Flood Insurance
Public Policy Goals Provide a Framework for Reform
Gao ID: GAO-11-429T March 11, 2011
The National Flood Insurance Program (NFIP) has been on GAO's high-risk list since 2006, when the program had to borrow from the U.S. Treasury to cover losses from the 2005 hurricanes. The outstanding debt is $17.8 billion as of March 2011. This sizeable debt, plus operational and management challenges that GAO has identified at the Federal Emergency Management Agency (FEMA), which administers NFIP, have combined to keep the program on the high-risk list. NFIP's need to borrow to cover claims in years of catastrophic flooding has raised concerns about the program's long-term financial solvency. This testimony 1) discusses ways to place NFIP on a sounder financial footing in light of public policy goals for federal involvement in natural catastrophe insurance and 2) highlights operational and management challenges at FEMA that affect the program. In preparing this statement, GAO relied on its past work on NFIP and on its ongoing review of FEMA's management of NFIP, which focuses on its planning, policies, processes, and systems. The management review includes areas such as strategic and human capital planning, acquisition management, and intra-agency collaboration.
Congressional action is needed to increase the financial stability of NFIP and limit taxpayer exposure. GAO previously identified four public policy goals that can provide a framework for crafting or evaluating proposals to reform NFIP. These goals are: (1) charging premium rates that fully reflect risks, (2) limiting costs to taxpayers before and after a disaster, (3) encouraging broad participation in the program, and (4)encouraging private markets to provide flood insurance. Successfully reforming NFIP would require trade-offs among these often competing goals. For example, currently nearly one in four policyholders does not pay full-risk rates, and many pay a lower subsidized or "grandfathered" rate. Reducing or eliminating less than full-risk rates would decrease costs to taxpayers but substantially increase costs for many policyholders, some of whom might leave the program, potentially increasing postdisaster federal assistance. However, these trade-offs could be mitigated by providing assistance only to those who needed it, limiting postdisaster assistance for flooding, and phasing in premium rates that fully reflected risks. Increasing mitigation efforts to reduce the probability and severity of flood damage would also reduce flood claims in the long term but would have significant up-front costs that might require federal assistance. One way to address this trade-off would be to better ensure that current mitigation programs were effective and efficient. Encouraging broad participation in the program could be achieved by expanding mandatory purchase requirements or increasing targeted outreach to help diversify the risk pool. Such efforts could help keep rates relatively low and reduce NFIP's exposure but would have to be effectively managed to help ensure that outreach efforts were broadly based. Encouraging private markets is the most difficult challenge because virtually no private market for flood insurance exists for most residential and commercial properties. FEMA's ongoing efforts to explore alternative structures may provide ideas that could be evaluated and considered. Several operational and management issues also limit FEMA's progress in addressing NFIP's challenges, and continued action by FEMA will be needed to help ensure the stability of the program. For example, in previous reports GAO has identified weaknesses in areas that include financial controls and oversight of private insurers and contractors, and has made many recommendations to address them. While FEMA has made progress in addressing some areas, preliminary findings from GAO's ongoing work indicate that these issues persist and need to be addressed as Congress works to more broadly reform NFIP. GAO has made numerous recommendations aimed at improving financial controls and oversight of private insurers and contractors, among others.
GAO-11-429T, Flood Insurance: Public Policy Goals Provide a Framework for Reform
This is the accessible text file for GAO report number GAO-11-429T
entitled 'Flood Insurance: Public Policy Goals Provide a Framework for
Reform' which was released on March 10, 2011.
This text file was formatted by the U.S. Government Accountability
Office (GAO) to be accessible to users with visual impairments, as
part of a longer term project to improve GAO products' accessibility.
Every attempt has been made to maintain the structural and data
integrity of the original printed product. Accessibility features,
such as text descriptions of tables, consecutively numbered footnotes
placed at the end of the file, and the text of agency comment letters,
are provided but may not exactly duplicate the presentation or format
of the printed version. The portable document format (PDF) file is an
exact electronic replica of the printed version. We welcome your
feedback. Please E-mail your comments regarding the contents or
accessibility features of this document to Webmaster@gao.gov.
This is a work of the U.S. government and is not subject to copyright
protection in the United States. It may be reproduced and distributed
in its entirety without further permission from GAO. Because this work
may contain copyrighted images or other material, permission from the
copyright holder may be necessary if you wish to reproduce this
material separately.
United States Government Accountability Office:
GAO:
Testimony:
Before the Subcommittee on Insurance, Housing, and Community
Opportunity, Committee on Financial Services, House of Representatives:
For Release on Delivery:
Expected at 10:00 a.m. EST:
Friday, March 11, 2011:
Flood Insurance:
Public Policy Goals Provide a Framework for Reform:
Statement of Orice Williams Brown, Managing Director:
Financial Markets and Community Investment:
GAO-11-429T:
GAO Highlights:
Highlights of GAO-11-429T, a testimony before the Subcommittee on
Insurance, Housing, and Community Opportunity, Committee on Financial
Services, House of Representatives.
Why GAO Did This Study:
The National Flood Insurance Program (NFIP) has been on GAO‘s high-
risk list since 2006, when the program had to borrow from the U.S.
