress will need to play a key role in
implementing the transformation strategy's roadmap for realigning and
rationalizing the government's real property assets so that the
portfolio is more directly tied to agencies' missions. Without
measurable progress and a comprehensive strategy to guide improvements,
real property will most likely remain on the high risk list.
Reassessing What Government Does:
I have talked about the need to protect taxpayer dollars from fraud,
waste, abuse and mismanagement and about the need to take actions
improving the economy, efficiency and effectiveness of government
programs, policies, and activities. However, to meet the challenges of
today and the future, we must move beyond this to a more fundamental
reassessment of what government does and how it does it.
In part this requires looking at current federal programs--both
spending and tax--in terms of their goals and results. Why does the
program/activity exist? Is the activity achieving its intended
objective? If not, can it be fixed? If so, how? If not, what other
approaches might succeed in achieving the goal/objective? More
fundamentally, even if a program/activity is achieving its stated
mission--or can be "fixed" so that it does so--where does it fit in
competition for federal resources? Is its priority today higher or
lower than before given the nation's evolving challenges and fiscal
constraints?
It also requires asking whether an existing program, policy, or
activity "fits" the world we face today and in the future. It is
important not to fall into the trap of accepting all existing
activities as "givens" and subjecting new proposals to greater scrutiny
than existing ones undergo. Think about how much the world has changed
in the past few decades and how much it will change in future years.
One example of a disconnect between program design and today's world is
the area of federal disability programs--a disconnect great enough to
warrant designation as a "high risk" area this year. Already growing,
disability programs are poised to surge as baby-boomers age, yet the
programs remain mired in outdated economic, workforce, and medical
concepts and are not well positioned to provide meaningful and timely
support to disabled Americans. Disability criteria have not been
updated to reflect the current state of science, medicine, technology
and labor market conditions. Using outdated information, agencies--
primarily SSA and VA--risk overcompensating some individuals while
under-compensating or denying compensation entirely to others. Although
federal disability programs present serious management challenges and
can be vulnerable to fraud or abuse, the overarching and longer-term
challenge is to design a disability system for the modern world.
We should be striving to maintain a government that is effective and
relevant to a changing society--a government that is as free as
possible of outmoded commitments and operations that can
inappropriately encumber the future. The difference between "wants,"
"needs," and overall "affordability" and long-term "sustainability" is
an important consideration when setting overall priorities and
allocating limited resources.
Finally, any reassessment of federal missions and strategies should
include the entire set of tools the federal government can use to
address national objectives. These tools include discretionary and
mandatory spending, loans and loan guarantees, tax provisions, and
regulations. If we are evaluating federal support for higher education,
we need to look not only at spending but also at tax preferences. The
same thing is true for health care. The figure below shows federal
activity in health care and Medicare budget functions in FY 2000: $37
billion in discretionary BA, $319 billion in entitlement outlays, $5
million in loan guarantees, and $91 billion in tax expenditures.
Government must operate in the context of broader trends shaping the
United States and its place in the world. These include:
National and global response to terrorism and other threats to personal
and national security:
Increasing interdependence of enterprises, economies, civil society,
and national governments--a/k/a globalization.
The shift to market-oriented, knowledge-based economies;
An aging and more diverse U.S. population;
Advances in science & technology and the opportunities & challenges
created by these changes:
Challenges and opportunities to maintain & improve the quality of life
for the nation, communities, families & individuals; and:
The increasingly diverse nature of governance structures and tools.
In addition to the above trends, growing fiscal challenges at the
federal, state, and local levels are of great concern. Furthermore,
rising health care costs and other health care related challenges
(e.g., access, quality) are of growing concern crossing all sectors of
the economy and all geopolitical boundaries.
Government leaders are responsible and accountable for making needed
changes to position the federal government to take advantage of
emerging opportunities and to meet future challenges. Focusing on
accountable, results-oriented management can help the federal
government operate effectively within a broad network that includes
other governmental organizations, nongovernmental organizations, and
the private sector.
Concluding Remarks:
There is a Chinese curse that goes "May you live in interesting times."
We clearly do. I would prefer to see this not as a curse--but as a
challenge and an opportunity.
Tackling areas at risk for fraud, waste, abuse & mismanagement will
require determination, persistence and sustained attention by both
agency managers and Congressional committees. Large and complex federal
agencies must effectively use a mixture of critical resources and
improved processes to improve their economy, efficiency, and
effectiveness, Congressional oversight will be key.
