Maritime Security
Varied Actions Taken to Enhance Cruise Ship Security, but Some Concerns Remain
Gao ID: GAO-10-400 April 9, 2010
Over 9 million passengers departed from U.S. ports on cruise ships in 2008, and according to agency officials, cruise ships are attractive terrorist targets. GAO was asked to review cruise ship security, and this report addresses the extent to which (1) the Coast Guard, the lead federal agency on maritime security, assessed risk in accordance with the Department of Homeland Security's (DHS) guidance and identified risks; and (2) federal agencies, cruise ship and facility operators, and law enforcement entities have taken actions to protect cruise ships and their facilities. GAO reviewed relevant requirements and agency documents on maritime security, analyzed 2006 through 2008 security operations data, interviewed federal and industry officials, and made observations at seven ports. GAO selected these locations based on factors such as the number of sailings from each port. Results of the visits provided additional information on security, but were not projectable to all ports.
The Coast Guard has assessed the risks to cruise ships in accordance with DHS guidance--which requires that the agency analyze threats, vulnerabilities, and consequences--and, with other maritime stakeholders, identified some concerns. Specifically, agency officials reported in January 2010 that there had been no credible threats against cruise ships in the prior 12 months, but also noted the presence of terrorist groups that have the capability to attack a cruise ship. The Coast Guard, cruise ship and facility operators, and law enforcement officials generally believe waterside attacks are a concern for cruise ships. Agency officials and terrorism researchers also identified terrorists boarding a cruise ship as a concern. The Coast Guard has also identified the potential consequences of an attack, which would include potential loss of life and economic effects. Federal agencies, cruise ship and facility operators, and law enforcement entities have taken various actions to enhance the security of cruise ships and their facilities and implement related laws, regulations, and guidance, and additional actions are under way. DHS and component agencies have taken security measures such as the Coast Guard providing escorts of cruise ships during transit, and CBP's review of passenger and crew data to help target passenger inspections. Cruise ship and cruise ship facility operators' security actions have included developing and implementing security plans, among other things. The Coast Guard is also in the process of expanding a program to deter and prevent small vessel attacks, and is developing additional security measures for cruise ships. In addition, CBP's 2005-2010 Strategic Plan states that CBP should seek to improve identification and targeting of potential terrorists through automated advanced information. CBP, however, has not assessed the cost and benefit of requiring cruise lines to provide passenger reservation data, which in the aviation mode, CBP reports to be useful for the targeting of passengers for inspection. GAO's previous work identified evaluations as a way for agencies to explore the benefits of a program. If CBP conducted a study to determine whether collecting additional passenger data is cost effective and addressed privacy implications, CBP would be in a better position to determine whether additional actions should be taken to augment security.
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.
Director:
Stephen L. Caldwell
Team:
Government Accountability Office: Homeland Security and Justice
Phone:
(202) 512-9610
GAO-10-400, Maritime Security: Varied Actions Taken to Enhance Cruise Ship Security, but Some Concerns Remain
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Report to the Chairman, Committee on Homeland Security, House of
Representatives:
United States Government Accountability Office:
GAO:
April 2010:
Maritime Security:
Varied Actions Taken to Enhance Cruise Ship Security, but Some
Concerns Remain:
GAO-10-400:
GAO Highlights:
Highlights of GAO-10-400, a report to the Chairman, Committee on
Homeland Security, House of Representatives.
Why GAO Did This Study:
Over 9 million passengers departed from U.S. ports on cruise ships in
2008, and according to agency officials, cruise ships are attractive
terrorist targets. GAO was asked to review cruise ship security, and
this report addresses the extent to which (1) the Coast Guard, the
lead federal agency on maritime security, assessed risk in accordance
with the Department of Homeland Security‘s (DHS) guidance and
identified risks; and (2) federal agencies, cruise ship and facility
operators, and law enforcement entities have taken actions to protect
cruise ships and their facilities. GAO reviewed relevant requirements
and agency documents on maritime security, analyzed 2006 through 2008
security operations data, interviewed federal and industry officials,
and made observations at seven ports. GAO selected these locations
based on factors such as the number of sailings from each port.
Results of the visits provided additional information on security, but
were not projectable to all ports.
What GAO Found:
The Coast Guard has assessed the risks to cruise ships in accordance
with DHS guidance”which requires that the agency analyze threats,
vulnerabilities, and consequences”and, with other maritime
stakeholders, identified some concerns. Specifically, agency officials
reported in January 2010 that there had been no credible threats
against cruise ships in the prior 12 months, but also noted the
presence of terrorist groups that have the capability to attack a
cruise ship. The Coast Guard, cruise ship and facility operators, and
law enforcement officials generally believe waterside attacks are a
concern for cruise ships. Agency officials and terrorism researchers
also identified terrorists boarding a cruise ship as a concern. The
Coast Guard has also identified the potential consequences of an
attack, which would include potential loss of life and economic
effects.
Federal agencies, cruise ship and facility operators, and law
enforcement entities have taken various actions to enhance the
security of cruise ships and their facilities and implement related
laws, regulations, and guidance, and additional actions are under way.
DHS and component agencies have taken security measures such as the
Coast Guard providing escorts of cruise ships during transit, and CBP‘
s review of passenger and crew data to help target passenger
inspections. Cruise ship and cruise ship facility operators‘ security
actions have included developing and implementing security plans,
among other things. The Coast Guard is also in the process of
expanding a program to deter and prevent small vessel attacks, and is
developing additional security measures for cruise ships. In addition,
CBP‘s 2005-2010 Strategic Plan states that CBP should seek to improve
identification and targeting of potential terrorists through automated
advanced information. CBP, however, has not assessed the cost and
benefit of requiring cruise lines to provide passenger reservation
data, which in the aviation mode, CBP reports to be useful for the
targeting of passengers for inspection. GAO‘s previous work identified
evaluations as a way for agencies to explore the benefits of a
program. If CBP conducted a study to determine whether collecting
additional passenger data is cost effective and addressed privacy
implications, CBP would be in a better position to determine whether
additional actions should be taken to augment security.
Figure: Cruise Ship Escort by Coast Guard Boats:
[Refer to PDF for image: photograph]
Source: U.S. Coast Guard.
[End of figure]
What GAO Recommends:
GAO recommends that the Commissioner of Customs and Border Protection
(CBP), the unified border security agency in DHS, conduct a study to
determine whether requiring cruise lines to provide passenger
reservation data to CBP would benefit homeland security, and if found
to be of substantial benefit, determine the appropriate mechanism to
issue this requirement. DHS concurred with our recommendation.
View [hyperlink, http://www.gao.gov/products/GAO-10-400] or key
components. For more information, contact Stephen L. Caldwell at (202)
512-9610 or caldwells@gao.gov.
[End of section]
Contents:
Letter:
Background:
The Coast Guard Assesses Risk to Cruise Ships and Facilities in
Accordance with DHS's Risk Assessment Guidance; Concerns Associated
with Waterside Attacks Remain:
Stakeholders Have Taken Various Actions Pursuant to Laws, Regulations,
and Guidance Designed to Enhance the Security of Cruise Ship
Operations and Additional Actions Are Being Considered:
Conclusions:
Recommendation for Executive Action:
Agency Comments and Our Evaluation:
Appendix I: Agency Comments:
Appendix II: GAO Contact and Staff Acknowledgments:
Related GAO Products:
Tables:
Table 1: Key International Stakeholders with Maritime Security
Activities:
Table 2: Key Domestic Stakeholders with Maritime Security
Responsibilities:
Table 3: Key International, National, and State Security Requirements
Applicable to Cruise Ships:
Figures:
Figure 1: Leading U.S. Departure Ports and Destinations for North
American Cruises in 2008:
Figure 2: Coast Guard Inspection of a Cruise Ship Facility:
Figure 3: Cruise Ship Escort by Coast Guard Boats:
Figure 4: Local Law Enforcement Vessel Enforcing a Security Zone:
Figure 5: Truck Unloading Areas and Canine Screening of Stores
Awaiting Loading on Cruise Ship:
Abbreviations:
CBP: Customs and Border Protection:
DHS: Department of Homeland Security:
IMO: International Maritime Organization:
ISPS: International Ship and Port Facility Security:
MTSA: Maritime Transportation Security Act:
SAFE Port Act: Security and Accountability For Every Port Act of 2006:
TSA: Transportation Security Administration:
[End of section]
United States Government Accountability Office:
Washington, DC 20548:
April 9, 2010:
The Honorable Bennie G. Thompson:
Chairman:
Committee on Homeland Security:
House of Representatives:
Dear Mr. Chairman,
Cruise ships are the single largest passenger conveyances in the
world, with one ship currently in service that can carry more than
8,500 passengers and crew. The Coast Guard considers cruise ships to
be highly attractive targets to terrorists, and according to a 2008
RAND Corporation report, cruise ships can represent high-prestige
symbolic targets for terrorists. Moreover, terrorists have either
targeted cruise ships or been able to board cruise ships in the past.
The hijacking of the cruise ship Achille Lauro and killing of
passenger Leon Klinghoffer by terrorists in 1985 was a watershed event
for the cruise industry, leading to major changes in cruise line
security procedures. More recently, in 2005, a plot to attack Israeli
cruise ships off of the Turkish Mediterranean coast was discovered
after the premature explosion of a bomb that was intended for the
attack. A successful attack on a cruise ship in or near U.S. waters
that resulted in the closure of a U.S. port or discouraged cruise
travel would likely harm the U.S. economy because of the significant
economic impact that ports contribute to the U.S. economy. For
example, in a 2006 report, the Congressional Budget Office estimated
that the closure of the ports of Los Angeles and Long Beach would
reduce the U.S. Gross Domestic Product by up to $150 million per day.
Reduced demand for cruise travel following an attack could also have
substantial economic effects as direct spending for goods and services
by the cruise lines and their passengers in the United States was
about $19.1 billion in 2008.
Enacted after the September 11, 2001, attacks, the Maritime
Transportation Security Act of 2002 (MTSA) places much of the
responsibility for coordinating and overseeing maritime security
efforts with the Department of Homeland Security (DHS).[Footnote 1]
Within the department, the U.S. Coast Guard is the lead federal agency
responsible for a wide array of maritime safety and security
activities including those involving cruise ships and facilities.
Other U.S. government agencies, such as DHS's U.S. Customs and Border
Protection (CBP), the unified federal agency responsible for border
security, support the Coast Guard's maritime security mission by
addressing a wide range of issues that affect international maritime
commerce, including screening passengers arriving in the United States
by cruise ship. State and local governments and the private sector
also have responsibilities to secure domestic ports.
You requested that we identify threats and vulnerabilities--two
elements of risk--associated with cruise ships and the measures being
taken to protect them.[Footnote 2] This report responds to the
following questions:
* To what extent does the U.S. Coast Guard assess risk related to
cruise ships and their facilities in accordance with DHS's guidance,
and what are the identified risks?
* To what extent have maritime security stakeholders taken actions to
mitigate the potential risks to cruise ships and their facilities and
to implement applicable federal laws, regulations, and guidance, and
what additional actions, if any, could enhance cruise ship security?
To determine the extent to which the U.S. Coast Guard assesses the
risks related to cruise ships in accordance with DHS's guidance, and
determine the identified risks associated with cruise ships and their
facilities, we reviewed relevant federal guidance on the use of risk
management, including the National Infrastructure Protection Plan.