Treasury to cover losses from the 2005 hurricanes. The outstanding
debt is $17.8 billion as of March 2011. This sizeable debt, plus
operational and management challenges that GAO has identified at the
Federal Emergency Management Agency (FEMA), which administers NFIP,
have combined to keep the program on the high-risk list. NFIP‘s need
to borrow to cover claims in years of catastrophic flooding has raised
concerns about the program‘s long-term financial solvency. This
testimony 1) discusses ways to place NFIP on a sounder financial
footing in light of public policy goals for federal involvement in
natural catastrophe insurance and 2) highlights operational and
management challenges at FEMA that affect the program.
In preparing this statement, GAO relied on its past work on NFIP and
on its ongoing review of FEMA‘s management of NFIP, which focuses on
its planning, policies, processes, and systems. The management review
includes areas such as strategic and human capital planning,
acquisition management, and intra-agency collaboration.
GAO has made numerous recommendations aimed at improving financial
controls and oversight of private insurers and contractors, among
others.
What GAO Found:
Congressional action is needed to increase the financial stability of
NFIP and limit taxpayer exposure. GAO previously identified four
public policy goals that can provide a framework for crafting or
evaluating proposals to reform NFIP. These goals are:
* charging premium rates that fully reflect risks,
* limiting costs to taxpayers before and after a disaster,
* encouraging broad participation in the program, and,
* encouraging private markets to provide flood insurance.
Successfully reforming NFIP would require trade-offs among these often
competing goals. For example, currently nearly one in four
policyholders does not pay full-risk rates, and many pay a lower
subsidized or ’grandfathered“ rate. Reducing or eliminating less than
full-risk rates would decrease costs to taxpayers but substantially
increase costs for many policyholders, some of whom might leave the
program, potentially increasing postdisaster federal assistance.
However, these trade-offs could be mitigated by providing assistance
only to those who needed it, limiting postdisaster assistance for
flooding, and phasing in premium rates that fully reflected risks.
Increasing mitigation efforts to reduce the probability and severity
of flood damage would also reduce flood claims in the long term but
would have significant up-front costs that might require federal
assistance. One way to address this trade-off would be to better
ensure that current mitigation programs were effective and efficient.
Encouraging broad participation in the program could be achieved by
expanding mandatory purchase requirements or increasing targeted
outreach to help diversify the risk pool. Such efforts could help keep
rates relatively low and reduce NFIP‘s exposure but would have to be
effectively managed to help ensure that outreach efforts were broadly
based. Encouraging private markets is the most difficult challenge
because virtually no private market for flood insurance exists for
most residential and commercial properties. FEMA‘s ongoing efforts to
explore alternative structures may provide ideas that could be
evaluated and considered.
Several operational and management issues also limit FEMA‘s progress
in addressing NFIP‘s challenges, and continued action by FEMA will be
needed to help ensure the stability of the program. For example, in
previous reports GAO has identified weaknesses in areas that include
financial controls and oversight of private insurers and contractors,
and has made many recommendations to address them. While FEMA has made
progress in addressing some areas, preliminary findings from GAO‘s
ongoing work indicate that these issues persist and need to be
addressed as Congress works to more broadly reform NFIP.
View [hyperlink, http://www.gao.gov/products/GAO-11-429T] or key
components. For more information, contact Orice Williams Brown at
(202) 512-8678 or williamso@gao.gov.
[End of section]
Chairman Biggert, Ranking Member Gutierrez, and Members of the
Subcommittee:
I appreciate the opportunity to participate in today's hearing on
National Flood Insurance Program (NFIP) reform. As you know, NFIP is
the key component of the federal government's efforts to minimize the
damage from and financial impact of floods and is the only source of
insurance against flood damage for most residents in vulnerable areas.
NFIP has been on GAO's high-risk list since March 2006 after incurring
billions of dollars in catastrophic losses from the 2005 hurricanes.
Further contributing to NFIP's high-risk classification are
operational and management challenges that we have identified within
the Federal Emergency Management Agency (FEMA) that affect the
program. As of March 2011, NFIP still owed approximately $17.8 billion
to the Department of the Treasury (Treasury) for loans used to cover
losses from the 2005 hurricanes. The magnitude of this debt highlights
the many financial challenges the program faces, including structural
weaknesses in the way it is funded, and the managerial challenges that
have affected FEMA's administration of NFIP. Any efforts to help
stabilize NFIP will require addressing both the program's financial
challenges and its operational and management issues.
My statement today discusses four public policy goals that GAO has
developed for evaluating federal involvement in the provision of
natural catastrophe insurance and identifies key program areas needing
reform, potential ways to better fulfill these goals, and the trade-
offs that would be required. This statement also sets out the
operational and managerial challenges facing NFIP that we have
identified in past reports and are examining in ongoing work. We
performed our work 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 we obtained provides a
reasonable basis for our findings and conclusions based on our audit
objectives.
