Federal Capital

Three Entities' Implementation of Capital Planning Principles Is Mixed Gao ID: GAO-07-274 February 23, 2007

In fiscal year 2005, the federal government spent nearly $117 billion on capital investments intended to yield long-term benefits for its operations. Effective capital planning ensures that the sizable investments made by federal agencies result in the most efficient return to taxpayers. Accordingly, GAO evaluated (1) how well selected entities followed the planning phase principles of GAO's Executive Guide and the Office of Management and Budget's (OMB) Capital Programming Guide, (2) OMB's actions to encourage all agencies to conform with capital planning principles, and (3) what capital planning information is received by or would be useful to congressional decision makers. Based on missions, asset types, and capital spending, we selected three entities to review within the Departments of Energy (DOE) and Homeland Security (DHS).

The selected entities--the Offices of Science (SC) and Environmental Management (EM) within DOE and U.S. Customs and Border Protection (CBP) within DHS--had mixed success with implementing the planning phase principles and practices described in OMB's and our guides. We found that in their capital planning processes, the selected entities' guidance generally requires linkage between proposed investments and strategic goals and they assess needs and identify performance gaps in a variety of ways. We also found that the selected entities' evaluations of alternatives are not always apparent in their capital planning documentation. Each entity has established a framework to review and approve proposed investments and uses criteria to rank and select projects, but problems exist with CBP's framework and CBP has only established criteria to rank and select its real property investments. In addition, although each entity produces some long-term planning documents, none has developed a comprehensive capital plan that defines all of its long-term investment decisions. OMB worked with agencies to update its Capital Programming Guide, which was released in June 2006. OMB staff also told us that OMB requires agencies to comply with the principles and practices in its guide. However, OMB does not routinely request all the information recommended by its guide. For example, although OMB's guide encourages agencies to develop long-term capital plans, OMB staff told us they do not request copies of these plans, so it is not clear whether all agencies develop them. Instead, OMB staff said they are able to determine if an agency has a capital planning process based on other required documents. Although these documents contain some elements of a long-term capital plan, they do not include all expected aspects. Congressional staff with whom we met believed additional capital planning information would be useful. Specifically, those responsible for resource allocation for and oversight of SC, EM, and CBP told us they would like to receive the type of information that would be found in a long-term capital plan. Congressional staff said that this information would help Congress make better-informed appropriations and oversight decisions.

Recommendations

Our recommendations from this work are listed below with a Contact for more information. Status will change from "In process" to "Open," "Closed - implemented," or "Closed - not implemented" based on our follow up work.

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GAO-07-274, Federal Capital: Three Entities' Implementation of Capital Planning Principles Is Mixed This is the accessible text file for GAO report number GAO-07-274 entitled 'Federal Capital: Three Entities' Implementation of Capital Planning Principles Is Mixed' which was released on March 26, 2007. This text file was formatted by the U.S. Government Accountability Office (GAO) to be accessible to users with visual impairments, as part of a longer term project to improve GAO products' accessibility. Every attempt has been made to maintain the structural and data integrity of the original printed product. Accessibility features, such as text descriptions of tables, consecutively numbered footnotes placed at the end of the file, and the text of agency comment letters, are provided but may not exactly duplicate the presentation or format of the printed version. The portable document format (PDF) file is an exact electronic replica of the printed version. We welcome your feedback. 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Report to the Subcommittee on Federal Financial Management, Government Information, Federal Services, and International Security, Committee on Homeland Security and Governmental Affairs, U.S. Senate: United States Government Accountability Office: GAO: February 2007: Federal Capital: Three Entities' Implementation of Capital Planning Principles Is Mixed: GAO-07-274: GAO Highlights: Highlights of GAO-07-274, a report to the Subcommittee on Federal Financial Management, Government Information, Federal Services, and International Security, Committee on Homeland Security and Governmental Affairs, U.S. Senate Why GAO Did This Study: In fiscal year 2005, the federal government spent nearly $117 billion on capital investments intended to yield long-term benefits for its operations. Effective capital planning ensures that the sizable investments made by federal agencies result in the most efficient return to taxpayers. Accordingly, GAO evaluated (1) how well selected entities followed the planning phase principles of GAO‘s Executive Guide and the Office of Management and Budget‘s (OMB) Capital Programming Guide, (2) OMB‘s actions to encourage all agencies to conform with capital planning principles, and (3) what capital planning information is received by or would be useful to congressional decision makers. Based on missions, asset types, and capital spending, we selected three entities to review within the Departments of Energy (DOE) and Homeland Security (DHS). What GAO Found: The selected entities”the Offices of Science (SC) and Environmental Management (EM) within DOE and U.S. Customs and Border Protection (CBP) within DHS”had mixed success with implementing the planning phase principles and practices described in OMB‘s and our guides. We found that in their capital planning processes, the selected entities‘ guidance generally requires linkage between proposed investments and strategic goals and they assess needs and identify performance gaps in a variety of ways. We also found that the selected