[Footnote 3] We also reviewed the Coast Guard's primary risk
assessment tool, the Maritime Security Risk Assessment Model and Coast
Guard documents describing the methodology and use of the risk
assessment model. We analyzed the risk assessment model process and
compared it to criteria with the risk assessment component of the
National Infrastructure Protection Plan. We also analyzed the compiled
nationwide results of the risk assessment model to determine the
relative risks facing cruise ships and their facilities, as of July
2009. In addition, we interviewed Coast Guard headquarters personnel
responsible for conducting comprehensive security reviews of critical
maritime infrastructure with the risk assessment model, Coast Guard
District personnel, and Coast Guard Sector personnel responsible for
the implementation of the risk assessment model at the local level to
discuss the relative risks in their areas of responsibility.[Footnote
4] We interviewed Coast Guard, Navy, and private sector intelligence
personnel actively engaged in determining possible threats to cruise
ships and their facilities. We also interviewed Coast Guard and CBP
officials; personnel from five state and local law enforcement
agencies; security personnel from five cruise lines and the Cruise
Lines International Association, the key international cruise industry
association; security personnel from nine cruise ship facility owners
and operators (and one port authority with some security
responsibility for a cruise facility) to determine their perspectives
on the vulnerabilities of cruise ships and their facilities. The Coast
Guard and CBP officials were those responsible for cruise ship and
facility security at both the national level and at the locations
where we made site visits. Similarly, the law enforcement personnel we
met with represented jurisdictions covered in our site visits, and we
also interviewed the facility owners and operators at those sites. We
made these visits to a nonprobability sample of six cruise ship ports
in the United States and four Coast Guard Sectors.[Footnote 5] We
selected these locations based on the number of cruise ship sailings
from the ports and the destinations for the cruise ship sailings.
While the information we obtained from personnel at these locations
cannot be generalized across all U.S. ports, it provided us with a
perspective on the risks to cruise ship and facility security at the
selected locations. The cruise lines we met with were primarily based
on a nonprobability sample selected for their relative size and
location. While their views may not represent views of all cruise
lines, they do cover a substantial portion of the industry. For
example, among members of the Cruise Lines International Association,
the cruise lines we spoke with operate approximately 52 percent of
vessels carrying 500 passengers or more in 2009.
To determine the extent to which maritime security stakeholders--
including national and international governmental organizations,
vessel owners, facility owners and operators, and law enforcement
agencies--have taken actions to mitigate the potential risks to cruise
ships and their facilities and to implement applicable federal laws
and guidance, and determine what additional actions should be
considered, we reviewed relevant federal legislation, regulations, and
guidance. The scope of this review included MTSA; Security and
Accountability For Every Port Act of 2006 (SAFE Port Act) amendments
to MTSA;[Footnote 6] pertinent implementing regulations--such as 33
C.F.R. Parts 101, 102, 103, 104, 105; the Coast Guard's Operation
Neptune Shield operations order, Navigation and Vessel Inspection
Circulars, and Maritime Security Directives, respectively. We analyzed
data on the Coast Guard's security performance in meeting internal
standards established for Operation Neptune Shield during fiscal year
2008, and on cruise ship and facility operator's security performance
in meeting requirements identified in Coast Guard regulations, from
2006 to 2008. We found these data to be sufficiently reliable for the
purpose of contextual or background information. To make this
determination we conducted interviews with knowledgeable agency
officials and performed data testing for missing data, outliers, and
obvious errors. We also analyzed country reports from the Coast
Guard's International Port Security Program--which has responsibility
for assessing the antiterrorism measures maintained by foreign ports--
and Port Security Advisories to determine the level of security at
major cruise ship foreign destinations. Although we reviewed CBP's
documents on passenger screening, such as the Privacy Impact
Assessment for the Automated Targeting System and the CBP Vessel APIS
Guide, and reviewed CBP's objective to improve its identification and
targeting of potential terrorists as stated in its 2005-2010 Strategic
Plan, we did not conduct an independent evaluation of the Automated
Targeting System. We also reviewed a prior GAO report discussing the
use of program evaluations to identify benefits of federal programs.
We interviewed federal officials from various agencies, including the
Coast Guard and CBP to discuss their actions to reduce risks to cruise
ships and their facilities. We observed security activities and
interviewed state and local law enforcement personnel and security
personnel responsible for protecting cruise ships and their facilities
from terrorist attacks at the ports we visited. While our observations
at these locations cannot be generalized across all U.S. ports, it
provided us with a general overview and perspective on cruise ship and
facility security at the selected locations. We also made a site visit
to one foreign cruise ship port to observe possible security actions
other than those used in the United States. We selected this port
because it was one of the few foreign cruise departure ports with many
cruises to U.S. destinations.[Footnote 7]
We conducted this performance audit from January 2009 to April 2010 in
accordance with generally accepted government auditing standards.
Those standards require that we plan and perform the audit to obtain
sufficient, appropriate evidence to provide a reasonable basis for our
findings and conclusions based on our audit objectives. We believe
that the evidence obtained provides a reasonable basis for our
findings and conclusions based on our audit objectives.
Background:
Cruise Industry Carries Many Passengers and Has Numerous Sailings from
U.S. Ports:
According to the Department of Transportation's Maritime
Administration, over 9.3 million passengers departed from a U.S. port
on North American cruises in 2008, on a total of almost 3,900 cruises
from 30 ports.[Footnote 8] The U.S. ports with the most departures
were located in Florida and include Miami, Fort Lauderdale, and Port
Canaveral. Other ports with over 150 cruise departures in 2008 include
Los Angeles, Long Beach, San Juan, and the New York City area. The
Western Caribbean--including islands west of Haiti and ports in
Mexico, Central America, and Columbia--was the most popular
destination for passengers in 2008. These cruises carried nearly twice
as many passengers, or more, than any other destination. Alaska, the:
Bahamas, the Eastern Caribbean, and the Pacific coast of Mexico were
other popular destinations in 2008. See figure 1 for a map showing
leading North American cruise departure and destination ports, as well
as the number of departing passengers for these ports.
Figure 1: Leading U.S. Departure Ports and Destinations for North
American Cruises in 2008:
[Refer to PDF for image: illustrated map of North America]
Departure port: Boston, Massachusetts;
Number of passengers: 50,000.
Departure port: Cape Liberty, New York;
Number of passengers: 1,000,000.
Departure port: New York, New York;
Number of passengers: 1,000,000.
Departure port: Philadelphia, Pennsylvania;
Number of passengers: 50,000.
Departure port: Baltimore, Maryland;
Number of passengers: 50,000.
Departure port: Norfolk, Virginia;
Number of passengers: 50,000.
Departure port: Charleston, South Carolina;
Number of passengers: 50,000.
Departure port: Jacksonville, Florida;
Number of passengers: 50,000.
Departure port: Tampa. Florida;
Number of passengers: 1,000,000.
Departure port: Port Canaveral, Florida;
Number of passengers: 3,000,000.
Departure port: Fort Lauderdale, Florida;
Number of passengers: 3,000,000.
Departure port: Miami, Florida;
Number of passengers: 3,000,000.
Departure port: Mobile, Alabama;
Number of passengers: 50,000.
Departure port: New Orleans, Louisiana;
Number of passengers: 50,000.
Departure port: Galveston, Texas;
Number of passengers: 1,000,000.
Departure port: San Diego, California;
Number of passengers: 1,000,000.
Departure port: Long Beach, California;
Number of passengers: 1,000,000.
Departure port: Los Angeles, California;
Number of passengers: 1,000,000.
Departure port: San Francisco, California;
Number of passengers: 50,000.
Departure port: Seattle, Washington;
Number of passengers: 1,000,000.
Departure port: Seward, Alaska;
Number of passengers: 50,000.
Departure port: Whittier, Alaska;
Number of passengers: 50,000.
Departure port: Honolulu, Hawaii;
Number of passengers: 50,000.
Departure port: San Juan, Puerto Rico;
Number of passengers: 1,000,000.
Destination region: Alaska;
Number of passengers: 1,000,000.
Destination region: Mexico (Pacific);
Number of passengers: 1,000,000.
Destination region: Bahamas;
Number of passengers: 3,000,000.
Destination region: Western Caribbean;
Number of passengers: 3,000,000.
Destination region: Eastern Caribbean;
Number of passengers: 3,000,000.
Destination region: Southern Caribbean;
Number of passengers: 1,000,000.
Sources: GAO analysis of US Customs and Border Patrol data; cruise
line data; and the Official Steamship Guide International.
[End of figure]
Many Stakeholders Involved in Securing Cruise Ship Operations:
Numerous international and domestic organizations play a role in the
security of cruise ships. The non-U.S. stakeholders are diverse and
have wide-ranging roles and responsibilities. These stakeholders
include international organizations, governments of nations where
cruise ships make stops or are registered, and owners and operators of
the vessels and facilities (see table 1).
Table 1: Key International Stakeholders with Maritime Security
Activities:
International organizations:
Organization or agency:
* International Maritime Organization (IMO);
The International Maritime Organization is a specialized agency of the
United Nations with 169 member states that is responsible for
developing an international regulatory framework addressing, among
other things, maritime safety and security;
Key maritime security-related activities:
* Responsible for developing and maintaining a comprehensive
regulatory framework for shipping;
* Responsible for developing international standards for port and
vessel security.
Organization or agency:
* Cruise Lines International Association;
Cruise Lines International Association is composed of 25 cruise lines
that represent 97 percent of the cruise capacity marketed from North
America;
Key maritime security-related activities:
* Responsible for acting as the coordinating body and conduit of
information for its members in meetings with U.S. security agencies at
the national level.
Overseas governmental agencies:
Organization or agency:
* Designated Authorities;
Agencies of IMO member governments or their representatives
responsible for implementing international maritime security
requirements. In the United States, the designated authority is the
U.S. Coast Guard;
Key maritime security-related activities:
* Responsible for setting security levels at a country's ports;
* Responsible for reviewing vessel and facility security plans and
overseeing compliance with these plans.
International private sector:
Organization or agency:
* Vessel owners, operators, and crew;
and terminal operators;
Key maritime security-related activities:
* Responsible for implementing vessel security plans that meet
relevant security standards.
Source: GAO.
[End of table]
In addition to international stakeholders, there are various domestic
maritime security stakeholders in the United States. Table 2 lists key
federal agencies and other domestic stakeholders, together with
examples of the maritime security activities they perform.
Table 2: Key Domestic Stakeholders with Maritime Security
Responsibilities:
Stakeholders: Federal government: Department of Homeland Security:
* U.S. Coast Guard;
Key maritime security-related responsibilities:
* Conduct vessel escorts, boardings of selected vessels, and security
patrols of key port areas;
* Ensure vessels in U.S. waters comply with domestic and international
maritime security standards;
* Review U.S. vessel and facility security plans and oversee
compliance with these plans;
* Meet with foreign governments and visit foreign port facilities to
observe security conditions.
Stakeholders: Federal government: Department of Homeland Security:
* U.S. Customs and Border Protection (CBP);
Key maritime security-related responsibilities:
* Prior to a vessel arrival in the United States, screen information
on its history, crew, passengers, and cargo for items that would lead
to further examination;
* Review documentation of all persons, baggage, and cargo arriving
from foreign ports. Ensure that all have appropriate documents to gain
access to the United States;
* Take action to deny admissibility of aliens to the U.S., or take
other appropriate enforcement action based on the results of the
border search;
* Operate the National Targeting Center that analyzes information used
to target persons for additional screening.[A]
Stakeholders: Federal government: Department of Homeland Security:
* Transportation Security Administration (TSA);
Key maritime security-related responsibilities:
* Test technologies, practices, and techniques for passenger screening
systems in the maritime environment;
* Coordinate with the Coast Guard on security training and surge
operations.
Stakeholders: State and local governments:
* Law enforcement agencies;
Key maritime security-related responsibilities:
* Often act as land-based security for facility operators;
* If agency operates a marine unit, support Coast Guard role through
water patrols and possibly escorts.
Stakeholders: State and local governments:
* Port authorities;
Key maritime security-related responsibilities:
* Own many cruise ship facilities and responsible for ensuring their
security.