Background:
The National Flood Insurance Act of 1968 established NFIP as an
alternative to providing direct assistance after floods.[Footnote 1]
NFIP, which provides government-guaranteed flood insurance to
homeowners and businesses, was intended to reduce the federal
government's escalating costs for repairing flood damage after
disasters. FEMA, which is within the Department of Homeland Security
(DHS), is responsible for the oversight and management of NFIP. Since
NFIP's inception, Congress has enacted several pieces of legislation
to strengthen the program. The Flood Disaster Protection Act of 1973
made flood insurance mandatory for owners of properties in vulnerable
areas who had mortgages from federally regulated lenders and provided
additional incentives for communities to join the program.[Footnote 2]
The National Flood Insurance Reform Act of 1994 strengthened the
mandatory purchase requirements for owners of properties located in
special flood hazard areas (SFHA) with mortgages from federally
regulated lenders.[Footnote 3] Finally, the Bunning-Bereuter-
Blumenauer Flood Insurance Reform Act of 2004 authorized grant
programs to mitigate properties that experienced repetitive flooding
losses. Owners of these repetitive loss properties who do not mitigate
may face higher premiums.[Footnote 4]
To participate in NFIP, communities agree to enforce regulations for
land use and new construction in high-risk flood zones and to adopt
and enforce state and community floodplain management regulations to
reduce future flood damage. Currently, more than 20,000 communities
participate in NFIP. NFIP has mapped flood risks across the country,
assigning flood zone designations based on risk levels, and these
designations are a factor in determining premium rates. NFIP offers
two types of flood insurance premiums: subsidized and full risk. The
National Flood Insurance Act of 1968 authorizes NFIP to offer
subsidized premiums to owners of certain properties. These subsidized
premium rates, which represent about 40 to 45 percent of the cost of
covering the full risk of flood damage to the properties, apply to
about 22 percent of all NFIP policies. To help reduce or eliminate the
long-term risk of flood damage to buildings and other structures
insured by NFIP, FEMA has used a variety of mitigation efforts, such
as elevation, relocation, and demolition. Despite these efforts, the
inventories of repetitive loss properties--generally, as defined by
FEMA, those that have had two or more flood insurance claims payments
of $1,000 or more over 10 years--and policies with subsidized premium
rates have continued to grow.[Footnote 5] In response to the magnitude
and severity of the losses from the 2005 hurricanes, Congress
increased NFIP's borrowing authority from the Treasury to $20.8
billion.
Efforts to Reform NFIP's Financial Structure Will Require Balancing
Public Policy Goals:
We have previously identified four public policy goals for evaluating
the federal role in providing natural catastrophe insurance:
* charging premium rates that fully reflect actual risks,
* limiting costs to taxpayers before and after a disaster,
* encouraging broad participation in natural catastrophe insurance
programs, and,
* encouraging private markets to provide natural catastrophe
insurance.[Footnote 6]
Taking action to achieve these goals would benefit both NFIP and the
taxpayers who fund the program but would require trade-offs. I will
discuss the key areas that need to be addressed, actions that can be
taken to help achieve these goals, and the trade-offs that would be
required.
Charging Full-Risk Rates Would Improve NFIP's Financial Soundness but
Could Reduce Program Participation:
As I have noted, NFIP currently does not charge all program
participants rates that reflect the full risk of flooding to their
properties. First, the act requires FEMA to charge many policyholders
less than full-risk rates to encourage program participation. While
the percentage of subsidized properties was expected to decline as new
construction replaced subsidized properties, today nearly one out of
four NFIP policies is based on a subsidized rate. Second, FEMA may
"grandfather" properties that are already in the program when new
flood maps place them in higher-risk zones, allowing some property
owners to pay premium rates that apply to the previous lower-risk
zone. FEMA officials told us that they made the decision to allow
grandfathering because of external pressure to reduce the effects of
rate increases, and considerations of equity, ease of administration,
and the goals of promoting floodplain management. Similarly, FEMA
recently introduced a new rating option called the Preferred Risk
Policy (PRP) Eligibility Extension that in effect equals a temporary
grandfathering of premium rates.[Footnote 7] While these policies
typically would have to be converted to more expensive policies when
they were renewed after a new flood map came into effect, FEMA has
extended eligibility for these lower rates. Finally, we have also
raised questions about whether NFIP's full-risk rates reflect actual
flood risks. Because many premium rates charged by NFIP do not reflect
the full risk of loss, the program is less likely to be able to pay
claims in years with catastrophic losses, as occurred in 2005, and may
need to borrow from Treasury to pay claims in those years.[Footnote 8]
Increasing premium rates to fully reflect the risk of loss--including
the risk of catastrophic loss--would generally require reducing or
eliminating subsidized and grandfathered rates and offers several
advantages. Specifically, increasing rates could:
* result in premium rates that more fully reflected the actual risk of
loss;
* decrease costs for taxpayers by reducing costs associated with
postdisaster borrowing to pay claims; and;
* encourage private market participation, because the rates would more
closely approximate those that would be charged by private insurers.
However, eliminating subsidized and grandfathered rates and increasing
rates overall would increase costs to some homeowners, who might then
cancel their flood policies or elect not to buy them at all. According
to FEMA, subsidized premium rates are generally 40 to 45 percent of
rates that would reflect the full risk of loss. For example, the
projected average annual subsidized premium was $1,121 as of October
2010, discounted from the $2,500 to $2,800 that would be required to
cover the full risk of loss. In a 2009 report, we also analyzed the
possibility of creating a catastrophic loss fund within NFIP (one way
to help pay for catastrophic losses).[Footnote 9] Our analysis found
that in order to create a fund equal to 1 percent of NFIP's total
exposure by 2020, the average subsidized premium--which typically is
in one of the highest-risk zones--would need to increase from $840 to
around $2,696, while the average full-risk premium would increase from
around $358 to $1,149. Such steep increases could reduce
participation, either because homeowners could no longer afford their
policies or simply deemed them too costly, and increase taxpayer costs
for postdisaster assistance to property owners who no longer had flood
insurance.