entities‘ evaluations of alternatives are not always apparent in their capital planning documentation. Each entity has established a framework to review and approve proposed investments and uses criteria to rank and select projects, but problems exist with CBP‘s framework and CBP has only established criteria to rank and select its real property investments. In addition, although each entity produces some long-term planning documents, none has developed a comprehensive capital plan that defines all of its long-term investment decisions. Table: Selected Entities' Conformance with Capital Planning Principles: Planning Principle: Strategic linkage; DOE/SC: Practices conform; DOE/EM: Practices conform; DHS/CBP: Practices partially conform. Planning Principle: Needs assessment and gap identification; DOE/SC: Practices conform; DOE/EM: Practices conform; DHS/CBP: Practices partially conform. Planning Principle: Alternatives evaluation; DOE/SC: Practices partially conform; DOE/EM: Practices partially conform; DHS/CBP: Practices partially conform. Planning Principle: Review and approval framework with established criteria for selecting capital investments; DOE/SC: Practices conform; DOE/EM: Practices conform; DHS/CBP: practices partially conform. Planning Principle: Long-term capital investment plan; DOE/SC: Practices do not conform; DOE/EM: Practices do not conform; DHS/CBP: Practices do not conform. Source: GAO analysis of agency data. [End of table] OMB worked with agencies to update its Capital Programming Guide, which was released in June 2006. OMB staff also told us that OMB requires agencies to comply with the principles and practices in its guide. However, OMB does not routinely request all the information recommended by its guide. For example, although OMB‘s guide encourages agencies to develop long-term capital plans, OMB staff told us they do not request copies of these plans, so it is not clear whether all agencies develop them. Instead, OMB staff said they are able to determine if an agency has a capital planning process based on other required documents. Although these documents contain some elements of a long-term capital plan, they do not include all expected aspects. Congressional staff with whom we met believed additional capital planning information would be useful. Specifically, those responsible for resource allocation for and oversight of SC, EM, and CBP told us they would like to receive the type of information that would be found in a long-term capital plan. Congressional staff said that this information would help Congress make better-informed appropriations and oversight decisions. What GAO Recommends: We recommend DOE and DHS improve conformance with capital planning principles at SC and EM, and CBP, respectively. We also make recommendations to the Director of OMB and suggest Congress make capital planning information more available to decision makers. DOE and DHS agreed with our recommendations; OMB agreed with as-needed submissions of capital plans but not with requiring them. We believe requiring these plans is important to ensure consistent conformance with the principles. [Hyperlink, http://www.gao.gov/cgi-bin/getrpt?GAO-07-274]. To view the full product, including the scope and methodology, click on the link above. For more information, contact Susan J. Irving at (202) 512-9142 or irvings@gao.gov. [End of section] Contents: Letter: Results in Brief: Background: Objectives, Scope, and Methodology: Capital Planning Principles Are Evident but Implementation Is Mixed: OMB Has Taken Actions to Encourage Agencies to Conform with Capital Planning Principles, but It Does Not Request Long-term Capital Plans: Congress Receives Some Capital Planning Information from Agencies but Additional Information Would Enhance Decision Making: Conclusions: Matter for Congressional Consideration: Recommendations for Executive Action: Agency Comments and Our Evaluation: Appendix I: Objectives, Scope, and Methodology: Appendix II: Department of Energy: Background: Types of Assets: Capital Funding: Capital Planning Process: Appendix III: U.S. Customs and Border Protection: Background: Types of Assets: Capital Funding: Capital Planning Process: Appendix IV: Comments from the Department of Energy: GAO Comments: Appendix V: Comments from the Department of Homeland Security: GAO Comments: Appendix VI: GAO Contact and Staff Acknowledgments: Tables: Table 1: Capital Planning Principles: Table 2: DOE Review and Approval Authority Thresholds for Investments Costing $5 Million or More: Table 3: DHS Investment Levels for Non-IT Projects: Table 4: Criteria for Scoring Capital Investment Projects at CBP Facilities: Table 5: DOE Review and Approval Authority Thresholds for Investments Costing $5 Million or More: Table 6: DHS Investment Levels for Non-IT Projects: Table 7: Criteria for Scoring Capital Investment Projects at CBP Facilities: Figures: Figure 1: Selected Entities' Conformance with Capital Planning Principles: Figure 2: Summary of SC and EM Project Categories: Figure 3: SC Capital Asset Investments, Fiscal Year 2005: Figure 4: EM Capital Asset Investments, Fiscal Year 2005: Figure 5: SC's and EM's Conformance with Capital Planning Principles: Figure 6: CBP Capital Asset Investments, Fiscal Year 2005: Figure 7: CBP's Conformance with Capital Planning Principles: Abbreviations: AIP: accelerator improvement projects: ARB: Architecture Review Board: BES: Basic Energy Sciences: CAMP: Capital Asset Management Process: CBP: U.S. Customs and Border Protection: DOE: Department of Energy: DHS: Department of Homeland Security: EM: Office of Environmental Management: ESAAB: Energy Systems Acquisitions Advisory Board: FIMS: Facilities Information Management System: GPP: general plant projects: IFI: Integrated Facilities and Infrastructure Crosscut Budget: IRB: Investment Review Board: IT: information technology: MIE: major items of equipment: OIG: Office of Inspector General: OMB: Office of Management and Budget: SAP: Systems, Applications and Products: SC: Office of Science: TYSP: 10-year site plan: United States Government Accountability Office: Washington, DC 20548: February 23, 2007: The Honorable Thomas R. Carper: Chairman: The Honorable Tom Coburn: Ranking Member: Subcommittee on Federal Financial Management, Government Information, Federal Services, and International Security: Committee on Homeland Security and Governmental Affairs: United States Senate: In fiscal year 2005 alone, the federal government spent nearly $117 billion on capital assets intended to yield long-term