Stakeholders: Private sector:
* Vessel owners and operators;
Key maritime security-related responsibilities:
* Develop and implement vessel security plans that meet applicable
laws and regulations.
Stakeholders: Private sector:
* Security contractors;
Key maritime security-related responsibilities:
* Provide security services at cruise ship facilities.
Stakeholders: Private sector:
* Facilities contractors;
Key maritime security-related responsibilities:
* Operate some cruise ship facilities on behalf of owners.
Source: GAO.
[A] The National Targeting Center is a multiagency operations center
that conducts national level targeting and analysis in support of
border-related efforts to identify and interdict terrorists through
reports on individuals entering the country at land, sea, and airports.
[End of table]
Maritime Security Actions Are Guided by Legal and Regulatory Framework:
International, national, and state and local requirements guide
maritime security, including the security of cruise ships and their
facilities. At the international level, the International Maritime
Organization (IMO), through its International Ship and Port Facility
Security (ISPS) Code, a part of the International Convention for the
Safety of Life at Sea, lays out the international framework designed
to help ensure maritime security.[Footnote 9] National laws,
regulations, and guidance direct federal agencies and vessel and
facility operators on a nationwide basis. State and local requirements
may also further direct activities of operators within their
jurisdictions (see table 3).
Table 3: Key International, National, and State Security Requirements
Applicable to Cruise Ships:
Promulgator: International: IMO;
Law or guidance: International Ship and Port Facility Security (ISPS)
Code,[A] as implemented through Chapter XI-2 of the International
Convention for the Safety of Life at Sea[B];
Key provisions: Sets out many of the international standards for
vessel and port facility security. For example, all covered vessels
shall have a designated security officer.
Promulgator: United States: U.S. federal government;
Law or guidance: Maritime Transportation Security Act of 2002
(MTSA)[C];
Key provisions: Establishes a maritime security framework including
many of the U.S. vessel and port facility security requirements and
standards and for Coast Guard enforcement of many of such provisions.
One such provision, for example, facilities and vessels that may be in
a transportation security incident shall have vulnerability
assessments.
Promulgator: United States: U.S. federal government;
Law or guidance: SAFE Port Act amendments to MTSA (2006)[D];
Key provisions: Sets additional requirements for Coast Guard
regulation of port facility security. For example, at least one
security inspection--an inspection of a facility to verify the
effectiveness of its security plan--of regulated facilities shall be
unannounced.
Promulgator: United States: U.S. federal government;
Law or guidance: Immigration and Nationality Act (1952)[E];
Key provisions: Section 235 of the Immigration and Nationality Act and
implementing regulations provide for the examination of all persons
seeking to enter the U.S. by a CBP officer. Once determined not to be
a citizen or national of the United States the applicant will be
inspected as an alien. All aliens are subject to inspection to
determine the admissibility of all individuals seeking to enter the
United States.
Promulgator: United States: U.S. federal government;
Law or guidance: Intelligence Reform and Terrorism Prevention Act of
2004[F];
Key provisions: Requires information about passengers and crews on
cruise ships to be compared to watch lists to prevent suspected or
known terrorists and their associates from boarding, or to subject
them to additional security scrutiny.
Promulgator: United States: Coast Guard;
Law or guidance: Implementing Regulations (such as 33 C.F.R. Parts
101, 104, and 105);
Key provisions: Based on legislative authority, set specific security
requirements for U.S. flagged vessels and port facilities. For
example, owners or operators of cruise ships shall ensure the
screening of all persons, baggage, and personal effects for dangerous
substances and devices.
Promulgator: United States: Coast Guard;
Law or guidance: Operation Neptune Shield operations order;
Key provisions: Sets internal Coast Guard standards for vessel
(including cruise ships) security activities, which include escorts
and security boardings--boardings performed to verify the information
submitted in advance of the ship's arrival, verify that the ship and
crew are operating as expected, and to act on intelligence that may
have prompted security concerns. For example, Coast Guard units are
required to escort a certain percentage of high capacity passenger
vessels--those carrying 500 or more passengers--under different
Maritime Security levels.[G] (Specific percentages are classified.)
Promulgator: United States: Coast Guard;
Law or guidance: Navigation and Vessel Inspection Circulars;
Key provisions: Provide guidance about the enforcement of or
compliance with certain federal maritime regulations and Coast Guard
maritime safety programs. For example, how Coast Guard inspectors are
to ensure compliance with international safety and security standards
on foreign cruise ships.
Promulgator: United States: Coast Guard;
Law or guidance: Maritime Security Directives;
Key provisions: Set security performance standards for stakeholders
responsible for taking security actions commensurate with various
Maritime Security levels. For example, one standard includes the
various percentages of vessel stores that need to be inspected under
different Maritime Security levels.
Promulgator: United States: State Government: Florida;
Law or guidance: Seaport security legislation (2000);
Key provisions: At the state level, for example, Florida law requires
the development and implementation of port security plans in
Florida.[H]
Source: GAO.
[A] IMO Doc. SOLAS/CONF. 5/34 (Dec. 12, 2002).
[B] 32 U.S.T. 47, T.I.A.S. No. 9700.
[C] Pub. L. No. 107-295, 116 Stat. 2064 (2002).
[D] Pub. L. No. 109-347, 120 Stat. 1884 (2006).
[E] Pub. L. No. 82-414, 66 Stat. 163 (1952).
[F] Pub. L. No. 108-458, 118 Stat. 3638 (2004).
[G] Maritime Security levels are a three-tiered threat warning system
to provide a means to easily communicate preplanned scalable responses
to increased threat levels. They are set to reflect the prevailing
threat environment to the marine elements of the national
transportation system, including ports, vessels, facilities, and
critical assets and infrastructure located on or adjacent to waters
subject to the jurisdiction of the United States.
[H] Fla. Stat. tit. 22 § 311.12(3).
[End of table]
The enforcement of security requirements aimed at vessels is governed
by two different systems: flag state control and port state control.
The flag state is the country in which the vessel is registered and
flag state control can generally extend anywhere in the world that the
vessel operates. A flag state that is a contracting government to
International Convention for the Safety of Life at Sea has
responsibility for ensuring that vessels flying its flag meet
international security standards and that such flag state's standards
be at least as stringent as those included in the convention's ISPS
Code. The port state is the country where the port is located. Port
state control is the process by which a nation exercises its authority
over foreign-flagged vessels operating in waters subject to the port
state's jurisdiction. Port state control is generally intended to
ensure that vessels comply with various international and domestic
requirements for ensuring safety of the port, environment, and
personnel. Thus, when a foreign-flagged cruise ship enters U.S. waters
or a U.S. port, the U.S. port state control program, administered by
the U.S. Coast Guard, becomes an additional means of maritime security
enforcement. According to an official of the Cruise Lines
International Association, of the cruise lines included in our site
visits, only one had a vessel registered in the United States. Hence,
although they carry large numbers of U.S. passengers, the vast
majority of cruise line-operated vessels generally come under U.S.
authority only when they enter waters over which the United States has
jurisdiction.
Risk Management Is Important for Cruise Ship and Facility Security:
Risk management plays an important role in homeland security. Because
the United States cannot afford to protect itself against all risks,
Congress has charged DHS with coordinating homeland security programs
through the application of a risk management framework.[Footnote 10]
In 2006, DHS issued the National Infrastructure Protection Plan, which
is DHS's base plan that guides how DHS and other relevant stakeholders
should use risk management principles to prioritize protection
activities within and across each critical infrastructure sector in an
integrated and coordinated fashion.[Footnote 11] Updated in 2009, the
National Infrastructure Protection Plan requires that federal agencies
use this information to inform the selection of risk-based priorities
and the continuous improvement of security strategies and programs to
protect people and critical infrastructure by reducing the risk of
acts of terrorism.
Within the risk management framework, the National Infrastructure
Protection Plan also establishes baseline criteria for conducting risk
assessments. According to the National Infrastructure Protection Plan,
risk assessments are a qualitative and/or quantitative determination
of the likelihood of an adverse event occurring and are a critical
element of the National Infrastructure Protection Plan risk management
framework. Risk assessments can also help decision makers identify and
evaluate potential risks so that countermeasures can be designed and
implemented to prevent or mitigate the potential effects of the risks.
The National Infrastructure Protection Plan characterizes risk
assessment as a function of three elements:
* Threat: The likelihood that a particular asset, system, or network
will suffer an attack or an incident. In the context of risk
associated with a terrorist attack, the estimate of threat is based on
the analysis of the intent and the capability of an adversary; in the
context of a natural disaster or accident, the likelihood is based on
the probability of occurrence.
* Vulnerability: The likelihood that a characteristic of, or flaw in,
an asset's, system's, or network's design, location, security posture,
process, or operation renders it susceptible to destruction,
incapacitation, or exploitation by terrorist or other intentional
acts, mechanical failures, and natural hazards.
* Consequence: The negative effects on public health and safety, the
economy, public confidence in institutions, and the functioning of
government, both direct and indirect, that can be expected if an
asset, system, or network is damaged, destroyed, or disrupted by a
terrorist attack, natural disaster, or other incident.
Information from the three elements that assess risk--threat,
vulnerability, and consequence--can lead to a risk characterization
and provide input for prioritizing security goals. For example, MTSA
required the Coast Guard to prepare Area Maritime Security Plans for
ports around the United States. These plans convey operational and
physical security measures, communications procedures, timeframes for
responding to security threats, and other actions to direct the
prevention of and response to a security incident. In its regulations
implementing MTSA, the Coast Guard gave the primary responsibility for
creating the Area Maritime Security Plans primarily to the Captain of
the Port, based on the Area Maritime Security Assessment.[Footnote 12]
Area Maritime Security Assessments examine the threats and
vulnerabilities to activities, operations, and infrastructure critical
to a port and the consequences of a successful terrorist attack on the
critical activities, operations, and infrastructure at the port. Under
the regulations, such assessments are to be risk-based, and assess
each potential threat and the consequences and vulnerabilities for
each combination of targets and attack modes in the area. With the
information supplied in the assessment, the Area Maritime Security
Plan is to identify, among other things, the operational and physical
security measures to be implemented at Maritime Security Level 1 and
those that, as risks increase, will enable the area to progress to
levels 2 and 3.
The Coast Guard Assesses Risk to Cruise Ships and Facilities in
Accordance with DHS's Risk Assessment Guidance; Concerns Associated
with Waterside Attacks Remain:
Risk Assessment:
The Coast Guard uses a tool, known as the Maritime Security Risk
Analysis Model, to assess risk for various types of vessels and port
infrastructure, including cruise ships and cruise ship facilities,
which is in accordance with the guidance on assessing risk from DHS's
National Infrastructure Protection Plan. The Coast Guard uses the
analysis tool to help implement its strategy and concentrate maritime
security activities when and where relative risk is believed to be the
greatest. The model assesses the risk--threats, vulnerabilities, and
consequences--of a terrorist attack based on different scenarios; that
is, it combines potential targets with different means of attack, as
recommended by the risk assessment aspect of the National
Infrastructure Protection Plan.[Footnote 13] Examples of a Maritime
Security Risk Analysis Model scenario related to cruise ships include
a truck bomb or a boat attack. According to the Coast Guard, the
model's underlying methodology is designed to capture the security
risk facing different types of targets, allowing comparison between
different targets and geographic areas at the local, regional, and
national levels. Also in accordance with National Infrastructure
Protection Plan, the model is designed to support decision making for
the Coast Guard. At the national level, the model's results are used
for (1) long-term strategic resource planning, (2) identifying
capabilities needed to combat future terrorist threats, and (3)
identifying the highest-risk scenarios and targets in the maritime
domain. For example, Coast Guard officials reported that results are
used to refine the Coast Guard's Operation Neptune Shield requirements
for the number of required cruise ship escorts and patrols of cruise
ship facilities. At the local level, the Captain of the Port can use
the model as a tactical planning tool. The model can help identify the
highest risk scenarios, allowing the Captain of the Port to prioritize
needs and better deploy security assets. As we reported in March 2009,
Intelligence Coordination Center officials stated that the Coast Guard
uses the model to inform allocation decisions, such as the deployment
of local resources and grants.[Footnote 14]
Risk to Cruise Ships and Their Facilities:
Although in January 2010 intelligence officials working at the
National Maritime Intelligence Center stated there has been no
credible terrorist threat against cruise ships identified in at least
the preceding 12 months, stakeholders generally agreed that waterside
attacks are a concern for cruise ships, and if attacks were
successfully carried out, they could have extensive consequences.