However, a variety of actions could be taken to mitigate these
disadvantages. For example, subsidized rates could be phased out over
time or not transferred with the property when it is sold. Moreover,
as we noted in our past work, targeted assistance could be offered to
those most in need to help them pay increased NFIP premiums.[Footnote
10] This assistance could take several forms, including direct
assistance through NFIP, tax credits, or grants. In addition, to the
extent that those who might forego coverage were actually required to
purchase it, additional actions could be taken to better ensure that
they purchased policies. According to RAND Corporation, in SFHAs,
where property owners with loans from federally insured or regulated
lenders are required to purchase flood insurance, as few as 50 percent
of the properties had flood insurance in 2006.[Footnote 11]
Limiting Taxpayer Costs Could Be Achieved by Increasing Premium Rates,
but Further Mitigation Efforts Could Incur Up-Front Costs:
In order to reduce expenses to taxpayers that can result when NFIP
borrows from Treasury, NFIP needs to be able to generate enough in
premiums to pay its claims, even in years with catastrophic losses--a
goal that is closely tied to that of eliminating subsidies and other
reduced rates. Since the program's inception, NFIP premiums have come
close to covering claims in average loss years but not in years of
catastrophic flooding, particularly 2005. Unlike private insurance
companies, NFIP does not purchase reinsurance to cover catastrophic
losses.[Footnote 12] As a result, NFIP has funded such losses after
the fact by borrowing from Treasury. As we have seen, such borrowing
exposes taxpayers to the risk of loss. NFIP still owes approximately
$17.8 billion of the amount it borrowed from Treasury for losses
incurred during the 2005 hurricane season. The high cost of servicing
this debt means that it may never be repaid, could in fact increase,
and will continue to affect the program's solvency and be a burden to
taxpayers.
Another way to limit costs to taxpayers is to decrease the risk of
losses by undertaking mitigation efforts that could reduce the extent
of damage from flooding. FEMA has taken steps to help homeowners and
communities mitigate properties by making improvements designed to
reduce flood damage--for example, elevation, relocation, and
demolition. As we have reported, from fiscal year 1997 through fiscal
year 2007, nearly 30,000 properties were mitigated using FEMA funds.
[Footnote 13] Increasing mitigation efforts could further reduce flood
damage to properties and communities, helping to put NFIP on a firmer
financial footing and reducing taxpayers' exposure.
FEMA has made particular efforts to address the issue of repetitive
loss properties through mitigation. These properties account for just
1 percent of NFIP's insured properties but are responsible for 25 to
30 percent of claims. Despite FEMA's efforts, the number of repetitive
loss properties increased from 76,202 in 1997 to 132,100 in March
2011, or by about 73 percent. FEMA also has some authority to raise
premium rates for property owners who refuse mitigation offers in
connection with the Severe Repetitive Loss Pilot Grant Program.
[Footnote 14] In these situations, FEMA can initially increase
premiums to up to 150 percent of their current amount and may raise
them again (by up to the same amount) on properties that incur a claim
of more than $1,500. However, FEMA cannot increase premiums on
property owners who pay the full-risk rate but refuse a mitigation
offer, and in no case can rate increases exceed the full-risk rate for
the structure. In addition, FEMA is not allowed to discontinue
coverage for those who refuse mitigation offers. As a result, FEMA is
limited in its ability to compel owners of repetitive loss properties
to undertake flood mitigation efforts.
Mitigation offers significant advantages. As I have noted, mitigated
properties are less likely to be at a high risk for flood damage,
making it easier for NFIP to charge them full-risk rates that cover
actual losses. Allowing NFIP to deny coverage to owners of repetitive
loss properties who refused to undertake mitigation efforts could
further reduce costs to the program and ultimately to taxpayers.
One disadvantage of increased mitigation efforts is that they can
impose up-front costs on homeowners and communities required to
undertake them and could raise taxpayers' costs if the federal
government elected to provide additional mitigation assistance. Those
costs could increase still further if property owners who were dropped
from the program for refusing to mitigate later received federal
postdisaster assistance. These trade-offs are not insignificant,
although certain actions could be taken to reduce them. For example,
federal assistance such as low-cost loans, grants, or tax credits
could be provided to help property owners pay for the up-front costs
of mitigation efforts. Any reform efforts could explore ways to
improve mitigation efforts to help ensure maximum effectiveness. For
example, FEMA has three separate flood mitigation programs.[Footnote
15] Having multiple programs may not be the most cost-efficient and
effective way to promote mitigation and may unnecessarily complicate
mitigation efforts.