benefits for its own operations--a 17 percent increase from the $100 billion spent in 2002. Both because large sums of taxpayer funds are spent on capital assets and because their performance affects how well agencies are able to achieve their missions, goals, and objectives, effective planning for capital investments is a very important task. The Congress, the Office of Management and Budget (OMB), and we have all identified the need for effective capital planning. In addition, budgetary pressures and demands to improve performance in all areas increase the need for agencies to make sound capital acquisition choices. This report responds to your request that we evaluate federal entities' conformance with capital planning principles embodied in our Executive Guide[Footnote 1] and in OMB's Capital Programming Guide--supplemental guidance contained in its annual Circular No. A-11. As requested, we evaluated (1) how well selected entities followed the planning phase principles in OMB's and our guides, (2) what actions OMB has taken to encourage all agencies' conformance with capital planning principles, and (3) what capital planning information is currently received by or would be useful to congressional decision makers. As you requested, we focused on noninformation technology (non-IT) capital investments at selected entities. Based on the diversity in their missions, the different types of assets they acquired, and their relatively high volume of capital spending, we looked at the Office of Science (SC) and the Office of Environmental Management (EM) within the Department of Energy (DOE), and U.S. Customs and Border Protection (CBP) within the Department of Homeland Security (DHS). In fiscal year 2005, SC, EM, and CBP budget authority for capital investments was $563 million, $1,027 million, and $851 million, respectively. We conducted our work from February 2006 through December 2006 in accordance with generally accepted government auditing standards. Detailed information on our scope and methodology appears in appendix I. Results in Brief: EM, SC, and CBP have experienced mixed success with implementing the planning phase principles and practices described in OMB's Capital Programming Guide and our Executive Guide. DOE has a well-established capital planning process in place for higher-cost investments--largely based on OMB's Capital Programming Guide, according to DOE officials-- that both SC and EM follow; as such, SC's and EM's capital planning processes better conform with capital planning principles. Conversely, CBP's capital planning process is relatively new and untested for capital investments other than IT; it did not fully conform with any of the capital planning principles at the time of our review. We found that in their capital planning processes, all three selected entities' guidance generally requires linkage between proposed investments and strategic goals and objectives and they use a variety of methods to assess needs and identify performance gaps between current and needed capabilities. A lack of non-IT examples meant we were unable to verify implementation of these practices in CBP's process; however, we were able to verify these practices for a CBP project reviewed in DHS's capital planning process. We also found that the selected entities' evaluations of alternatives are not always apparent in their capital planning documentation. Although each entity has established a framework to review and approve proposed investments and uses criteria to rank and select projects, problems exist with CBP's framework, such as it does not review non-IT capital projects below $50 million, and it has established criteria to rank and select only its real property investments. None of the selected entities has developed a comprehensive, long-term capital plan. Each entity has some long-term planning documents, but none has an entitywide capital plan that defines all of its long-term investment decisions. OMB has taken steps to encourage agencies' conformance with capital planning principles, but it does not request long-term capital plans from agencies. Beginning in November 2005, OMB collaborated with agencies to update its Capital Programming Guide. The updated guide was released in June 2006 as a part of OMB's annual Circular No. A-11. In addition, OMB staff told us that OMB requires agencies to comply with the principles and practices in its guide. However, OMB does not routinely request all the information recommended by its guide. For example, although agencies are encouraged to develop long-term capital plans as a part of the Capital Programming Guide, OMB staff told us they do not request copies of these plans, so it is not clear whether all agencies produce them. Instead, OMB staff stated that they are able to determine if an agency has a capital planning process based on other required documents. Although these other documents contain some elements of a long-term capital plan, they do not include all expected aspects. As the principal output of an agency's capital planning process, a long-term capital plan should be the central document an agency uses to guide its capital decision making. We have previously recommended, and we continue to believe, that OMB should require agencies to develop and submit long-term capital plans to OMB and congressional decision makers. EM, SC, and CBP provide some capital planning information to Congress. However, congressional staff with whom we met stated that they would like to receive additional information. Specifically, those responsible for resource allocation for and oversight of the selected entities told us they would like to receive the type of information that would be found in a long-term capital plan. Congressional staff said that this information would help Congress make better-informed appropriations and oversight decisions. We make recommendations in this report to the Secretaries of Energy and Homeland Security to improve conformance with capital planning principles at SC and EM, and CBP, respectively. DOE and DHS agreed with these recommendations. In addition, we make recommendations to the Director of OMB and offer a matter for Congress to consider to enhance the availability of long- term capital planning information to decision makers. OMB agreed that there are benefits to it reviewing an agency's long-term capital plan on an as-needed basis. However, it did not agree that all federal agencies should be required to submit a long-term capital plan to OMB and stated that these plans should be developed