Despite the lack of evidence identifying recent threats, maritime
intelligence officials identified the presence of terrorist groups
that have the capability to attack a cruise ship, even though they
have not identified any intent. As we previously reported in 2007,
security officials in the U.S. government are concerned about the
possibility of a future terrorist attack in a U.S. port.[Footnote 15]
For example, captured terrorist training manuals cite ports as targets
and instruct trainees to use covert means to obtain surveillance
information for use in attack planning. Terrorist leaders have also
stated their intent to attack infrastructure targets within the United
States, including ports, in an effort to cause physical and economic
damage, and inflict mass casualties. In addition, as reported both by
the Coast Guard and RAND, cruise ships have been terrorist targets in
the past and are still considered attractive targets for terrorists.
[Footnote 16] Although intelligence officials reported that there have
been no recent threats against cruise ships, this does not preclude
the possibility of such an incident occurring in the future.[Footnote
17]
According to maritime stakeholders, some concerns regarding cruise
ship security exist, particularly with respect to waterside security.
According to the Coast Guard's Strategy for Maritime Safety, Security,
and Stewardship, one of the greatest risks associated with maritime
scenarios is a direct attack using waterborne improvised explosive
devices. Officials we interviewed from the Coast Guard's Intelligence
Coordination Center stated that waterside attacks are a concern for
cruise ships. Similarly, DHS's Small Vessel Security Strategy states
that small vessels could be used as a waterborne improvised explosive
device to attack maritime targets as they have in the past overseas.
[Footnote 18] The strategy further states that cruise ships operate in
areas that are frequented by small vessels which may easily blend or
disappear into other vessel traffic in ports and the coastal maritime
environment, and are usually subject to less scrutiny than larger
vessels in these areas.
Coast Guard personnel from all of the four Sectors and 18 of the 25
port security stakeholders we interviewed also stated that a waterside
attack is one of the most significant concerns for cruise ships.
[Footnote 19] At one port we visited, various stakeholders responded
to reports of a small vessel operating within the security zone of a
cruise ship in 2007. Although the stakeholders cleared the cruise ship
for departure after searching the area around the ship and its hull
with divers, the small vessel was able to get within close proximity
of the cruise ship before stakeholders responded. Representatives from
the Cruise Lines International Association also reported that the
greatest security concern for cruise ships is a waterside attack.
Waterside attacks can also occur while a cruise ship is in transit,
such as when pirates in the Gulf of Aden and western Indian Ocean
attacked cruise ships. For example, at least three cruise ships have
been attacked by pirates on small boats while armed with automatic
weapons and rocket propelled grenades. The three vessels were able to
evade the pirates by either maneuvering or fighting back. Some cruise
line officials we interviewed stated that they decided not to sail to
places where security risks exist, but as of 2009, some continue to
sail in the Gulf of Aden. One cruise ship operator we interviewed
stated that the passengers who take cruises that sail in these areas
tend not to be Americans and are people who are comfortable with risk.
This official told us that they explain the level of risk to the
passengers and their strategy for minimizing the risk.
According to officials at the National Maritime Intelligence Center
there is also a concern that a terrorist could get on board a cruise
ship to carry out a terrorist attack. For example, in 1985, terrorists
were able to board and hijack a cruise ship, the Achille Lauro,
resulting in the death of a passenger. Since that attack, various
additional security measures have been implemented; including
screening of passengers, crew members, and their baggage. However,
according to a 2006 RAND report on maritime terrorism, if terrorists
were successful in gaining access to a cruise ship, once on board,
they could carry out various attack scenarios.
Coast Guard officials and some port security stakeholders reported
that concerns also exist for cruise ship facilities at U.S. and
foreign ports. Personnel from two of the four Sectors and 6 of the 25
port security stakeholders we interviewed mentioned a vehicle borne
explosive at a cruise ship facility as a concern, and 5 of the 25 port
security stakeholders we interviewed mentioned concern about the
possible risk of an armed individual attacking others at a cruise ship
facility.[Footnote 20] Further, 6 port security stakeholders expressed
concerns about the security level at some foreign ports, although
Coast Guard reports from foreign port site visits indicate that there
are few concerns with foreign ports that cruise ships typically call
upon. Specifically, six recent reports from the Coast Guard's
International Port Security Program[Footnote 21] indicate that these
countries, which include some of the most frequent cruise ship
destinations, are generally found to be compliant with the ISPS Code.
As part of the program's activities, the Coast Guard also recommends
changes that could improve security at cruise ship facilities in some
locations as a result of their visits to these locations. In addition,
although the Coast Guard's October 2009 Port Security Advisory
identifies 13 countries that are not maintaining effective anti-
terrorism measures, a representative from the Cruise Lines
International Association stated that these countries are not typical
destinations for the cruise lines that the association represents.
A successful attack on a cruise ship could affect the ship, its
passengers, and the U.S. economy. As a result of an attack, damage to
the cruise ship could occur and the extent of the loss of life would
depend on the severity of the attack, according to various studies.
[Footnote 22] Coast Guard officials stated that cruise ships are built
to sustain various types of attack scenarios and keep passengers safe
until they are able to be rescued, and that a very large hole in the
hull would have to occur to cause any significant damage to the ship.
Furthermore, according to the 2006 RAND study, most experts agree that
sinking a cruise ship would be extremely difficult. However, according
to this report and intelligence officials, the economic consequences
of an attack on a cruise ship could be significant, as a successful
attack on a cruise ship could result in decreased demand for cruise
vacations, affecting a multibillion dollar industry. The RAND report
further states that all attack modes targeting cruise ships have
comparable estimates of potential economic harm. However, parasitic
bombings--which involve a diver placing a highly explosive device on
the hull of the ship, ramming attacks with improvised explosive
devices, and biological attacks, including those involving
contamination of a ship's food or water supply, are projected to
present greater potential for human casualties.
Stakeholders Have Taken Various Actions Pursuant to Laws, Regulations,
and Guidance Designed to Enhance the Security of Cruise Ship
Operations and Additional Actions Are Being Considered:
Stakeholders' Actions:
In their efforts to secure cruise ships and their attendant port
facilities, the responsible stakeholders--including the Coast Guard,
CBP, Transportation Security Administration (TSA), DHS, as well as
cruise ship owners and cruise ship facility operators--have taken
various actions to implement applicable key maritime federal laws,
regulations, and guidance designed to help ensure the security of
cruise ships and cruise ship facilities.
The Coast Guard conducts multiple types of security activities. The
Coast Guard engages in both regulatory and operational activities
designed to secure cruise ships and their facilities. As part of its
regulatory activities, the Coast Guard inspects cruise ship facilities
and cruise ships to ensure that they are meeting security
requirements.[Footnote 23] Under SAFE Port Act amendments to MTSA, the
Coast Guard is required to conduct security inspections of MTSA-
regulated maritime facilities, including cruise ship facilities, at
least twice a year to verify the effectiveness of the facilities'
security plans, and one of these inspections must be conducted without
prior notice to the facility.[Footnote 24] During our observations of
two cruise ship facility inspections, Coast Guard inspectors reviewed
the security plan, checked to ensure that guards were at designated
access points, and questioned facility personnel on security
procedures. See figure 2 for a photograph depicting a Coast Guard
inspection of a cruise ship facility.
Figure 2: Coast Guard Inspection of a Cruise Ship Facility:
[Refer to PDF for image: photograph]
Source: U.S. Coast Guard]
[End of figure]
In addition to the inspection of cruise facilities, to enforce
security and safety provisions under international agreements,
domestic legislation and Coast Guard guidance, the Coast Guard also
inspects cruise ships entering U.S. ports.[Footnote 25] Coast Guard
guidance states that cruise ships are subject to security inspections
as determined necessary by a risk-based targeting process to ensure
that cruise ships are complying with security regulations and
conventions.[Footnote 26] Vessels that have not been inspected in the
last 12 months are subject to an inspection upon port arrival under
this targeting process. Coast Guard officials stated that security
examinations on high-capacity passenger vessels can be both announced
and unannounced. Coast Guard officials stated that there are systems
in place to identify when cruise ships and cruise ships facilities are
due for inspection.[Footnote 27] Coast Guard officials stated that the
Captain of the Port is responsible for ensuring that all cruise ship
facilities inspections are conducted by reviewing the appropriate
systems data. With respect to cruise ship inspections, Coast Guard
officials stated that, at the time of our review, the agency exceeded
the total number of required cruise ship security inspections. In
February 2008, we reported that although Coast Guard officials told us
that field units were meeting their inspection requirements for
facilities, inspections may not have been documented in the Coast
Guard's database, or inspections may have been delayed by staff being
diverted to meet higher-priority needs.[Footnote 28] Coast Guard
officials stated that they are taking steps to rectify these issues by
redesigning the database system to make it easier for the user to
input data, which they expect to complete by 2011. In addition, they
have created a daily report to inform local Coast Guard units when
each facility is due for an inspection. Coast Guard officials stated
that the agency is reviewing options on how to use its database as a
method for headquarters to better track the local units' performance
in meeting their inspection requirements.
The Coast Guard has also taken various operational actions designed to
secure cruise ships. Through its internal guidance, the Coast Guard
sets the standards for local Coast Guard units to meet for security
activities, such as conducting passenger vessel escorts or security
boardings. For example, Operation Neptune Shield requires Coast Guard
units to escort a certain percentage of high capacity passenger
vessels while in transit. These vessels include cruise ships, ferries,
and excursion vessels carrying 500 or more passengers.[Footnote 29]
Coast Guard data on Operation Neptune Shield performance shows that
some districts did not meet their requirements for high capacity
passenger vessels escorts in fiscal year 2008; however, Operation
Neptune Shield allows the Captain of the Port the latitude to shift
resources to other priorities when deemed necessary, for example, when
resources are not available to fulfill all missions
simultaneously.[Footnote 30] See figure 3 for a photograph of a Coast
Guard boat escorting a cruise ship.
Figure 3: Cruise Ship Escort by Coast Guard Boats:
[Refer to PDF for image: photograph]
Source: U.S. Coast Guard]
[End of figure]
Another Coast Guard security action involves security boardings of
cruise ships. Such security boardings are done to verify the
information submitted in advance of the ship's arrival; verify that
the ship and crew are operating as expected; and to act on
intelligence. In 2008, the Coast Guard conducted pre-entry security
boardings on some, but not all, cruise ships at major U.S. ports.
[Footnote 31] According to Coast Guard officials, these boardings were
conducted because these cruise ships met certain criteria under the
Coast Guard's targeting process.[Footnote 32]
By regulation and at the discretion of the Captain of the Port, Coast
Guard units, with or without the assistance of local law enforcement,
may partake in other security measures as well. One such security
measure is the enforcement of security zones that require other
vessels to remain a certain distance from cruise ships. During our
site visits to the ports, we observed the enforcement of security
zones. See figure 4 for a photograph depicting a local law enforcement
vessel enforcing a security zone at a port. The Coast Guard also
partakes in waterborne, airborne, and shoreside patrols of critical
infrastructure and key resources, including cruise ship facilities. In
addition to its regulatory and operational activities to protect
cruise ships and their facilities in the United States, the Coast
Guard's International Port Security Program also reviews port security
conditions in foreign ports and recommends actions and measures to
improve the antiterrorism measures in use at such ports, pursuant to
MTSA requirements.