Depending on How They Were Implemented, Efforts to Encourage Broader
Participation Could Reduce Costs:
Increasing participation in NFIP, and thus the size of the risk pool,
would help ensure that losses from flood damage did not become the
responsibility of the taxpayer. Participation rates have been
estimated to be as low as 50 percent in SFHAs, where property owners
with loans from federally insured and regulated lenders are required
to purchase flood insurance, and participation in lower-risk areas is
significantly lower.[Footnote 16] For example, participation rates
outside of SFHAs have been found to be as low as 1 percent, leaving
significant room to increase participation.
Expanding participation in NFIP would have a number of advantages. As
a growing number of participants shared the risks of flooding, premium
rates could be lower than they would be with fewer participants.
Currently, NFIP must take all applicants for flood insurance, unlike
private insurers, and thus is limited in its ability to manage its
risk exposure. To the extent that properties added to the program were
in geographic areas where participation had historically been low and
in low-and medium-risk areas, the increased diversity could lower
rates as the overall risk to the program decreased. Further, increased
program participation could reduce taxpayer costs by reducing the
number of property owners who might draw on federally funded
postdisaster assistance.
However, efforts to expand participation in NFIP would have to be
carefully implemented, for several reasons. First, as we have noted,
NFIP cannot reject applicants on the basis of risk. As a result, if
participation increased only in SFHAs, the program could see its
concentration of high-risk properties grow significantly and face the
prospect of more severe losses. Second, a similar scenario could
emerge if mandatory purchase requirements were expanded and newly
covered properties were in communities that did not participate in
NFIP and thus did not meet standards--such as building codes--that
could reduce flood losses. As a result, some of the newly enrolled
properties might be eligible for subsidized premium rates or, because
of restrictions on how much FEMA can charge in premiums, might not pay
rates that covered the actual risk of flooding. Finally, historically
FEMA has attempted to encourage participation by charging lower rates.
However, doing so results in rates that do not fully reflect the risks
of flooding and exposes taxpayers to increased risk.
Moderating the challenges associated with expanding participation
could take a variety of forms. Newly added properties could be
required to pay full-risk rates, and low-income property owners could
be offered some type of assistance to help them pay their premiums.
Outreach efforts would need to include areas with low and moderate
flood risks to help ensure that the risk pool remained diversified.
For example, FEMA's goals for NFIP include increasing penetration in
low-risk flood zones, among homeowners without federally related
mortgages in all zones, and in geographic areas with repetitive losses
and low penetration rates.
Encouraging Private Market Participation Could Reduce the Federal
Government's Exposure but Could Also Decrease NFIP's Stability if Only
High-Risk Properties Remained:
Currently, the private market provides only a limited amount of flood
insurance coverage. In 2009, we reported that while aggregate
information was not available on the precise size of the private flood
insurance market, it was considered relatively small.[Footnote 17] The
2006 RAND study estimated that 180,000 to 260,000 insurance policies
for both primary and gap coverage were in effect.[Footnote 18] We also
reported that private flood insurance policies are generally purchased
in conjunction with NFIP policies, with the NFIP policy covering the
deductible on the private policy. Finally, we reported that NFIP
premiums were generally less expensive than premiums for private flood
insurance for similar coverage.[Footnote 19] For example, one insurer
told us that for a specified amount of coverage for flood damage to a
structure, an NFIP policy might be as low as $500, while a private
policy might be as high as $900. Similar coverage for flood damage to
contents might be $350 for an NFIP policy but around $600 for a
private policy.
Given the limited nature of private sector participation, encouraging
private market participation could transfer some or all of the federal
government's risk exposure to the private markets and away from
taxpayers. However, identifying ways to achieve that end has generally
been elusive. In 2007, we evaluated the trade-offs of having a
mandatory all-perils policies that would include flood risks.[Footnote
20] For example, it would alleviate uncertainty about the types of
natural events homeowners insurance covered, such as those that
emerged following Hurricane Katrina. However, at the time the industry
was generally opposed to an all-perils policy because of the large
potential losses a mandatory policy would entail.
Increased private market participation is also not without potential
disadvantages. First, if the private markets provide coverage for only
the lowest-risk properties currently in NFIP, the percentage of high-
risk properties in the program would increase. This scenario could
result in higher rates as the amount needed to cover the full risk of
flooding increased. Without higher rates, however, the federal
government would face further exposure to loss. Second, private
insurers, who are able to charge according to risk, would likely
charge higher rates than NFIP has been charging unless they received
support from the federal government. As we have seen, such increases
could create affordability concerns for low-income policyholders.
Strategies to help mitigate these disadvantages could include
requiring private market coverage for all property owners--not just
those in high-risk areas--and, as described earlier, providing
targeted assistance to help low-income property owners pay for their
flood coverage. In addition, Congress could provide options to private
insurers to help lower the cost of such coverage, including tax
incentives or federal reinsurance.