In view of the broad trends and long-term fiscal challenges facing the
nation, there is a need to fundamentally review, reassess, and
reprioritize the proper role of the federal government, how the
government should do business in the future, and--in some instances--
who should do the government's business in the 21ST century. It is also
increasingly important that federal programs use properly designed and
aligned tools to manage effectively across boundaries work with
individual citizens, other levels of government, and other sectors.
Evaluating the role of government and the programs it delivers is key
in considering how best to address the nation's most pressing
priorities. Periodic reviews of programs in the budget, on the
mandatory and discretionary sides of the budget as well as tax
preferences, can prompt a healthy reassessment of our priorities and of
the changes needed in program design, resources and management needed
to get the results we collectively decide we want from government.
Needless to say, we at GAO are pleased to help Congress in this very
important work.
Attachment I:
GAO's 2003 High-Risk List:
:
2003 High-Risk Areas:
Addressing Challenges In Broad-based Transformations:
Strategic Human Capital Management*; Year Designated High Risk: 2001.
U.S. Postal Service Transformation Efforts and Long-Term Outlook*;
Year Designated High Risk: 2001.
Protecting Information Systems Supporting the Federal Government and
the Nation's Critical Infrastructures; Year Designated High Risk: 1997.
Implementing and Transforming the New Department of Homeland Security;
Year Designated High Risk: 2003.
Modernizing Federal Disability Programs*; Year Designated High Risk:
2003.
Federal Real Property*; Year Designated High Risk: Year Designated
High Risk: 2003.
Ensuring Major Technology Investments Improve Services:
FAA Air Traffic Control Modernization; Year Designated High Risk:
1995.
IRS Business Systems Modernization; Year Designated High Risk: 1995.
DOD Systems Modernization; Year Designated High Risk: 1995.
Providing Basic Financial Accountability:
DOD Financial Management; Year Designated High Risk: 1995.
Forest Service Financial Management; Year Designated High Risk: 1999.
FAA Financial Management; Year Designated High Risk: 1999.
IRS Financial Management; Year Designated High Risk: 1995.
Reducing Inordinate Program Management Risks:
Medicare Program*; Year Designated High Risk: 1990.
Medicaid Program*; Year Designated High Risk: 2003.
Earned Income Credit Noncompliance; Year Designated High Risk: 1995.
Collection of Unpaid Taxes; Year Designated High Risk: 1990.
DOD Support Infrastructure Management; Year Designated High Risk: 1997.
DOD Inventory Management; Year Designated High Risk: 1990.
HUD Single-Family Mortgage Insurance and Rental Assistance Programs;
Year Designated High Risk: 1994.
Student Financial Aid Programs; Year Designated High Risk: 1990.
Managing Large Procurement Operations More Efficiently:
DOD Weapon Systems Acquisition; Year Designated High Risk: 1990.
DOD Contract Management; Year Designated High Risk: 1992.
Department of Energy Contract Management; Year Designated High Risk:
1990.
NASA Contract Management; Year Designated High Risk: 1990.
[End of table]
*Additional authorizing legislation is likely to be required as one
element of addressing this high-risk area.
Source: GAO:
Attachment II:
Selected Reports Regarding Specific Examples Cited in Testimony:
Erroneous payments, Misuse of benefits, Child and Adult Care Food
Program (CACFP), National School Lunch Program:
Food Assistance: WIC Faces Challenges in Providing Nutrition Services.
GAO-02-142. Washington, D.C.: December 7, 2001.
Food Stamp Program: Better Use of Electronic Data Could Result in
Disqualifying More Recipients Who Traffic Benefits. GAO/RCED-00-61.
Washington, D.C.: March 7, 2000.
Food Assistance: Efforts to Control Fraud and Abuse in the Child and
Adult Care Food Program Should Be Strengthened. GAO/RCED-00-12.
Washington, D.C.: November 29, 1999.
Food Stamp Program: Storeowners Seldom Pay Financial Penalties Owed for
Program Violations. GAO/RCED-99-91. Washington, D.C.: May 11, 1999.
Credit Card Abuse:
Purchase Cards: Control Weaknesses Leave the Air Force Vulnerable to
Fraud, Waste, and Abuse. GAO-03-292. Washington, D.C.: December 20,
2002.
Government Purchase Cards: Control Weaknesses Expose Agencies to Fraud
and Abuse. GAO-02-676T. Washington, D.C.: May 1, 2002.
FAA Purchase Cards: Weak Controls Resulted in Instances of Improper and
Wasteful Purchases and Missing Assets. GAO-03-405. Washington, D.C.:
March 21, 2003.
HUD Single-Family Mortgage Insurance and Rental Assistance Programs:
U.S. General Accounting Office, Financial Management: Strategies to
Address Improper Payments at HUD, Education and Other Federal Agencies,
GAO-03-167T (Washington, D.C.: Oct 3, 2002).
U.S. General Accounting Office, Strategies to Manage Improper Payments:
Learning from Public and Private Sector Organizations, GAO-02-69G
(Washington, D.C.: October 2001).
U.S. General Accounting Office, Major Management Challenges and Program
Risks, Department of Housing and Urban Development, GAO-01-248
(Washington, D.C.: January 2001).
U.S. General Accounting Office, HUD Management: HUD's High-Risk Program
Areas and Management Challenges, GAO-02-869T (Washington, D.C.: July
24, 2002).
U.S. General Accounting Office, Financial Management: Coordinated
Approach Needed to Address the Government's Improper Payments Problems,
GAO-02-749 (Washington, D.C.: Aug 9, 2002).
DoD Improper Payments:
U.S. General Accounting Office, Financial Management: Coordinated
Approach Needed to Address the Government's Improper Payments Problems,
GAO-02-749 (Washington, D.C.: Aug 9, 2002).
U.S. General Accounting Office, Department of Defense: Status of
Achieving Key Outcomes and Addressing Major Management Challenges, GAO-
01-783 (Washington, D.C.: June 25, 2001).
Grant Programs:
Formula Grants: Effects of Adjusted Population Counts on Federal
Funding to States. GAO/HEHS-99-69. Washington, D.C.: February 26, 1999.
Medicaid Formula: Effects of Proposed Formula on Federal Shares of
State Spending. GAO/HEHS-99-29R. Washington, D.C.: February 19, 1999.
Welfare Reform: Early Fiscal Effect of the TANF Block Grant. GAO/AIMD-
98-137. Washington, D.C.: August 22, 1998.
Public Housing Subsidies: Revisions to HUD's Performance Funding System
Could Improve Adequacy of Funding. GAO/RCED-98-174. Washington, D.C.:
June 19, 1998.
School Finance: State Efforts to Equalize Funding Between Wealthy and
Poor School Districts. GAO/HEHS-98-92. Washington, D.C.: June 16, 1998.
School Finance: State and Federal Efforts to Target Poor Students. GAO/
HEHS-98-36. Washington, D.C.: January 28, 1998.
School Finance: State Efforts to Reduce Funding Gaps Between Poor and
Wealthy Districts. GAO/HEHS-97-31. Washington, D.C.: February 5, 1997.
Federal Grants: Design Improvements Could Help Federal Resources Go
Further. GAO/AIMD-97-7. Washington, D.C.: December 18, 1996.
Public Health: A Health Status Indicator for Targeting Federal Aid to
States. GAO/HEHS-97-13. Washington, D.C.: November 13, 1996.
School Finance: Options for Improving Measures of Effort and Equity in
Title I. GAO/HEHS-96-142. Washington, D.C.: August 30, 1996.
Highway Funding: Alternatives for Distributing Federal Funds. GAO/RCED-
96-6. Washington, D.C.: November 28, 1995.
Ryan White Care Act of 1990: Opportunities to Enhance Funding Equity.
GAO/HEHS-96-26. Washington, D.C.: November 13, 1995.
Department of Labor: Senior Community Service Employment Program
Delivery Could Be Improved Through Legislative and Administrative
Action. GAO/HEHS-96-4. Washington, D.C.: November 2, 1995.
Flood Insurance Losses:
Flood Insurance: Information on Financial Aspects of the National Flood
Insurance Program. GAO/T-RCED-00-23. Washington, D.C.: October 27,
1999.
Flood Insurance: Information on Financial Aspects of the National Flood
Insurance Program. GAO/T-RCED-99-280. Washington, D.C.: August 25,
1999.
Flood Insurance: Financial Resources May Not Be Sufficient to Meet
Future Expected Losses. GAO/RCED-94-80. Washington, D.C.: March 21,
1994.
Medicare Incentive Payment Programs:
Physician Shortage Areas: Medicare Incentive Payments Not an Effective
Approach to Improve Access. GAO/HEHS-99-36. Washington, D.C.: February
26, 1999.
Health Care Shortage Areas: Designations Not a Useful Tool for
Directing Resources to the Underserved. GAO/HEHS-95-200. Washington,
D.C.: September 8, 1995.
Social Security Pension Offset Provision:
Social Security Administration: Revision to the Government Pension
Offset Exemption Should Be Considered. GAO-02-950. Washington, D.C.:
August 15, 2002.
Social Security: Congress Should Consider Revising the Government
Pension Offset "Loophole". GAO-03-498T. Washington, D.C.: February 27,
2002.
Food Safety:
Food Safety: CDC Is Working to Address Limitations in Several of Its
Foodborne Surveillance Systems. GAO-01-973. Washington, D.C.:
September 7, 2001.
Food Safety: Federal Oversight of Shellfish Safety Needs Improvement.
GAO-01-702. Washington, D.C.: July 9, 2001.
Food Safety: Overview of Federal and State Expenditures. GAO-01-177.
Washington, D.C.: February 20, 2001.
Food Safety: Federal Oversight of Seafood Does Not Sufficiently Protect
Consumers. GAO-01-204. Washington, D.C.: January 31, 2001.
Food Safety: Actions Needed by USDA and FDA to Ensure That Companies
Promptly Carry Out Recalls. GAO/RCED-00-195. Washington, D.C.: August
17, 2000.
Food Safety: Improvements Needed in Overseeing the Safety of Dietary
Supplements and "Functional Foods". GAO/RCED-00-156. Washington, D.C.:
July 11, 2000.
Meat and Poultry: Improved Oversight and Training Will Strengthen New
Food Safety System. GAO/RCED-00-16. Washington, D.C.: December 8, 1999.
Food Safety: Agencies Should Further Test Plans for Responding to
Deliberate Contamination. GAO/RCED-00-3. Washington, D.C.: October 27,
1999.
Food Safety: U.S. Needs a Single Agency to Administer a Unified, Risk-
Based Inspection System. GAO/T-RCED-99-256. Washington, D.C.: August 4,
1999.
Food Safety: Opportunities to Redirect Federal Resources and Funds Can
Enhance Effectiveness. GAO/RCED-98-224. Washington, D.C.: August 6,
1998.
Food Safety: Federal Efforts to Ensure the Safety of Imported Foods Are
Inconsistent and Unreliable. GAO/RCED-98-103. Washington, D.C.: April
30, 1998.
Food Safety: Changes Needed to Minimize Unsafe Chemicals in Food. GAO/
RCED-94-192. Washington, D.C.: September 26, 1994.
Food Safety and Quality: Uniform Risk-based Inspection System Needed to
Ensure Safe Food Supply. GAO/RCED-92-152. Washington, D.C.: June 26,
1992.
Grants for Homeland Security:
Federal Assistance: Grant System Continues to Be Highly Fragmented.
GAO-03-718T. Washington, D.C.: April 29, 2003.
Multiple Employment and Training Programs: Funding and Performance
Measures for Major Programs. GAO-03-589. Washington, D.C.: April 18,
2003.
Managing for Results: Continuing Challenges to Effective GPRA
Implementation. GAO/T-GGD-00-178. Washington, D.C.: July 20, 2000.
Workforce Investment Act: States and Localities Increasingly Coordinate
Services for TANF Clients, but Better Information Needed on Effective
Approaches. GAO-02-696. Washington, D.C.: July 3, 2002.
Fundamental Changes are Needed in Federal Assistance to State and Local
Governments. GAO/GGD-75-75. Washington, D.C.: August 19, 1975.
Rural Housing Assistance:
Rural Housing Programs: Opportunities Exist for Cost Savings and
Management Improvement. GAO/RCED-96-11. Washington, D.C.: November 16,
1995.
Public Power:
Congressional Oversight: Opportunities to Address Risks, Reduce Costs,
and Improve Performance. GAO/T-AIMD-00-96. Washington, D.C.: February
17, 2000.
Federal Power: The Role of the Power Marketing Administrations in a
Restructured Electricity Industry. GAO/T-RCED/AIMD-99-229. Washington,
D.C.: June 24, 1999.
Federal Power: PMA Rate Impacts, by Service Area. GAO/RCED-99-55.
Washington, D.C.: January 28, 1999.
Federal Power: Regional Effects of Changes in PMAs' Rates. GAO/RCED-99-
15. Washington, D.C.: November 16, 1998.
Power Marketing Administrations: Repayment of Power Costs Needs Closer
Monitoring. GAO/AIMD-98-164. Washington, D.C.: June 30, 1998.
Federal Power: Options for Selected Power Marketing Administrations'
Role in a Changing Electricity Industry. GAO/RCED-98-43. Washington,
D.C.: March 6, 1998.
Federal Electricity Activities: The Federal Government's Net Cost and
Potential for Future Losses. GAO/AIMD-97-110 and 110A. Washington,
D.C.: September 19, 1997.
Federal Power: Issues Related to the Divestiture of Federal Hydropower
Resources. GAO/RCED-97-48. Washington, D.C.: March 31, 1997.
Power Marketing Administrations: Cost Recovery, Financing, and
Comparison to Nonfederal Utilities. GAO/AIMD-96-145. Washington, D.C.:
September 19, 1996.
Federal Power: Outages Reduce the Reliability of Hydroelectric Power
Plants in the Southeast. GAO/T-RCED-96-180. Washington, D.C.: July 25,
1996.
Federal Power: Recovery of Federal Investment in Hydropower Facilities
in the Pick-Sloan Program. GAO/T-RCED-96-142. Washington, D.C.: May 2,
1996.
Federal Electric Power: Operating and Financial Status of DOE's Power
Marketing Administrations. GAO/RCED/AIMD-96-9FS. Washington, D.C.:
October 13, 1995.
Child Support Enforcement:
Child Support Enforcement: Clear Guidance Would Help Ensure Proper
Access to Information and Use of Wage Withholding by Private Firms.
GAO-02-349, March 26, 2002.
Child Support Enforcement: Effects of Declining Welfare Caseloads Are
Beginning to Emerge. GAO/HEHS-99-105. Washington, D.C.: June 30, 1999.
Welfare Reform: Child Support an Uncertain Income Supplement for
Families Leaving Welfare. GAO/HEHS-98-168. Washington, D.C.: August 3,
1998.
Child Support Enforcement: Early Results on Comparability of Privatized
and Public Offices. GAO/HEHS-97-4. Washington, D.C.: December 16, 1996.
Child Support Enforcement: Reorienting Management Toward Achieving
Better Program Results. GAO/HEHS/GGD-97-14. Washington, D.C.: October
25, 1996.
Child Support Enforcement: States' Experience with Private Agencies'
Collection of Support Payments. GAO/HEHS-97-11. Washington, D.C.:
October 23, 1996.
Child Support Enforcement: States and Localities Move to Privatized
Services. GAO/HEHS-96-43FS. Washington, D.C.: November 20, 1995.
Child Support Enforcement: Opportunity to Reduce Federal and State
Costs. GAO/T-HEHS-95-181. Washington, D.C.: June 13, 1995.
(450194):
FOOTNOTES
[1] While Social Security and Medicare are the largest direct spending
or mandatory programs, this category also includes such others as farm
price supports, insurance programs, food stamps, TANF block grants to
the states, federal civilian and military pension and health.
[2] U.S. General Accounting Office, High-Risk Series: An Update, GAO-
03-119 (Washington, D.C.: January 2003).
[3] Attached to this testimony is a list of selected GAO reports
related to the specific examples cited.
[4] U.S. General Accounting Office, Medicare Home Health: Prospective
Payment System Will Need Refinement as Data Become Available, GAO-HEHS-
00-9 (Washington, D.C.: April 7, 2000); and Medicare Home Health:
Prospective Payment System Could Reverse Recent Declines in Spending,
GAO-HEHS-00-176 (Washington, D.C.: Sept. 8, 2000).
[5] Medicare: Payments for Covered Outpatient Drugs Exceed Providers'
Cost, GAO-01-1118 (Washington, D.C.: Sept. 21, 2001).
[6] Enterprise architecture is an institutional blueprint that defines
in both business and technology terms the organizations current and
target operating environments and provides a transition roadmap.
[7] U.S. General Accounting Office, Food Stamp Program: Storeowners
Seldom Pay Financial Penalties Owed for Program Violations, GAO/RCED-
99-91. (Washington, D.C.: May 11, 1999).
[8] U.S. General Accounting Office, Food Assistance: Efforts to Control
Fraud and Abuse in the Child and Adult Care Food Program Should Be
Strengthened, GAO/RCED-00-12. (Washington, D.C.: Nov. 29, 1999).
[9] U.S. General Accounting Office, Benefit and Loan Programs: Improved
Data Sharing Could Enhance Program Integrity, GAO/HEHS-00-19,
(Washington, D.C., Sept. 13, 2000).
[10] U.S. General Accounting Office, Single-Family Housing: Stronger
Oversight of FHA Lenders Could Reduce HUD's Insurance Risk, GAO/RCED-
00-112 (Washington, D.C.: April 28, 2000).
[11] U.S. General Accounting Office, Single-Family Housing:
Opportunities to Improve Federal Foreclosure and Property Sales
Processes, GAO-02-305 (Washington, D.C.: Apr. 17, 2002).
[12] We calculated this figure by multiplying the number of last-day
cases reported in Texas and Georgia (4,819) by SSA data on the average
annual offset amount ($4,800) and the average retirees life expectancy
upon receipt of spousal benefits (19.4 years). This estimate may over/
under estimate costs due to the use of averages, the exclusion of
inflation/cost-of-living/net present value adjustments, lost
investment earnings by the Trust Funds, and other factors that may
affect the receipt of spousal benefits.