Figure 4: Local Law Enforcement Vessel Enforcing a Security Zone:
[Refer to PDF for image: photograph]
Source: U.S. Coast Guard]
[End of figure]
CBP reviews passenger and crew lists for terrorist and criminal
connections. CBP also maintains a role in the security of cruise ships
and their facilities by screening passengers and crew for terrorist
connections or criminal ties, and by helping to ensure that all
passengers and crew are cleared for entry into the United States.
[Footnote 33] Under CBP's implementing regulations, operators of
commercial vessels such as cruise ships are required to provide CBP
with advance lists of information on passengers and crew--also known
as a manifest.[Footnote 34] Before a cruise ship departs or arrives in
the United States, CBP checks these manifests to screen persons
against certain databases, such as terrorist watchlists and the
National Crime Information Center database, to determine their
potential risk to the United States or the cruise ship. This screening
process identifies individuals with potential terrorism links or
criminal warrants, as well as identifies those passengers and crew
with potential immigration admissibility problems, among other
things.[Footnote 35] For example, at one port we visited, we observed
CBP officers removing a passenger from a cruise ship, due most likely
to an outstanding criminal warrant, according to agency officials. For
those cruise ships arriving in the United States, the agency also
reviews the manifest to determine passenger and crew admissibility
into the United States. Admissibility inspections are performed to
determine the nationality and identity of each person wishing to enter
the United States and for preventing the entry of ineligible aliens,
including those thought to be criminals, terrorists, or drug
traffickers. In the case of cruises originating at Canadian ports for
U.S. destinations, CBP officials stated that CBP checks the
admissibility of all passengers prior to the cruise ship departing
Canada.[Footnote 36] Finally, agency officials reported that they
inspect all passengers and crew before they enter into the United
States when they disembark cruise ships, including those passengers
whom CBP inspected while in Canada.[Footnote 37]
TSA primarily has a supporting role. TSA's role in cruise ship
security is primarily as an advisor on transportation security
screening and technologies. The agency also coordinates with the Coast
Guard on security training and port security surge operations. TSA
officials stated that the agency has conducted explosives and
radiation screening technology pilot programs for passenger vessels
and facilities, which include cruise ships, as part of its Security
Enhancement and Capabilities Augmentation Program. Designed
specifically for the maritime environment, TSA documents state that
the program gives TSA the opportunity to network with different ferry
and cruise ship operators around the United States, test emerging
technologies, and develop strategies that the agency can use to
respond to specific threats that arise from new intelligence or major
events. Since February 2003, TSA officials stated that the agency has
visited over 12 venues to test new technologies for screening
passengers, ships, baggage, and stores to be loaded on passenger
vessels, and that the goal of the pilot programs is to determine how
the technologies work in different environments and in large scale
application. The Security Enhancement and Capabilities Augmentation
Program pilots can also provide operators with justification for grant
funding, according to TSA. The pilots also give local agencies
opportunities to observe and try the technologies. TSA officials
stated that TSA shares the results of its pilots with the Cruise Lines
International Association and cruise ship facility operators,
including both pilot participants and nonparticipants. Although TSA
does not track cruise ship facility operators that have implemented
new technologies as a result of the TSA screening pilots, TSA
officials reported that five facility operators, which included cruise
ship operators, have adopted new technologies as a result of a TSA
pilot program. TSA officials stated that TSA also creates and
distributes security training courses for passenger vessel employees.
The courses address topics to improve employees' security awareness,
increase the effectiveness of their reactions to suspicious items and
persons, and assist in their efforts to respond to a transportation
security incident. According to TSA officials, the agency's
involvement in surge operations is primarily through its Visible
Intermodal Prevention and Response program. The program's deployments
involve the use of the agency's assets, including explosive detection
capabilities, transportation security officers, Federal Air Marshals
and behavior detection officers--to help enhance the security of any
transportation mode. Officials stated that since 2006 there have been
180 Visible Intermodal Prevention and Response maritime deployments.
DHS developed a strategy to address the small vessel threat. DHS
released the Small Vessel Security Strategy in April 2008 as part of
its effort to mitigate the vulnerability of vessels--including cruise
ships--to waterside attacks from small vessels, and the implementation
plan for the strategy is under review. According to the strategy, its
intent is to reduce potential security and safety risks posed by small
vessels through operations that balance fundamental freedoms, adequate
security, and continued economic stability. The goals of the Small
Vessel Security Strategy are to (1) develop and leverage a strong
partnership with the small vessel community and public and private
sectors; (2) enhance maritime security and safety; (3) leverage
technology to enhance the ability to detect, determine intent, and
when necessary, interdict small vessels; and (4) enhance coordination,
cooperation, and communications between federal, state, local, and
tribal stakeholders, the private sector, and international partners.
Subsequent to the development of the strategy, DHS began drafting a
plan to implement the goals of its strategy. In January 2010, a DHS
official stated that the implementation plan was currently awaiting
approval by the Deputy Secretary of DHS, after which it would need to
be sent to the Office of Management and Budget for review. Subsequent
to the Office of Management and Budget's approval, the implementation
plan would be released. In September 2009, DHS's Office of Inspector
General produced a report that identified concerns with the Small
Vessel Security Strategy and the draft version of its implementation
plan. According to the report, while DHS had made progress in
responding to potential small vessel threats, more remained to be done
to provide effective guidance and operate effective programs to
address small vessel threats.[Footnote 38] In addition, the Office of
Inspector General recommended that DHS develop a more comprehensive
strategy by (1) addressing the desirable characteristics and elements
missing from its strategy and draft implementation plan and (2)
evaluating the effectiveness of programs intended to support small
vessel security before including them as part of its solution to
improve security against the small vessel threats.[Footnote 39] DHS
partially concurred with the Office of Inspector General's first
recommendation and plans to address this recommendation in the
execution of its implementation plan. DHS did not concur with the
Office of Inspector General's second recommendation to evaluate the
effectiveness of programs intended to support small vessel security,
stating that the agencies that submitted specific actions for the
implementation plan had already considered their effectiveness to
support small vessel security.
Cruise ship and facility operators implemented various security
actions on board cruise ships and at facilities. Pursuant to the ISPS
Code and its guidance, and Coast Guard's implementing MTSA regulations
and guidance like other regulated vessels and facilities, cruise ship
and cruise ship facility operators must develop and implement security
plans that address vulnerabilities identified in their security
assessments. ISPS-regulated cruise ship and cruise ship facility
operators are also required to ensure security assessments are
completed and inspections are conducted to ensure they are meeting
security requirements. Under Coast Guard regulations specifically
directed to cruise ship facility operators, cruise ship facilities
must meet additional security requirements, such as implementing
measures to screen all persons, bags, and personal effects for
dangerous substances and devices; check the identification of all
persons trying to enter the facility; designate holding, waiting, or
embarkation areas within the facility's secure area to segregate
screened persons and their personal effects from unscreened persons
and their personal effects; and provide additional security personnel
to designated holding, waiting, or embarkation areas within the
facility's secure area, among other things.Similarly, cruise ship
operators, under Coast Guard regulations specifically directed to
cruise ships, must also meet additional security requirements,
including the screening of all persons, bags, and personal effects for
dangerous substances and devices; checking the identification of all
persons attempting to board the cruise ship; and performing security
patrols. To address such requirements in their security plans,
stakeholders reported using various measures such as the presence of
security guards or local law enforcement, and the use of cameras,
vehicle checkpoints, canines, access control measures, and dive teams.
[Footnote 40] See figure 5 for a photograph depicting truck unloading
areas and canine screening of stores to be loaded onto a cruise ship.
Cruise ship and cruise ship facility operators may use local law
enforcement and security contractors to help meet security
requirements. We also observed security contractors conducting
passenger screening and noted the presence of local law enforcement at
the facilities during a port visit.
Figure 5: Truck Unloading Areas and Canine Screening of Stores
Awaiting Loading on Cruise Ship:
[Refer to PDF for image: 2 photographs]
Source: GAO]
[End of figure]
Although the Coast Guard has identified security-related deficiencies
for cruise ship facilities and cruise ships, agency officials stated
that cruise ship and cruise ship facility operators generally maintain
good security measures. Of the over 1,900 cruise ship facility
inspections the Coast Guard conducted in calendar years 2006 through
2008, Coast Guard data show 347 deficiencies recorded for all cruise
ship facilities.[Footnote 41] Coast Guard officials stated that cruise
ship facilities tend to have more requirements than other types of
port facilities but also tend to better implement security measures,
and that most deficiencies are corrected at the time of the
inspection.[Footnote 42] Officials further stated that there was a
decline in the number of cruise ship facility deficiencies in 2008,
indicating that these facility operators have a better understanding
of SAFE Port Act requirements. Personnel from the four Sectors we met
with had issued few enforcement actions against cruise ship facilities
in 2008--with one of the four Sectors issuing three letters of warning
against a cruise ship facility for concerns related to access control.
[Footnote 43] Of the over 1,500 foreign cruise ship vessel inspections
the Coast Guard conducted in calendar years 2006 through 2008, Coast
Guard data shows 18 security-related deficiencies for foreign cruise
ship operators. Violations were generally related to issues with the
cruise ship's access control or restricted areas. Coast Guard
officials stated that cruise ship vessel deficiencies tend to be less
significant than those for other vessel types, and attributed this to
the seriousness in which cruise ship operators approach security and
the fact that these operators have a professional staff dedicated to
security duties. Officials we interviewed from the four Coast Guard
Sectors we visited stated that they had not issued any enforcement
actions against a cruise ship in 2008, although personnel from one
Sector stated that it had to delay a cruise ship because of a document
violation.
Furthermore, federal officials and cruise ship operators we
interviewed reported that cruise lines implemented security measures
beyond what is required of them. Federal officials, including Coast
Guard officials, told us that because of the significant impact that a
cruise ship attack could have on the industry, the cruise lines are
very serious about security. The five cruise ship operators we
interviewed all stated that their daily security operations are
comparable to what the Coast Guard requires at elevated threat levels.
According to cruise ship operators, the actions taken by cruise ship
operators to ensure security include making risk-based decisions
regarding which ports to call on, whether to conduct additional
screening on board ships at foreign ports, whether to require foreign
governments to take additional actions to secure their ports, and
providing their own security protocols at their private ports of call.
Specifically, cruise ship operators stated that they have canceled
planned destinations because of security conditions in some locations.
According to these operators, these decisions have been triggered by
various factors such as the heightened security concerns following the
November 2008 terrorist attack in Mumbai, India, piracy activity in
the Gulf of Aden, and intelligence reports.
Stakeholders reported using various coordination efforts. As part of
their efforts to secure cruise ships and their facilities,
representatives from the Coast Guard, Cruise Lines International
Association, and other port security stakeholders reported using
various coordination efforts including meetings, jointly operated
command centers, and the Coast Guard's HOMEPORT--a secure Internet
communications portal between Coast Guard Sectors and the port
stakeholders in their areas of responsibility. Specifically,
stakeholders reported participating in the Area Maritime Security
Committee meetings, security officer meetings, and Cruise Lines
International Association security meetings[Footnote 44] According to
Cruise Lines International Association representatives, the
association has hosted regular security meetings every 60 days for
over 10 years, and coordinates with several intelligence agencies for
these meetings, including the Federal Bureau of Investigation, Office
of Naval Intelligence, the Department of State's Overseas Security
Advisory Council, Coast Guard, and CBP. Furthermore, Cruise Lines
International Association representatives stated that most of the
security directors for the cruise lines are former military or law
enforcement officers, who bring established contacts and relationships
in the security and intelligence fields with them to the private
sector. Personnel from all four Coast Guard Sectors and all 25 port
security stakeholders we met with generally reported positive
relationships among the stakeholders. Four of the 25 stakeholders,
however, mentioned some challenges working with federal agencies. For
example, 1 stakeholder stated that initially there was some
uncertainty about who had authority to make decisions about cruise
ship operations, the Coast Guard or CBP, but that it had become
clearer over time.