FEMA's Operational and Management Issues May Limit Progress in
Achieving NFIP Goals:
As Congress weighs NFIP's various financial challenges in its efforts
to reform the program, it must also consider a number of operational
and management issues that may limit efforts to meet program goals and
impair NFIP's stability. For the past 35 years, we have highlighted
challenges with NFIP and its administration and operations. For
example, most recently we have identified a number of issues impairing
the program's effectiveness in areas that include the reasonableness
of payments to Write-Your-Own (WYO) insurers, the adequacy of
financial controls over the WYO program, and the adequacy of oversight
of non-WYO contractors. In our ongoing work examining FEMA's
management of NFIP--covering areas including strategic planning, human
capital planning, intra-agency collaboration, records management,
acquisition management, and information technology--some similar
issues are emerging. For example, preliminary results of our ongoing
work show that FEMA:
* does not have a strategic plan specific to NFIP with goals,
objectives, and performance measures for guiding and measuring the
program;
* lacks a strategic human capital plan that addresses the critical
competencies required for its workforce;
* does not have effective collaborative practices that would improve
the functioning of program and support offices;
* lacks a centralized electronic document management system that would
allow its various offices to easily access and store documents;
* has only recently implemented or is still developing efforts to
improve some acquisition management functions, making it difficult to
assess the effects of these actions; and:
* does not have an effective system to manage flood insurance policy
and claims data, despite having invested roughly 7 years and $40
million on a new system whose development has been halted.
While FEMA has begun to acknowledge and address some of these
management challenges, additional work remains to be done to address
these issues. Our final report will include recommendations to address
them.
Closing Comments:
Congressional action is needed to increase the financial stability of
NFIP and limit taxpayer exposure. GAO previously identified four
public policy goals that can provide a framework for crafting or
evaluating proposals to reform NFIP. First, any congressional reform
effort should include measures for charging premium rates that
accurately reflect the risk of loss, including catastrophic losses.
Meeting this goal would require changing the law governing NFIP to
reduce or eliminate subsidized rates, limits on annual rate increases,
and grandfathered or other rates that did not fully reflect the risk
of loss. In taking such a step, Congress may choose to provide
assistance to certain property owners, and should consider providing
appropriate authorization and funding of such incentives to ensure
transparency. Second, because of the potentially high costs of
individual and community mitigation efforts, which can reduce the
frequency and extent of flood damage, Congress may need to provide
funding or access to funds for such efforts and consider ways to
improve the efficiency of existing mitigation programs. Moreover, if
Congress wished to allow NFIP to deny coverage to owners of properties
with repetitive losses who refused mitigation efforts, it would need
to give FEMA appropriate authority. Third, Congress could encourage
FEMA to continue to increase participation in the program by expanding
targeted outreach efforts and limiting postdisaster assistance to
those individuals who choose not to mitigate in moderate-and high-risk
areas. And finally, to address the goal of encouraging private sector
participation, Congress could encourage FEMA to explore private sector
alternatives to providing flood insurance or for sharing insurance
risks, provided such efforts do not increase taxpayers' exposure.
For its part, FEMA needs to take action to address a number of
fundamental operational and managerial issues that also threaten the
stability of NFIP and have contributed to its remaining on GAO's high-
risk list. These include improving its strategic planning, human
capital planning, intra-agency collaboration, records management,
acquisition management, and information technology. While FEMA
continues to make some progress in some areas, fully addressing these
issues is vital to its long-term operational efficiency and financial
stability.
Chairman Biggert, Ranking Member Gutierrez, and Members of the
Subcommittee, this concludes my prepared statement. I would be pleased
to respond to any of the questions you or other members of the
Subcommittee may have at this time.
GAO Contact and Staff Acknowledgments:
Contact points for our Offices of Congressional Relations and Public
Affairs may be found on the last page of this statement. For further
information about this testimony, please contact Orice Williams Brown
at (202) 512-8678 or williamso@gao.gov. This statement was prepared
under the direction of Patrick Ward. Key contributors were Tania
Calhoun, Emily Chalmers, Nima Patel Edwards, and Christopher Forys.
[End of section]
Related GAO Products:
FEMA Flood Maps: Some Standards and Processes in Place to Promote Map
Accuracy and Outreach, but Opportunities Exist to Address
Implementation Challenges. [hyperlink,
http://www.gao.gov/products/GAO-11-17]. Washington, D.C.: December 2,
2010.
National Flood Insurance Program: Continued Actions Needed to Address
Financial and Operational Issues. [hyperlink,
http://www.gao.gov/products/GAO-10-1063T]. Washington, D.C.: September
22, 2010.
National Flood Insurance Program: Continued Actions Needed to Address
Financial and Operational Issues. [hyperlink,
http://www.gao.gov/products/GAO-10-631T]. Washington, D.C.: April 21,
2010.
Financial Management: Improvements Needed in National Flood Insurance
Program's Financial Controls and Oversight. [hyperlink,
http://www.gao.gov/products/GAO-10-66]. Washington, D.C.: December 22,
2009.
Flood Insurance: Opportunities Exist to Improve Oversight of the WYO
Program. [hyperlink, http://www.gao.gov/products/GAO-09-455].
Washington, D.C.: August 21, 2009.
Information on Proposed Changes to the National Flood Insurance
Program. [hyperlink, http://www.gao.gov/products/GAO-09-420R].
Washington, D.C.: February 27, 2009.
High-Risk Series: An Update. [hyperlink,
http://www.gao.gov/products/GAO-09-271]. Washington, D.C.: January
2009.
Flood Insurance: Options for Addressing the Financial Impact of
Subsidized Premium Rates on the National Flood Insurance Program.
[hyperlink, http://www.gao.gov/products/GAO-09-20]. Washington, D.C.:
November 14, 2008.
Flood Insurance: FEMA's Rate-Setting Process Warrants Attention.