by agencies and shared with OMB on a case-by-case basis depending on the specific issue being addressed. We continue to believe that requiring agencies to develop and submit long-term capital plans to OMB will better ensure that agencies have long-term capital planning processes that conform with established capital planning principles. Written comments from DOE and DHS are included and addressed in appendixes IV and V, respectively. OMB provided comments orally and via e-mail. In addition, each of the case study entities, their respective departments, and OMB provided technical comments. We have incorporated changes as a result of these comments, as appropriate. Background: Federal government spending on capital investments can be divided into two categories: that which provides long-term benefits to the nation as a whole--increasing the nation's overall capital stock for economic growth--and that which improves the efficiency of internal federal agency operations--capital investment for the government as an operating entity. This report focuses on the latter. OMB and we have defined these assets, which are acquired for the government's own use, as land, structures, equipment, and intellectual property (including software) that have an estimated useful life of 2 years of more.[Footnote 2] Some examples are office buildings, waste storage facilities, motor vehicles, aircraft, marine vessels, construction equipment, pieces of scientific research equipment, and scanning and detection equipment. Effective capital programming requires long-range planning and a disciplined decision-making process as the basis for managing a portfolio of assets to achieve performance goals and objectives with minimal risk, lowest life-cycle costs, and greatest benefits to the agency's business. Capital programming consists of four phases: (1) planning, (2) budgeting, (3) acquiring, and (4) managing assets. We have previously reported that the planning phase is the crux of the capital decision-making process.[Footnote 3] The results from this phase are used throughout the remaining phases of the process and failure to follow key practices during this phase may have repercussions on agency operations if poor capital investment decisions are made. For the planning phase, both OMB and our guidance stress the importance of linking capital asset investments to an organization's overall mission and long-term strategic goals. The guidance also emphasizes evaluating a full range of alternatives to bridge any identified performance gap, informed by agency asset inventories that contain condition information. Further, the guidance calls for a comprehensive decision-making framework to review, rank, and select from among competing project proposals. Such a framework should include appropriate levels of management review and selections should be based on the use of established criteria. The ultimate product of the planning phase is a comprehensive capital plan, which defines the long- term capital decisions that resulted from the agency's capital planning process. Both OMB and our guidance highlight the importance of this plan. Table 1 further elaborates on the five key capital planning principles contained in the guidance. Table 1: Capital Planning Principles: Planning principle: Strategic linkage; Description: Capital planning is an integral part of an agency's strategic planning process. It provides a long-range plan for the capital asset portfolio in order to meet the goals and objectives in the agency's strategic and annual performance plans. Agency strategic and annual performance plans should identify capital assets and define how they will help the agency achieve its goals and objectives. Leading organizations also view strategic planning as the vehicle that guides decision making for all spending. Planning principle: Needs assessment and gap identification; Description: A comprehensive needs assessment identifies the resources needed to fulfill both immediate requirements and anticipated future needs based on the results-oriented goals and objectives that flow from the organization's mission. A comprehensive assessment of needs considers the capability of existing resources and makes use of an accurate and up-to-date inventory of capital assets and facilities as well as current information on asset condition. Using this information, an organization can properly determine any performance gap between current and needed capabilities. Planning principle: Alternatives evaluation; Description: Agencies should determine how best to bridge performance gaps by identifying and evaluating alternative approaches, including nonphysical capital options such as human capital. Before choosing to purchase or construct a capital asset or facility, leading organizations carefully consider a wide range of alternatives such as contracting out, privatizing the activity, leasing, and whether existing assets can be used. Planning principle: Review and approval framework with established criteria for selecting capital investments; Description: Agencies should establish a formal process for senior management review and approval of proposed capital assets. The cost of a proposed asset, the level of risk involved in acquiring the asset, and its importance to achieving the agency mission should be considered when defining criteria for executive review. Leading organizations have processes that determine the level of review and analysis based on the size, complexity, and cost of a proposed investment or its organizationwide impact. As a part of this framework, proposed capital investments should be compared to one another to create a portfolio of major assets ranked in priority order. Planning principle: Long-term capital investment plan; Description: The long-term capital plan should be the final and principal product resulting from the agency's capital planning process. The capital plan, covering 5 years or more, should be the result of an executive review process that has determined the proper mix of existing assets and new investments needed to fulfill the agency's mission, goals, and objectives, and should reflect decision makers' priorities for the future. Leading organizations update long-term capital plans either annually or biennially. Agencies are encouraged to include certain elements in their capital plans, including a statement of the agency mission, strategic goals, and objectives; a description of the agency's planning process; baseline assessments and identification of performance gaps; and a risk management plan. Source: GAO analysis based on OMB's Capital Programming Guide (Version 2.0) and GAO-04-138. [End of table] Originally released in July 1997, and recently updated in June 2006, OMB's Capital Programming Guide provides federal agencies a basic reference for establishing an effective process for making investment decisions. In December 1998, we issued an Executive Guide on leading practices for capital decision making. In addition, in January 2004, we reported on the implementation of capital planning concepts in four federal agencies: the Department of Veterans Affairs, the Bureau of Prisons within the Department of Justice, the National Park Service within the Department of the Interior, and the National Oceanic and Atmospheric Administration within the Department of Commerce.