Coast Guard Is Considering Additional Actions:
The Coast Guard has plans to implement new maritime security awareness
efforts to enhance the security of cruise ship operations. One of
these efforts is intended to mitigate the threat posed by a small
vessel attack. According to federal agencies, the U.S. government has
limited information on recreational vessels, and it is difficult to
detect a small vessel attack without prior intelligence. DHS documents
state that the U.S. government has incomplete knowledge of the
recreational boating public, their travel patterns, and the facilities
they use, and that identifying and distinguishing legitimate small
vessel users from those with intent to harm is difficult. Further,
Coast Guard and Navy studies have demonstrated challenges in stopping
a small vessel attack once one is under way. As we reported in March
2009, given the number of potential threats in many areas and the
short period of time in which to respond to a threat, thwarting an
attack by a smaller vessel without advance knowledge of the threat may
prove challenging even with available systems and equipment that track
smaller and noncommercial vessels in coastal areas, inland waterways,
and ports.[Footnote 45] According to one Coast Guard official, the
ISPS Code contributes to the overall security of vessels but is not
specifically aimed at preventing a small vessel attack. However, the
Coast Guard provides armed interdiction capability that when present
helps to deter small vessel attacks, according to this official. The
concern about small vessel attacks is exacerbated by the fact that
most cruise ships sail according to precise schedules and preplanned
itineraries that are readily available through the Internet,
advertising brochures, or travel agents. As a result, information that
could provide valuable intelligence for terrorists is easily obtained,
allowing an attacker to pick the time and place to prepare for and
carry out an attack against a targeted cruise ship.
To address the waterside small vessel threat nationally, the Coast
Guard has piloted a new initiative to enhance public awareness called
Operation Focused Lens. Operation Focused Lens is a Coast Guard
District-level initiative to increase awareness of suspicious activity
in and around U.S. ports. It complements Operation Neptune Shield by
helping to identify, deter, and prevent a small vessel attack, and
directs additional resources and effort toward gathering information
about the most likely points of origin for an attack, such as marinas,
landings, and boat ramps. A Coast Guard District official stated that
Operation Focused Lens had minimal impact on cost and resources, as
they were able to easily shift resources to meet the requirements of
Operation Focused Lens. According to Coast Guard officials, the Coast
Guard views Operation Focused Lens to be a best practice, and the
agency is considering plans to integrate Operation Focused Lens into
its community awareness program, America's Waterway Watch, and is
developing requirements to implement aspects of Operation Focused Lens
at additional locations. Coast Guard officials stated that they plan
to discuss the expansion of Operation Focused Lens at the April 2010
Operation Neptune Shield conference.
The Coast Guard also plans to develop new security regulations for
cruise ships by 2011 in response to recommendations regarding cruise
ship security measures made by the National Maritime Security Advisory
Committee in 2006. The advisory committee was established under
authority of MTSA to provide advice to the Secretary of Homeland
Security via the Commandant of the Coast Guard on matters such as
national security strategy and policy, actions required to meet
current and future security threats, international cooperation on
security issues, and security concerns of the maritime transportation
industry. In 2006, the Coast Guard asked advisory committee members to
specifically review and make recommendations regarding cruise ship
security measures. The advisory committee's recommendations included:
(1) developing and publishing a listing of prohibited items not
allowed on board cruise ships; (2) developing equipment performance
standards for screening detection equipment; and (3) developing
standards for screening operations, training, and qualifications of
persons engaged in screening activities at cruise ship facilities.
Coast Guard officials stated that in an effort to address the National
Maritime Security Advisory Committee's recommendation, a Notice of
Proposed Rule Making for Cruise Ship Security Measures is under
development with a publication date expected in 2011. Coast Guard
officials stated the rule making will propose regulations that will
provide detailed, flexible requirements for the screening of persons,
baggage and personal items intended for boarding a cruise ship, and
that they are working in consultation with TSA and the National
Maritime Security Advisory Committee. Given the actions taken by the
Coast Guard and port security stakeholders to protect cruise ships and
their facilities from terrorist attacks, Coast Guard officials stated
that aside from its planned actions, there are no additional measures
that it should take or take more broadly at this time to protect
cruise ships, as the current layered security practices included in
vessel and facility security plans have successfully mitigated risks
related to cruise ships and their facilities.
CBP's Collection of Additional Passenger Data Could Enhance Cruise
Ship Security:
Although CBP currently uses manifest data provided by the cruise lines
as part of the screening process for cruise ship passengers and crew,
CBP officials stated the agency's experience in the aviation context
suggests that the routine collection and analysis of additional
passenger data could enhance the agency's cruise passenger screening
process. However, CBP is lacking full information on the benefit and
cost of obtaining these data. Part of CBP's mission is to prevent
terrorists and terrorist weapons from entering the United States,
while also facilitating the flow of legitimate trade and travel. Under
the Aviation and Transportation Security Act, air carriers operating
flights in foreign air transportation to the United States are
required to make Passenger Name Record information available to CBP
[Footnote 46] and under the agency's implementing regulations, CBP
receives Passenger Name Record data in addition to manifest data for
all passengers on international flights to or from the United States
for purposes of ensuring aviation safety and protecting national
security. Passengers provide data included in their Passenger Name
Record to the airlines through the reservation process. Passenger Name
Record data may include, among other things, a passenger's full
itinerary, reservation booking date, phone number, and billing
information, which is not usually available in the manifest data.
According to CBP officials familiar with the process, Passenger Name
Record data for airline passengers has been valuable because the
additional information has helped the agency to better target
passengers for inspection.[Footnote 47] Specifically, the agency's
National Targeting Center officials reported that airline Passenger
Name Record data has allowed CBP to identify high risk passengers,
including those who were not listed on watchlists--recognized by CBP
as "previously unknown persons"--by (1) identifying links between
passengers traveling with other high risk passengers or (2)
identifying patterns of suspicious activity that have been identified
with high risk passengers in the past. CBP provided examples of past
efforts supporting the agency's view that the targeting of passengers
for inspection through the use of Passenger Name Record data led to
CBP taking adverse or enforcement actions, such as not allowing a high-
risk passenger to board a flight. The examples indicate that CBP's
targeting process identified passengers who represented various
concerns, including terrorist-related concerns, as well as drug and
immigration concerns. According to CBP, this process involved the use
of Passenger Name Record data or the combination of this data with
manifest data or other intelligence.[Footnote 48] CBP officials also
reported that Passenger Name Record data is provided to CBP earlier
than manifest data, providing the agency with additional time to
complete its passenger targeting process.[Footnote 49]
CBP program officials reported that having access to Passenger Name
Record data for cruise line passengers could offer benefits similar to
those derived from screening airline passengers, although CBP has not
conducted a study or evaluation measuring the benefits, or determining
the potential cost to the agency, cruise lines, and cruise line
passengers. Our previous work identified evaluations as a way for
agencies to explore the benefits of a program.[Footnote 50] In
addition, CBP's 2005-2010 Strategic Plan states that the agency should
seek to improve the identification and targeting of potential
terrorists and terrorist weapons, through risk management and
automated advanced and enhanced information. Furthermore, a January
2010 Presidential memorandum states that DHS should aggressively
pursue enhanced screening technology, protocols, and procedures,
especially in regard to aviation and other transportation sectors,
consistent with privacy rights and civil liberties.[Footnote 51] CBP
does not require this information from all cruise lines on a
systematic basis, although CBP reported that some CBP field units have
access to some cruise lines' reservation systems and have received
Passenger Name Record data on a case-by-case basis to enhance the
information they have on passengers already identified for screening
using other means. However, since field units do not have the same
analytical tools as the National Targeting Center, they are less able
to fully utilize the Passenger Name Record data on a systematic basis.
CBP program officials stated that if the agency were to begin
receiving and reviewing cruise line Passenger Name Record data, the
effort would be highly automated and could allow for more effective
and efficient targeting since the agency would receive the data
earlier. Officials from CBP's Office of Information and Technology,
however, stated that without specific requirements and further
knowledge about the cruise lines' connectivity capabilities it is
difficult to estimate the cost to both CBP and the cruise lines of
implementing the technological aspects of a requirement to obtain
Passenger Name Record data from the cruise lines. Based on CBP's
experience with implementing such a requirement for the air carriers,
CBP's Office of Information and Technology officials stated that there
were costs to CBP and the air carriers for infrastructure, licensing,
and ongoing maintenance; however, the cost depended on the air
carrier's existing system and infrastructure at the time the
requirement was being implemented. As of January 2010, CBP was
spending about $3 million per year to maintain connections with most
of the air carriers, and officials stated that creating and
maintaining connections with cruise line reservation systems would
require new infrastructure and costs.
According to a representative from the Cruise Lines International
Association, the cruise lines would be willing to systematically share
all Passenger Name Record data with CBP if required to do so. However,
the Cruise Lines International Association did not know if this type
of requirement would deter passengers from booking cruises. One cruise
line official we interviewed stated that such a requirement would not
be a major burden for their cruise line to implement, while another
cruise line official stated that such a requirement could have
significant cost implications for their cruise line depending on what
data would be required and what requirements would be established for
transmitting it to CBP, among other things.
In addition to assessing the impact that such a data requirement would
have on agency and industry resources, other aspects of such a
requirement, such as verifying the agency's statutory authority and
assessing the impact on privacy issues, would also be important to
study. Although CBP program officials stated that the agency's
regulations for collecting Passenger Name Record data apply to
passengers traveling on international flights and not passengers on
cruise ships, CBP officials, including a representative from CBP's
Chief Counsel, reported that various statutory authorities
collectively provide the agency with the authority to require such
information from the cruise lines. In addition, similar to the
Passenger Name Record data requirement for air carriers, other
important considerations for determining the cost and benefit of such
a requirement for the cruise lines would be (1) assessing the privacy
impacts of such a requirement on cruise passengers and developing any
necessary public disclosure documents, and (2) determining the
appropriate agreements that may be needed with other countries
regarding the sharing and collection of this data. The Privacy Act of
1974[Footnote 52] and the E-Government Act of 2002,[Footnote 53] in
general, require federal agencies to protect personal privacy by,
among other ways, limiting the disclosure of personal information and
informing the public about how personal data are being used and
protected. The E-Government Act and implementing Office of Management
and Budget guidance[Footnote 54] require that agencies analyze how
information is handled to (1) ensure handling conforms to applicable
legal, regulatory, and policy requirements regarding privacy; (2)
determine the risks and effects of collecting, maintaining, and
disseminating information in identifiable form in an electronic
information system; and (3) examine and evaluate protections and
alternative processes for handling information to mitigate potential
privacy risks.[Footnote 55] Another privacy consideration would be the
availability of a redress mechanism for individuals who felt that they
had been unfairly denied boarding as a result of the screening
process. As reported in DHS's 2006 report on Privacy and Civil
Liberties, a robust redress program is essential for any federal
program that uses personal information in order to grant or deny to
individuals a right, privilege, or benefit.[Footnote 56] DHS's
Traveler Redress Inquiry Program serves as a single point of contact
for individuals who have inquiries or seek resolution regarding
difficulties they experienced during their travel screening at
transportation hubs--like airports and train stations--or crossing
U.S. borders. With respect to the collection of Passenger Name Record
data from other countries, the privacy laws of other countries must
also be considered. For example, in 2002, when air carriers operating
international flights to and from the United States were first
required to submit Passenger Name Record data to CBP, concerns about
privacy were raised, and a permanent agreement on the sharing of this
data between the United States and the European Union took several
years to finalize. Without obtaining full information on the benefit
and cost of requiring cruise lines to submit Passenger Name Record
data to CBP and considering the associated privacy implications, CBP
is not in the best position to determine whether the benefits of such
a requirement would outweigh the potential costs to the agency and
industry, and the risks to passenger privacy.