[hyperlink, http://www.gao.gov/products/GAO-09-12]. Washington, D.C.:
October 31, 2008.
National Flood Insurance Program: Financial Challenges Underscore Need
for Improved Oversight of Mitigation Programs and Key Contracts.
[hyperlink, http://www.gao.gov/products/GAO-08-437]. Washington, D.C.:
June 16, 2008.
Natural Catastrophe Insurance: Analysis of a Proposed Combined Federal
Flood and Wind Insurance Program. [hyperlink,
http://www.gao.gov/products/GAO-08-504]. Washington, D.C.: April 25,
2008.
National Flood Insurance Program: Greater Transparency and Oversight
of Wind and Flood Damage Determinations Are Needed. [hyperlink,
http://www.gao.gov/products/GAO-08-28. Washington, D.C.: December 28,
2007.
National Disasters: Public Policy Options for Changing the Federal
Role in Natural Catastrophe Insurance. [hyperlink,
http://www.gao.gov/products/GAO-08-7]. Washington, D.C.: November 26,
2007.
Federal Emergency Management Agency: Ongoing Challenges Facing the
National Flood Insurance Program. [hyperlink,
http://www.gao.gov/products/GAO-08-118T]. Washington, D.C.: October 2,
2007.
National Flood Insurance Program: FEMA's Management and Oversight of
Payments for Insurance Company Services Should Be Improved.
[hyperlink, http://www.gao.gov/products/GAO-07-1078]. Washington,
D.C.: September 5, 2007.
National Flood Insurance Program: Preliminary Views on FEMA's Ability
to Ensure Accurate Payments on Hurricane-Damaged Properties.
[hyperlink, http://www.gao.gov/products/GAO-07-991T]. Washington,
D.C.: June 12, 2007.
Coastal Barrier Resources System: Status of Development That Has
Occurred and Financial Assistance Provided by Federal Agencies.
[hyperlink, http://www.gao.gov/products/GAO-07-356]. Washington, D.C.:
March 19, 2007.
Budget Issues: FEMA Needs Adequate Data, Plans, and Systems to
Effectively Manage Resources for Day-to-Day Operations. [hyperlink,
http://www.gao.gov/products/GAO-07-139]. Washington, D.C.: January 19,
2007.
National Flood Insurance Program: New Processes Aided Hurricane
Katrina Claims Handling, but FEMA's Oversight Should Be Improved.
[hyperlink, http://www.gao.gov/products/GAO-07-169]. Washington, D.C.:
December 15, 2006.
GAO'S High-Risk Program. [hyperlink,
http://www.gao.gov/products/GAO-06-497T]. Washington, D.C.: March 15,
2006.
Federal Emergency Management Agency: Challenges for the National Flood
Insurance Program. [hyperlink,
http://www.gao.gov/products/GAO-06-335T]. Washington, D.C.: January
25, 2006.
Federal Emergency Management Agency: Improvements Needed to Enhance
Oversight and Management of the National Flood Insurance Program.
[hyperlink, http://www.gao.gov/products/GAO-06-119]. Washington, D.C.:
October 18, 2005.
Determining Performance and Accountability Challenges and High Risks.
[hyperlink, http://www.gao.gov/products/GAO-01-159SP]. Washington,
D.C.: November 2000.
Standards for Internal Control in the Federal Government. [hyperlink,
http://www.gao.gov/products/GAO/AIMD-00-21.3.1]. Washington, D.C.:
November 1999.
Budget Issues: Budgeting for Federal Insurance Programs. [hyperlink,
http://www.gao.gov/products/GAO/T-AIMD-98-147]. Washington, D.C.:
April 23, 1998.
Budget Issues: Budgeting for Federal Insurance Programs. [hyperlink,
http://www.gao.gov/products/GAO/AIMD-97-16]. Washington, D.C.:
September 30, 1997.
National Flood Insurance Program: Major Changes Needed If It Is To
Operate Without A Federal Subsidy. [hyperlink,
http://www.gao.gov/products/GAO/RCED-83-53]. Washington, D.C.: January
3, 1983.
Formidable Administrative Problems Challenge Achieving National Flood
Insurance Program Objectives. [hyperlink,
http://www.gao.gov/products/RED-76-94]. Washington, D.C.: April 22,
1976.
[End of section]
Footnotes:
[1] Pub. L. No. 90-448, Title XIII, 82 Stat. 476 (1968).
[2] Pub. L. No. 93-234, §102, 87 Stat. 975, 978 (1973).
[3] Pub. L. No. 103-325, 108 Stat. 2255 (1994).
[4] Pub. L. No. 108-264, §§ 102, 104, 118 Stat. 712, 714, 722 (2004).
[5] Bunning-Bereuter-Blumenauer Flood Insurance Reform Act of 2004,
Pub. L. No. 108-264, 118 Stat. 712 (2004). The act amended the
existing definition of the term repetitive loss structure to the
current one: a structure covered by a contract for flood insurance
that has incurred flood-related damage on two occasions, in which the
cost of repair, on the average, equaled or exceeded 25 percent of the
value of the structure at the time of each such flood event; and at
the time of the second incidence of flood-related damage, the contract
for flood insurance contains increased cost of compliance coverage,
which can help property owners pay for the cost of mitigation measures
for flood-damaged properties. 42 U.S.C. § 4121(a).