[Footnote 4] We found that these agencies' capital planning processes generally linked investments to their strategic goals and objectives, and they all considered a range of alternatives to bridge any identified performance gap. Most had established frameworks to review and select from competing project proposals, but had limited success with using agencywide asset inventory systems and data on asset condition to identify performance gaps. None of the agencies we examined then had prepared comprehensive, agencywide, long-term capital plans. Since our report, most have taken actions to improve their capital planning processes by addressing some or all of these issues. As in our past report, this report reviews capital planning processes at selected entities. This report looks at SC, EM, and CBP, which were selected based on the diversity in their missions, the different types of assets they acquired, and their relatively high volume of capital spending. According to its 5-Year Budget Plan for Fiscal Years 2007-2011, SC's mission is to "deliver the discoveries and scientific tools that transform our understanding of energy and matter and advance the national, economic, and energy security of the U.S." It had a fiscal year 2006 budget of over $3.5 billion and manages 10 national laboratories as well as additional research projects at other locations across the country. In fiscal year 2005, budget authority for SC's capital investments accounted for $563 million, or 15 percent of the total DOE Science appropriations. Its capital spending is influenced by facility revitalization needs and the demand of the scientific community for new or improved research tools and facilities. SC invests in research-oriented assets such as research facilities, new instrumentation and components for existing facilities, and other pieces of scientific research equipment, as well as general-purpose construction, maintenance, and repair projects. EM's mission is to complete the safe cleanup of the environmental legacy from 5 decades of nuclear weapons development and government- sponsored nuclear energy research. It had a fiscal year 2006 budget of over $6.5 billion and manages over 80 environmental cleanup projects at 25 sites across the country. In fiscal year 2005, budget authority for capital investments accounted for $1,027 million, or 14 percent of EM's total appropriations. EM capital spending is influenced by facility maintenance needs and the legislative and regulatory requirements that drive its cleanup operations as well as the current state of technology. EM acquires waste treatment facilities, waste storage facilities, vehicles, pumping equipment, and construction equipment. Like SC, EM also invests in general-purpose construction, maintenance, and repair projects. CBP's mission is to prevent terrorists and terrorist weapons from entering the United States while at the same time facilitating the flow of legitimate trade and travel. CBP is organized into 20 different offices and has a large field presence. In fiscal year 2005, budget authority for capital investments accounted for $851 million, or 13 percent of the agency's total appropriations.[Footnote 5] CBP acquires and uses many different types of capital assets to accomplish its mission. Its current facilities and tactical infrastructure portfolio consists of CBP-owned and -leased facilities and real estate, temporary structures, and other tactical infrastructure, such as fences, lights, and barriers. CBP owns and maintains a motor vehicle fleet, a variety of aircraft, and different types of marine vessels. The agency also acquires different types of scanning and detection equipment, such as large-scale X-ray and gamma-imaging systems, and nuclear and radiological detection equipment. Objectives, Scope, and Methodology: The objectives of this study were to evaluate (1) how well selected entities followed the planning phase principles in OMB's and our guides, (2) what actions OMB has taken to encourage all agencies' conformance with capital planning principles, and (3) what capital planning information is currently received by or would be useful to congressional decision makers. Based on the diversity in their missions, the types of assets they acquired, and their relatively high volume of capital spending, we focused on non-IT capital investments at selected entities: the Office of Science (SC) and the Office of Environmental Management (EM) within the Department of Energy (DOE), and U.S. Customs and Border Protection (CBP) within the Department of Homeland Security (DHS). To accomplish our first objective, we obtained and reviewed various forms of agency documentation, including asset management, budget, and program documents; strategic plans; performance plans and other annual plans; and capital project proposals. We also conducted extensive interviews with agency officials at various levels of management, including planning, policy, budget, and facilities staff as well as program, project, and property management staff. To accomplish our second objective, we met with OMB staff to discuss what actions OMB had taken to encourage agencies' conformance with capital planning principles. We also obtained and reviewed various OMB guidance, including its Circular No. A-11 and its updated Capital Programming Guide. To accomplish our third objective, we met with staff members of several committees responsible for resource allocation for or oversight of the selected entities in order to better understand what capital planning data are used or would be most useful in their decision making.[Footnote 6] Capital Planning Principles Are Evident but Implementation Is Mixed: The selected entities have experienced mixed success with implementing the planning phase principles and practices described in OMB's Capital Programming Guide and our Executive Guide. DOE has a well-established capital planning process in place for higher-cost investments--largely based on OMB's Capital Programming Guide, according to DOE officials-- that both SC and EM follow; as such, SC's and EM's capital planning processes better conform with capital planning principles. Conversely, CBP's process is relatively new and untested for capital investments other than IT; it did not fully conform with any of the capital planning principles at the time of our review. We found that in their capital planning processes, the selected entities' guidance generally requires linkage between proposed investments and strategic goals and objectives and they use a variety of methods to assess needs and identify performance gaps between current and needed capabilities. A lack of non-IT examples meant we were unable to verify implementation of these practices in CBP's process; however, we were able to verify these practices for a CBP project reviewed in DHS's capital planning process. CBP officials told us that this project served as an example of how a project proceeds through DHS's capital planning process. We also found that the selected entities' evaluations of alternatives are not always apparent in their capital planning documentation. Although each entity has established a framework to review and approve proposed investments and uses criteria to rank and select projects, problems exist with CBP's framework, such as it does not review non-IT capital projects below $50 million, and it only has established criteria to rank and select its real property investments. In addition, none of the selected entities has developed a comprehensive, long-term capital plan. Each entity has some long-term planning documents, but none has a comprehensive capital plan that defines all of its long-term investment decisions. Figure 1 provides a snapshot of the degrees of conformance with the planning phase guidance at the examined entities. Further information on each entity and its capital planning process is contained in appendix II for SC and EM, and appendix III for CBP. Figure 1: Selected Entities' Conformance with Capital Planning Principles: Planning Principle: Strategic linkage; DOE/SC: Practices conform; DOE/EM: Practices conform; DHS/CBP: Practices partially conform. Planning Principle: Needs assessment and gap identification; DOE/SC: Practices conform; DOE/EM: Practices conform; DHS/CBP: Practices partially conform. Planning Principle: Alternatives evaluation; DOE/SC: Practices partially conform; DOE/EM: Practices partially conform; DHS/CBP: Practices partially conform. Planning Principle: Review and approval framework with established criteria for selecting capital investments; DOE/SC: Practices conform; DOE/EM: Practices conform; DHS/CBP: practices partially conform. Planning Principle: Long-term capital investment plan; DOE/SC: Practices do not conform; DOE/EM: Practices do not conform; DHS/CBP: Practices do not conform. Source: GAO analysis of agency data. [End of figure] All Three Entities' Guidance Requires Strategic Linkage: Both OMB and our guidance emphasize the importance of linking capital asset investments, funding, and management to an organization's overall mission and long-term strategic goals. OMB's guide describes capital planning as an integral part of an agency's strategic planning process within the framework established by the Government Performance and Results Act.[Footnote 7] The guide states that by linking planning and budgeting to procurement and the management of capital assets the resulting all-encompassing roadmap encourages agencies to develop a capital plan. This provides for the long-range planning of the capital asset portfolio in order to meet the goals and objectives in the strategic and annual performance plans. Both the strategic and annual performance plans should identify capital assets and define how they will help the agency achieve its goals and objectives. Our guide describes how leading organizations also view strategic planning as the vehicle that guides decision making for all spending. These organizations use their strategic planning processes to assess the needs of clients and constituents and the political and economic environment in which they are operating and to link the expected outcomes of projects, including capital projects, to the organization's overall strategic goals and objectives. EM, SC, and CBP have guidance that calls for linking planned capital acquisitions to agency strategic plans. As required by DOE's capital planning process for investments equal to or over $5 million--which is largely based on OMB's Capital Programming Guide, according to DOE officials--both SC and EM produce mission need statements to tie these higher cost investments to DOE's strategic goals. For example, an SC mission need statement for the National Synchrotron Light Source-II discusses how the proposed research facility is linked to one of SC's program goals, which in turn is linked to DOE's strategic goal to provide world-class scientific research capacity in a number of fields. For projects entering CBP's capital planning process, the related guidance directs project managers to prepare a need analysis document that outlines how the proposed investment links to both CBP and DHS strategic goals. However, we were unable to verify implementation of this practice for non-IT capital projects because none had yet completed CBP's capital planning process at the time of our review. CBP's major non-IT projects--those with an acquisition cost of $50 million or more--are also reviewed and approved in DHS's capital planning process. DHS guidance calls for a link between the capital investment and DHS's mission and strategic goals in mission need statements. In a mission need statement for Border Patrol's aircraft recapitalization, the narrative explicitly ties aviation assets to the awareness, prevention, and protection goals in DHS's strategic plan. CBP officials told us that Border Patrol's aircraft recapitalization served as an example of how a project proceeds through DHS's capital planning process. This project was not reviewed in CBP's current capital planning process because the project began in 2003, before the process was implemented. The Selected Entities Generally Conduct Needs Assessment and Gap Identification: Conducting a comprehensive assessment of resources needed or an analysis of program requirements is an important first step in an organization's capital decision-making process. A comprehensive needs assessment identifies the resources needed to fulfill both immediate requirements and anticipated future needs based on the results-oriented goals and objectives that flow from the organization's mission. The needs assessment is results oriented in that it determines what is needed to obtain specific outcomes rather than what is needed to maintain or expand existing capital stock. A comprehensive assessment of needs considers the capability of existing resources and makes use of an accurate and up-to-date inventory of capital assets and facilities as well as current information on asset condition. Using this information, an organization can properly determine any performance gap between current and needed capabilities. The selected entities assess their needs and identify gaps in a variety of ways. For example, the nature of its programs leads SC to rely on discussion among its research programs, laboratories, advisory committees, and the scientific community to identify gaps in the capabilities of its research-oriented assets. However, for EM, needs assessment is driven by legal or regulatory requirements that target gaps between current and desired environmental safety conditions at cleanup sites and the current state of technology. For example, the need for its Sodium-Bearing Waste Treatment Project is driven by the Idaho Settlement Agreement between DOE, the Department of the Navy, and the state of Idaho, which lays out goals for treatment and disposal of 1 million gallons of sodium-bearing waste at the Idaho National Engineering and Environmental Laboratory. At CBP, capital planning guidance requires the identification of the need for a project, a description of the difference in the current versus required capabilities, and an explanation of why existing resources are unable to provide the required capability. As noted, we were unable to verify implementation of this practice due to a lack of non-IT examples. However, DHS also requires this information, which is illustrated by the previously cited Border Patrol example. In its mission need statement for aircraft recapitalization, Border Patrol references its five mission objectives and describes how aviation assets provide necessary support in carrying out those objectives.[Footnote 8] Also in the statement, Border Patrol identifies several gaps in its current and future capabilities such as existing aircraft have become unserviceable, increasingly expensive to maintain, or have or soon will reach the end of their useful lives. CBP has also established a separate process to determine needed improvements for its real property investments. CBP is implementing an investment planning process for Border Patrol and Field Operations facilities that involves conducting long-range strategic resource assessments to assess existing facilities, predict future needs, and analyze space capacity. For example, a strategic resource assessment of the Tucson Field Operations Office found that the main building at the Nogales West land port of entry lacks sufficient space for CBP operations and is not currently configured to achieve unification of legacy services. CBP, EM, and SC all use inventories to track information on current assets, but data in several of these inventories are inaccurate or incomplete. CBP maintains an agencywide asset inventory that includes asset condition and other information. EM and SC report into a DOE-wide real property inventory. Although there is not yet a departmentwide personal property inventory, EM and SC maintain site-level personal property inventories that include condition information, as required by DOE.[Footnote 9] However, some data in CBP's and EM's asset inventories are inaccurate or incomplete. For example, CBP officials told us that legacy Border Patrol marine assets have not yet been transferred from Border Patrol cost centers to Air and Marine cost centers in the agency's asset inventory. In addition, in a report to the House of Representatives and Senate Committees on Appropriations on its Master Construction Planning Process, CBP cited a number of concerns with existing facility data, including that the data were not complete, contained conflicting information, or had not been updated since initial collection. EM officials at one site told us that they had not recorded all of their assets in DOE's real property inventory. Officials at both CBP and EM told us they are working to address these issues. The Selected Entities' Evaluation of Alternatives Is Not Always Apparent: When a performance gap between needed and current capabilities has been identified, it is important that organizations carefully consider how best to bridge the gap by identifying and evaluating alternative approaches, including noncapital options. OMB's guide states that once detailed requirements are defined, agency management should answer the "Three Critical Questions" before planning to acquire capital assets. The Three Critical Questions are: (1) does the investment in a major capital asset support core/priority mission functions that need to be performed by the federal government, (2) does the investment need to be undertaken by the requesting agency because no alternative private sector or governmental source can better support the function, and (3) does the investment support work processes that have been simplified or otherwise redesigned to reduce costs, improve effectiveness, and make maximum use of commercial, off-the-shelf technology? If the answer to all three questions is yes, according to the OMB guide, management should still consider options other than acquiring new assets to bridge the performance gap, such as meeting the objectives through regulation or user fees, using human capital instead of physical capital assets, or consider modifying existing assets. It also encourages the use of benefit-cost or cost-effectiveness analyses to determine if acquiring a new asset is the best way to reduce an identified performance gap. Our guide describes how leading organizations consider a wide range of alternatives to bridge a performance gap, including noncapital alternatives, before choosing to purchase or construct a capital asset or facility. These options include contracting out, privatizing the activity, nonownership options such as leasing, or engaging in joint venture projects with other organizations to minimize the amount invested and reduce the organization's risk. If it is determined that a capital asset is needed to bridge a performance gap, leading organizations first consider the use of existing assets before choosing to purchase or construct new assets. The selected entities' capital planning documents do not always capture an evaluation of alternatives. Of the 12 SC and EM mission need statements we reviewed, nine included an alternatives evaluation, but even when this was included, noncapital options were not always considered. We also reviewed related acquisition plans and strategies- -additional required documents that are expected to fully discuss alternatives--for five of these investments. Although all considered capital alternatives, only one each of the two SC and three EM acquisition plans and strategies we reviewed discussed noncapital options. SC and EM officials told us that alternatives are sometimes evaluated outside of the formal DOE project management process. For example, an SC official told us that senior management decides which assets SC will acquire versus fulfilling its need through noncapital options. This includes providing funding to outside entities, such as a university, for research purposes, but such evaluations were not always captured in related planning documents. CBP does not require an evaluation of alternatives for projects below $50 million. However, CBP considers alternatives in its strategic resource assessments of real property investments and for major capital projects that are reviewed by DHS. In the previously cited example of the Nogales West land port of entry, the strategic resource assessment of the Tuscan Field Operations Office considered two options to improve the main building at the Nogales West land port of entry: addition of new space and reconfiguration of existing space. The Selected Entities Have Established Review and Approval Frameworks but Have Not Established Criteria to Rank and Select All Investments: Establishing a decision-making framework that encourages the appropriate levels of management review and approval is a critical factor in making sound capital investment decisions. A framework supported by the proper financial, technical, and risk analyses can mean capital investment decisions are made more efficiently and supported by better information. OMB's Capital Programming Guide states that each agency should establish a formal process for senior management review and approval of proposed capital assets. The cost of a proposed asset, the level of risk involved in acquiring the asset, and its importance to achieving the agency mission should be considered when defining criteria for executive review. Our Executive Guide describes how leading organizations use decision-making processes to help them assess where they should invest for the greatest benefit. Some organizations have processes that determine the level of review and analysis based on the size, complexity, and cost of a proposed investment or its organizationwide impact. As a part of this framework, proposed capital investments should be compared to one another to create a portfolio of major assets ranked in priority order. It is generally beneficial, if not necessary, to rank proposed projects because the number of requested projects often exceeds available funding. OMB's guidance suggests that agencies choose portfolios of capital investments that maximize return to the taxpayer and the government--at an acceptable level of risk. The guide provides one approach to devising a ranked list of projects drawn from multiple best practices organizations: the use of a scoring mechanism that assigns a range of values based on project strengths and weaknesses. Higher scores are given to projects that meet or exceed positive aspects of the decision criteria. Our Executive Guide describes processes used by leading organizations for ranking and selecting proposed capital projects. These organizations determined the appropriate mix of projects by viewing all proposed investments and existing capital assets as a portfolio. They selected projects based on preestablished criteria and a relative ranking of investment proposals. The organizations used their overall missions and strategic objectives as a basis for establishing decision-making criteria, such as increased cost savings, market growth, and link to organizational strategies, to rank projects. The entities reviewed in this study and the departments in which they are located have established review and approval frameworks, although problems exist with those at CBP and DHS. SC and EM investments with a cost of $5 million or more are subject to DOE's formal review and approval framework, which was established in October 2000. Investment proposals are reviewed by a board of senior executives, the composition of which varies depending on project costs and risk, and final approval rests with a designated acquisition executive. Table 2 illustrates the various DOE review boards and approving executives. For lower-cost investments--defined as those below $5 million--review and approval authority resides at the site level with some oversight by SC and EM. For example, many of SC's national laboratories have site-level advisory committees that review or make recommendations for lower-cost investments. Table 2: DOE Review and Approval Authority Thresholds for Investments Costing $5 Million or More: Cost threshold: $750 million[A]; Acquisition executive: Deputy Secretary of Energy; Delegated executive: Cannot be delegated; Review board: Energy Systems Acquisition Advisory Board (ESAAB). Cost threshold: $100 million to $750 million[A]; Acquisition executive: Under Secretary; Delegated executive: Head of program office (if $100 million. Investment level: Level 2; Review and approval: Joint Requirements Council reviews and approves; Total acquisition cost: $50 million to $100 million. Investment level: Level 3; Review and approval: Component agency (e.g., CBP) head approves; Total acquisition cost: $20 million to $50 million. Investment level: Level 4; Review and approval: Component agency (e.g., CBP) head approves; Total acquisition cost: $100 million. Investment level: Level 2; Review and approval: Joint Requirements Council reviews and approves; Total acquisition cost: $50 million to $100 million. Investment level: Level 3; Review and approval: Component agency (e.g., CBP) head approves; Total acquisition cost: $20 million to $50 million. Investment level: Level 4; Review and approval: Component agency (e.g., CBP) head approves; Total acquisition cost:

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