Conclusions:
Given the number of passengers that travel on cruise ships each year
and the attractiveness of these vessels as terrorist targets, it is
important that the risk to cruise ships is assessed and actions are
taken to help ensure the security of these ships and their facilities.
Federal agencies and maritime security stakeholders, including cruise
lines, have implemented various measures to better secure cruise ships
and their facilities. As examples, the Coast Guard provides escorts
for cruise ships to prevent waterside attacks and CBP screens
passengers using manifest data to prevent terrorists from boarding
cruise ships. Although these measures have been implemented and there
has been no recent credible terrorist threat against cruise ships,
this does not preclude the possibility of such an incident occurring
in the future, particularly given the existence of terrorist groups
that have the capability to attack a cruise ship. Moreover, the
President's 2010 memorandum directing DHS to aggressively pursue
enhanced screening efforts further underscores the potential
importance of this type of security action. By conducting a study to
determine whether requiring cruise lines to provide automated
Passenger Name Record data on a systematic basis is cost effective and
addresses privacy implications, CBP would be in a better position to
determine whether additional actions should be taken to augment
security through enhanced screening of cruise ship passengers.
Recommendation for Executive Action:
To enhance the existing screening process for cruise ship passengers,
we recommend that the CBP Commissioner conduct a study to determine
whether requiring cruise lines to provide automated Passenger Name
Record data to CBP on a systematic basis would benefit homeland
security, and if found to be of substantial benefit, determine the
appropriate mechanism through which to issue this requirement. The
scope of the study should include potential benefits to security, any
need for additional authority and international agreements, resource
implications for CBP and the cruise industry, privacy concerns, and
any implementation issues related to the automated transfer of
Passenger Name Record data from the cruise lines to CBP.
Agency Comments and Our Evaluation:
We provided a draft of this report to the Departments of Homeland
Security, State, and Defense for their review and comment. The
Department of State responded that they did not have any comments on
the report. We requested comments from the Department of Defense, but
none were provided. The Department of Homeland Security, in its
written comments, concurred with our findings and recommendation.
Regarding our recommendation, DHS responded that CBP will conduct a
study that outlines the security, cost, and facilitation benefits an
automated Passenger Name Record system would bring to homeland
security and the cruise line industry. Upon completion of the study,
CBP will determine if the benefits of such a program are substantial
enough to pursue full implementation of the program. DHS officials
also provided technical comments on the draft that have been
incorporated, as appropriate. Written comments from DHS are reproduced
in appendix I.
As arranged with your office we plan no further distribution until 30
days after the date of this report. At that time, we will send copies
of this report to the Secretaries of Homeland Security, State, and
Defense, and other interested parties. In addition, the report will be
available on GAO's Web site at [hyperlink, http://www.gao.gov].
If you or your staff have any questions about this report, please
contact me at (202) 512-9610 or caldwells@gao.gov. Contact points for
our Offices of Congressional Relations and Public Affairs may be found
on the last page of this report. Key contributors to this report are
listed in appendix II.
Sincerely yours,
Signed by:
Stephen L. Caldwell:
Director, Homeland Security and Justice Issues:
[End of section]
Appendix I: Agency Comments:
Homeland Security:
March 18, 2010:
Stephen L. Caldwell:
Director, Homeland Security and Justice Issues:
U.S. Government Accountability Office:
441 G Street, NW:
Washington, DC 20548:
Dear Mr Caldwell:
The Department of Homeland Security (DHS) appreciates the opportunity
to review and comment on the Government Accountability Office (GAO)
report, GA0-10-400: "Maritime Security: Varied Actions Taken to
Enhance Cruise Ship Security, but Some Vulnerabilities Remain". DHS
generally concurs with the report's findings and recommendation. We
have provided our recommendation-specific comments below; technical
comments have been provided under separate cover.
Recommendation #1: To enhance the existing screening process for
cruise ship passengers, we recommend that the U.S. Customs and Border
Protection (CBP) Commissioner conduct a study to determine whether
requiring cruise lines to provide automated Passenger Name Record
(PNR) data to CBP on a systematic basis would benefit homeland
security, and if found to be of substantial benefit, determine the
appropriate mechanism through which to issue this requirement. The
scope of the study should include potential benefits to security, any
need for additional authority and international agreements, resource
implications for CBP and the cruise industry, privacy concerns, and
any implementation issues related to the automated transfer of PNR
data from the cruise lines to CBP.
Response: CBP currently receives PNR data from the airline industry,
which has proven invaluable in identifying persons of interest, well
in advance of their intended travel. To determine whether requiring
PNR data would yield the same benefits in the commercial cruise
environment, CBP will conduct a study that outlines the security,
cost, and facilitation benefits an automated PNR system would bring to
homeland security and the cruise line industry. Upon completion of the
study, CBP will determine if the benefits of such a program are
substantial enough to pursue full implementation of the program.
Again, we appreciate the opportunity to review and comment on this
draft report and we look forward to working with you on future
homeland security issues.
Sincerely,
Signed by:
Jerald E. Levine:
Director:
Departmental GAO/OIG Liaison Office:
[End of section]
Appendix II: GAO Contact and Staff Acknowledgments:
GAO Contact:
Stephen L. Caldwell, (202) 512-9610 or caldwells@gao.gov:
Staff Acknowledgments:
In addition to the contact named above, Dawn Hoff, Assistant Director,
and Jonathan Bachman, analyst-in-charge, managed this assignment.
Tracey Cross made significant contributions to the work. Stanley
Kostyla assisted with design and methodology. Geoffrey Hamilton
provided legal support. Linda Miller provided assistance in report
preparation. Josh Ormond developed the report's graphic.
[End of section]
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Supply Chain Security: Feasibility and Cost-Benefit Analysis Would
Assist DHS and Congress in Assessing and Implementing the Requirement
to Scan 100 Percent of U.S.-Bound Containers. [hyperlink,
http://www.gao.gov/products/GAO-10-12]. Washington, D.C.: October 30,
2009.
Maritime Security: Vessel Tracking Systems Provide Key Information,
but the Need for Duplicate Data Should be Reviewed. [hyperlink,
http://www.gao.gov/products/GAO-09-337]. Washington, D.C.: March 17,
2009.
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Promote Global Customs Security Standards and Initiatives, but
Challenges Remain. [hyperlink,
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2008.
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Generally Well-Developed and Are Being Implemented. [hyperlink,
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2008.
Supply Chain Security: Challenges to Scanning 100 Percent of U.S.-
Bound Cargo Containers. [hyperlink,
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Supply Chain Security: U.S. Customs and Border Protection Has Enhanced
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[End of section]
Footnotes:
[1] Pub. L. No. 107-295, 116 Stat. 2064 (2002).
[2] Risk assessment is a function of three elements: (1) threat--is
the probability that a specific type of attack will be initiated
against a particular target/class of targets, (2) vulnerability--the
probability that a particular attempted attack will succeed against a
particular target or class of targets, (3) consequence--the expected
worst case or worse reasonable adverse impact of a successful attack.
[3] The National Infrastructure Protection Plan provides the unifying
structure for the integration of critical infrastructure and key
resources protection into a single national program. The plan provides
an overall framework for programs and activities that are currently
under way in the various industry sectors, as well as new and
developing critical infrastructure and key resources protection
efforts.
[4] Coast Guard Sectors run all Coast Guard missions at the local and
port level, such as search and rescue, port security, environmental
protection, and law enforcement in ports and surrounding waters, and
oversee a number of smaller Coast Guard units, including small
cutters, small boat stations, and Aids to Navigation teams. Coast
Guard Districts oversee Sectors, other Coast Guard units, such as Air
Stations, and major buoy tenders.
[5] Our site visits were to ports in Fort Lauderdale and Miami,
Florida; Long Beach and Los Angeles, California; San Juan, Puerto
Rico; and Seattle, Washington. The Sectors we visited were Los Angeles-
Long Beach, Miami, San Juan, and Seattle.
[6] Pub. L. No. 109-347, 120 Stat. 1884 (2006).
[7] The ports we visited account for approximately 56 percent of all
cruise ship passengers and approximately 54 percent of North American
cruises in 2008.
[8] Destinations for North American cruises include Alaska, Bahamas,
Bermuda, Canada/New England, Eastern Caribbean, Hawaii, Mexico,
nowhere (a cruise that does not call on any ports before it returns to
its departure port), Pacific Coast, South America, South Pacific/Far
East, Southern Caribbean, Trans-Panama Canal, Transatlantic, and
Western Caribbean and include a U.S. port of call.
[9] Adopted by IMO's Conference of Contracting Governments to the
International Convention for the Safety of Life at Sea, the ISPS Code
establishes requirements for contracting governments of countries
where ports are located, contracting governments of countries where
ships are registered, operators of port facilities, and operators of
vessels traveling on the high seas.
[10] For more information on how DHS and the Coast Guard utilized risk
management for port security, see GAO, Risk Management: Further
Refinements Needed to Assess Risks and Prioritize Protective Measures
at Ports and Other Critical Infrastructure, [hyperlink,
http://www.gao.gov/products/GAO-06-91] (Washington, D.C.: Dec. 15,
2005).
[11] Critical infrastructure are systems and assets, whether physical
or virtual, so vital to the United States that their incapacity or
destruction would have a debilitating impact on national security,
national economic security, national public health or safety, or any
combination of those matters. Homeland Security Presidential Directive
7 divided up the critical infrastructure in the United States into 17
industry sectors, such as transportation, energy, and communications,
among others. In 2008, under authorization of Homeland Security
Presidential Directive 7, DHS established an 18th sector--Critical
Manufacturing.
[12] The Captain of the Port is the Coast Guard officer designated by
the Commandant to enforce within his or her respective areas port
safety and security and marine environmental protection regulations,
including, without limitation, regulations for the protection and
security of vessels, harbors, and waterfront facilities.
[13] The Coast Guard Intelligence Coordination Center quantifies
threat as a function of intent (the likelihood of terrorists seeking
to attack), capability (the likelihood of terrorists having the
resources to attack), and presence (the likelihood of terrorists
having the personnel to attack).
[14] For more information on risk assessment models used in the
aviation transportation mode, see GAO, Transportation Security:
Comprehensive Risk Assessments and Stronger Internal Controls Needed
to Help Inform TSA Resource Allocation, [hyperlink,
http://www.gao.gov/products/GAO-09-492] (Washington D.C., March 27,
2009).
[15] GAO, Maritime Security: Federal Efforts Needed to Address
Challenges in Preventing and Responding to Terrorist Attacks on Energy
Commodity Tankers, [hyperlink, http://www.gao.gov/products/GAO-08-141]
(Washington, D.C., Dec. 10, 2007).
[16] Reports that discuss a terrorist attack on a cruise ship include
Michael D. Greenberg, Peter Chalk, Henry H. Willis, Ivan Khilko, and
David S. Ortiz, Maritime Terrorism: Risk and Liability (Santa Monica,
Calif., 2006); and United States Coast Guard, The U.S. Coast Guard
Strategy for Maritime Safety, Security, and Stewardship (Washington,
D.C., 2007).
[17] Although intelligence officials reported no credible threats
against cruise ships, some stakeholders stated that they had
experienced potential threats such as incidents involving false bomb
threats, suspicious items, or the identification of a prohibited item
on board a cruise ship.
[18] Department of Homeland Security, Small Vessel Security Strategy
(Washington, D.C., April 2008). Additional information on the strategy
is included later in this report.
[19] Of the seven stakeholders who did not mention waterside attacks,
five reported either being comfortable with the level of law
enforcement presence at their port or being more concerned about other
threats, such as criminal acts of smuggling and drug trafficking at
their port.
[20] These scenarios are not exclusive to a cruise ship facility, but
rather any location where people are congregated.
[21] The International Port Security Program has responsibility for
assessing the antiterrorism measures maintained by foreign ports. In
response to MTSA provisions directing DHS to assess the effectiveness
of antiterrorism measures maintained by foreign ports, which are
served by vessels that also call on the United States, the Coast Guard
established the International Port Security Program. A staff based in
Washington, D.C. sets program policy and makes determinations
regarding the effectiveness of antiterrorism measures. An operational
element based in Portsmouth, VA and Liaison Officers in three regions
(Asia-Pacific, Europe/Africa/Middle East, and Central/South America,
for worldwide coverage) conduct country visits to review and discuss
security measures implemented and share best practices in order to
assist other nations and facilitate bilateral exchanges. A Port
Security Specialist Team based in Washington, D.C. was established to
manage country visits to review and discuss security measures
implemented and share "best practices." According to Coast Guard
officials, during country visits, not all ports are visited by program
officials.
[22] The Coast Guard has conducted studies on the impacts of different
types of attacks on cruise ships, the results of which are classified.
[23] The Coast Guard performs other annual and periodic vessel
inspections that are primarily focused on safety, during which
security measures are also reviewed.
[24] Under Coast Guard guidance, a Coast Guard inspector must carry
out the following steps in conducting a cruise ship facility
inspection: (1) ensure the facility complies with the security plan;
(2) ensure the approved security plan adequately addresses the
performance-based criteria as outlined in federal regulations; (3)
ensure the adequacy of the security assessment; and (4) ensure that
the measures in place adequately address the vulnerabilities.
[25] Under Coast Guard guidance, the Coast Guard should determine if a
cruise ship is complying with maritime security requirements through
observation, asking questions, and reviewing security records. If
there is evidence that the ship does not meet the applicable maritime
security requirements, the Coast Guard can impose enforcement actions
that include inspection, delay, or detention of the ship; restriction
of ship operations; expulsion of the ship from port; and/or lesser
administrative or corrective measures. According to Coast Guard
guidance, a foreign flagged cruise ship's security plan is not
generally subject to inspection, and the Coast Guard must obtain
consent from the ship's flag state or the master of the ship before
reviewing the ship's security plan.
[26] The Coast Guard utilizes a screening tool that promotes
systematic evaluation of several risk factors related to a ship's
compliance or noncompliance with domestic and international maritime
security standards. The risk factors are: ship management; flag state;
recognized security organization; the vessel's security compliance
history; and the ship's last ports of call.
[27] For cruise ships entering a U.S. port, the Coast Guard uses a
targeting system to determine whether the ship is required to receive
an inspection. A Coast Guard database allows Coast Guard units to run
a report on a daily basis for all facilities. The report highlights
which facilities are due for an inspection.
[28] GAO, Maritime Security: Coast Guard Inspections Identify and
Correct Facility Deficiencies, but More Analysis Needed of Program's
Staffing, Practices, and Data, [hyperlink,
http://www.gao.gov/products/GAO-08-12] (Washington, D.C., Feb. 14,
2008).
[29] The required percentage of escorts changes at different threat
levels. The Coast Guard can coordinate with local law enforcement to
assist with meeting its Operation Neptune Shield requirements for
escorting vessels.
[30] The Coast Guard collects Operation Neptune Shield data on all
high-capacity passenger vessels, but does not separate the data by
type of high-capacity passenger vessel, such as cruise ships or
ferries.
[31] More specific information on the number of security boardings the
Coast Guard conducts is considered security sensitive information.
[32] The Coast Guard uses a classified, risk-based tool to evaluate
the security risk of a vessel entering into port, and determine
whether a boarding is deemed appropriate. The tool helps Coast Guard
units to determine the appropriate actions to be taken for a cruise
ship, such as an inspection or boarding.
[33] Under the Intelligence Reform and Terrorism Prevention Act of
2004, for cruise ships on an international voyage that embarks or
debarks passengers at a U.S. port, DHS is to compare information about
cruise ship passengers and crew with consolidated database information
relating to known or suspected terrorists and their associates.
[34] Under CBP regulations, cruise ships are required to transmit
arrival manifest data at least 96 hours before entering the U.S. port
or place for voyages of 96 hours or more; prior to departure of the
ship from a foreign port for voyages less than 96 but at least 24
hours; or at least 24 hours before entering the United States place or
port for voyages of less than 24 hours. In addition, ships are
required to submit manifest data 60 minutes before departure from the
United States. Manifest data requirements include, among other things,
full name, date of birth, gender, citizenship, country of residence,
status on board the ship, travel document type, passport information
(if required), address while in the United States (not required for
U.S. citizens, lawful permanent residents, crew members, or persons
who are in transit to a location outside the United States), voyage
information, and ship information.
[35] In general, with respect to Coast Guard's maritime security
regulations, the term "screening" is defined to mean "a reasonable
examination of persons, cargo, vehicles, or baggage for the protection
of the vessel, its passengers, and crew. The purpose of the screening
is to secure the vital government interest of protecting vessels,
harbors, and waterfront facilities from destruction, loss, or injury
from sabotage or other causes of similar nature. Such screening is
intended to ensure that dangerous substances and devices, or other
items that pose a real danger of violence or a threat to security are
not present."
[36] CBP officers conducting admissibility inspections for passengers
boarding U.S.-bound cruise ships in Canada are permitted by informal
agreement with Canadian authorities to check bags or do pat downs.
However, according to Customs and Border Protection officials, taking
any action beyond that would necessitate coordination with local
Canadian law enforcement.
[37] Crew that are denied landing privileges by a CBP officer while in
the United States are regularly mustered for compliance in the port of
arrival and onward U.S. ports. CBP also notifies other federal and
local law enforcement of detained crew for situational awareness.
[38] DHS Office of Inspector General, DHS' Strategy and Plans to
Counter Small Vessel Threats Need Improvement, OIG-09-100,
(Washington, D.C.: September 10, 2009).
[39] The Office of Inspector General report concluded that DHS
incorporated two characteristics of an effective national strategy for
combating terrorism--(1) purpose, scope, and methodology and (2)
problem definition and risk assessment. However, the report stated
that DHS had not fully addressed the remaining four characteristics--
(1) goals, objectives, activities, and performance measures; (2)
resources, investments, and risk management; (3) organizational roles,
responsibilities, and coordination; and (4) integration and
implementation.
[40] Under MTSA, a security plan for U.S. vessels and facilities must
(1) be consistent with the requirements of the National Maritime
Transportation Security Plan and Area Maritime Transportation Security
Plans; (2) identify the qualified individual having full authority to
implement security actions, and require immediate communications
between that individual and the appropriate federal official and the
persons providing personnel and equipment; (3) include provisions for--
establishing and maintaining physical security, passenger and cargo
security, and personnel security; establishing and controlling access
to secure areas of the vessel or facility; procedural security
policies; communications systems; and other security systems; (4)
identify, and ensure by contract or other means approved by the
Secretary of DHS, the availability of security measures necessary to
deter to the maximum extent practicable a transportation security
incident or a substantial threat of such a security incident; (5)
describe the training, periodic unannounced drills, and security
actions of persons on the vessel or at the facility, to be carried out
under the plan to deter to the maximum extent practicable a
transportation security incident, or a substantial threat of such a
security incident; (6) be updated at least every 5 years; and (7) be
resubmitted for approval of each change to the vessel or facility that
may substantially affect the security of the vessel or facility. Under
Coast Guard regulations, the Coast Guard is to review and approve
security plans for U.S. flagged vessels and facilities. A foreign
flagged vessel's security plan, under Coast Guard regulations, is
generally not subject to Coast Guard review, approval, or inspection.
[41] Inspection data do not include domestic cruise ship facilities
that typically cannot support a cruise ship as defined by MTSA. These
facilities may handle gaming vessels or dinner cruises.
[42] Other port facilities include boat ramps, bulk liquid and oil
facilities, and container facilities.
[43] A letter of warning is issued for minor first-time violations
that operators take immediate action to correct.
[44] Area Maritime Security Committees established under Coast Guard's
MTSA implementing regulations, in addition to the local Coast Guard
Captain of the Port, may be composed of officials of federal,
territorial, or tribal government; state and local government; law
enforcement and security organizations; maritime industry and labor
organizations; and other port stakeholders that either may be affected
by security practices and policies or have a special competence in
maritime security. The responsibilities of the committees include, in
part, identifying critical port infrastructure, identifying risks to
the port, developing mitigation strategies for these risks, and
communicating appropriate security information to port stakeholders.
[45] GAO, Maritime Security: Vessel Tracking Systems Provide Key
Information, but the Need for Duplicate Data Should Be Reviewed,
[hyperlink, http://www.gao.gov/products/GAO-09-337] (Washington, D.C.,
March 17, 2009).
[46] Section 115 of Pub. L. No. 107-71, 115 Stat. 597 (2001) (codified
at 49 U.S.C. 44909(c)(3)).
[47] In November 2006, GAO issued a restricted report that discusses
Passenger Name Record data. In May 2007, a public version of the
report was issued. GAO, Aviation Security: Efforts to Strengthen
International Passenger Prescreening are Under Way, but Planning and
Implementation Issues Remain, [hyperlink,
http://www.gao.gov/products/GAO-07-346] (Washington, D.C., May 16,
2007).
[48] Detailed information regarding these cases is security sensitive
information.
[49] CBP officials stated that there is always a concern about the
accuracy and reliability of Passenger Name Record data for several
reasons. First, this information is not standardized, that is, CBP
receives Passenger Name Record data from 130 air carriers in about 100
different formats. CBP considers Passenger Name Record data as "dirty
data" that requires great effort to process. Further, these data are
collected or entered by the passenger or travel agent and there is the
chance the data could be mistyped or a nickname could be used instead
of a full name. CBP created algorithms in their system to account for
similar names or acceptable misspellings to enhance the utility of the
Passenger Name Record data.
[50] GAO, Program Evaluation: Studies Helped Agencies Measure or
Explain Program Performance, [hyperlink,
http://www.gao.gov/products/GAO/GGD-00-204] (Washington, D.C.,
September 29, 2000).
[51] This memorandum was issued after receiving the conclusions of two
reviews related to the attempt to bring down a Detroit-bound flight on
December 25, 2009, by detonating an explosive device. The first was a
White House-led review of the U.S. terrorist watch list system and the
performance of the intelligence, homeland security, and law
enforcement communities related to the attempted attack. The second
review was led by DHS on technology and procedures used for airport
screening.
[52] Pub. L. No. 93-579, 88 Stat. 1879 (1974).
[53] Pub. L. No. 107-347, 116 Stat. 2899 (2002).
[54] Office of Management and Budget, OMB Guidance for Implementing
the Privacy Provisions of the E-Government Act of 2002, M-03-22
(Washington, D.C.: Sept. 26, 2003).
[55] The Privacy Act places limitations on agencies' collection, use,
and disclosure of personal information maintained in systems of
records, which are groups of personal information that are maintained
by an agency from which personal information is retrieved by an
individual's name or identifier. Among the act's provisions are
requirements for agencies to give notice to the public about the use
of their personal information. Also, when agencies establish or make
changes to a system of records, they must notify the public by a
notice in the Federal Register about the type of data collected; the
types of individuals about whom information is collected; the intended
"routine" uses of the data; the policies and practices regarding data
storage, retrievability, access controls, retention, and disposal; and
procedures that individuals can use to review and correct personal
information. The E-Government Act of 2002 requires agencies to conduct
a privacy impact assessment when using information technology to
process personal information.
[56] DHS, Report on Effects on Privacy and Civil Liberties (April 27,
2006).
[End of section]
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