[6] See GAO, Natural Disasters: Public Policy Options for Changing the
Federal Role in Natural Catastrophe Insurance, [hyperlink,
http://www.gao.gov/products/GAO-08-7] (Washington, D.C.: Nov. 26,
2007).
[7] The PRP offers low-cost flood insurance to owners and tenants of
residential and nonresidential buildings located in moderate-to low-
risk areas as long as the property has not, within any 10-year period,
incurred two or more flood insurance claim payments or disaster relief
payments (including loans and grants) of more than $1,000 each.
[8] Implementing rates that reflect the full risk of loss, including
catastrophic losses might not eliminate NFIP's need to borrow funds
for larger-than-expected losses that occurred before sufficient
reserves had been built.
[9] See GAO, Information on Proposed Changes to the National Flood
Insurance Program, [hyperlink,
http://www.gao.gov/products/GAO-09-420R] (Washington, D.C.: Feb. 27,
2009). The creation of a catastrophic loss fund might not eliminate
NFIP's need to borrow funds for larger-than-expected losses that
occurred before the fund had been built. Further borrowing could
require either a longer period to rebuild the loss fund or debt
forgiveness from Congress.
[10] See GAO, Flood Insurance: Options for Addressing the Financial
Impact of Subsidized Premium Rates on the National Flood Insurance
Program, [hyperlink, http://www.gao.gov/products/GAO-09-20]
(Washington, D.C.: Nov. 14, 2008).
[11] RAND, The National Flood Insurance Program's Market Penetration
Rate: Estimates and Policy Implications (Santa Monica, Calif.: 2006).
[12] Reinsurance is essentially insurance for insurers--that is,
companies buy coverage for all or a part of a policy's liability from
other insurers in order to offset exposure.
[13] See [hyperlink, http://www.gao.gov/products/GAO-09-20].
[14] Under this program, for single-family properties, a severe
repetitive loss is defined as a property covered under a contract for
flood insurance that has incurred flood-related damage 1) for which 4
or more separate claims payments have been made, with the amount of
each claim exceeding $5,000, and with the cumulative amount of such
claims payments exceeding $20,000, or 2) for which at least 2 separate
claims payments have been made, with the cumulative amount of such
claims exceeding the value of the property. 42 U.S.C. § 4102a(b).
[15] These programs include the Flood Mitigation Assistance Program
(FMA), the Repetitive Flood Claims Program (RFC), and the Severe
Repetitive Loss Program (SRL). Moreover, the Hazard Mitigation Grant
Program (HMGP) and the Pre-Disaster Mitigation Program (PDM) are two
additional hazard mitigation programs that are not specific to
flooding.
[16] RAND, The National Flood Insurance Program's Market Penetration
Rate.
[17] See [hyperlink, http://www.gao.gov/products/GAO-09-420R].
[18] RAND, The National Flood Insurance Program's Market Penetration
Rate.
[19] See [hyperlink, http://www.gao.gov/products/GAO-09-420R].
[20] See [hyperlink, http://www.gao.gov/products/GAO-08-7].
[End of section]
GAO's Mission:
The Government Accountability Office, the audit, evaluation and
investigative arm of Congress, exists to support Congress in meeting
its constitutional responsibilities and to help improve the performance
and accountability of the federal government for the American people.
GAO examines the use of public funds; evaluates federal programs and
policies; and provides analyses, recommendations, and other assistance
to help Congress make informed oversight, policy, and funding
decisions. GAO's commitment to good government is reflected in its core
values of accountability, integrity, and reliability.
Obtaining Copies of GAO Reports and Testimony:
The fastest and easiest way to obtain copies of GAO documents at no
cost is through GAO's Web site [hyperlink, http://www.gao.gov]. Each
weekday, GAO posts newly released reports, testimony, and
correspondence on its Web site. To have GAO e-mail you a list of newly
posted products every afternoon, go to [hyperlink, http://www.gao.gov]
and select "E-mail Updates."
Order by Phone:
The price of each GAO publication reflects GAO‘s actual cost of
production and distribution and depends on the number of pages in the
publication and whether the publication is printed in color or black and
white. Pricing and ordering information is posted on GAO‘s Web site,
[hyperlink, http://www.gao.gov/ordering.htm].
Place orders by calling (202) 512-6000, toll free (866) 801-7077, or
TDD (202) 512-2537.
Orders may be paid for using American Express, Discover Card,
MasterCard, Visa, check, or money order. Call for additional
information.
To Report Fraud, Waste, and Abuse in Federal Programs:
Contact:
Web site: [hyperlink, http://www.gao.gov/fraudnet/fraudnet.htm]:
E-mail: fraudnet@gao.gov:
Automated answering system: (800) 424-5454 or (202) 512-7470:
Congressional Relations:
Ralph Dawn, Managing Director, dawnr@gao.gov:
(202) 512-4400:
U.S. Government Accountability Office:
441 G Street NW, Room 7125:
Washington, D.C. 20548:
Public Affairs:
Chuck Young, Managing Director, youngc1@gao.gov:
(202) 512-4800:
U.S. Government Accountability Office:
441 G Street NW, Room 7149:
Washington, D.C. 20548: