FAA Budget Policies and Practices

Gao ID: GAO-04-841R July 2, 2004

In recent years, Congress has raised concerns about cost growth in the Federal Aviation Administration's (FAA) operating budget. Appropriators noted several expenses in FAA's fiscal year 2004 facilities and equipment (F&E) account budget submission that appeared to be ongoing operating expenses. The House and Senate appropriations subcommittee reports on FAA's fiscal year 2004 budget submission highlighted 17 such budget items and recommended that the expenses for these items either be transferred to the operations budget or not receive funding. As a result of these concerns, the Conference Report accompanying the fiscal year 2004 Omnibus Appropriations Act directed us to conduct an audit of FAA's policies and practices for determining whether an expense should be budgeted in its operating accounts or in the capital account. Specifically, this report addresses the following questions: (1) What are FAA's policies for determining whether an expense--including personnel compensation, benefits, travel, and related expenses--belongs in its capital (F&E) or Operations accounts? (2) How did FAA implement its policies for determining whether 17 specific budget line items identified by appropriators belong in its F&E or Operations accounts, including personnel compensation, benefits, travel, and related expenses? (3) How do FAA's budget policies compare with those of other civilian agencies with large acquisition budgets, such as the National Aeronautics and Space Administration (NASA) and the Department of Defense (DOD)?

In summary, FAA Order 2500.8A contains the agency's policies for assigning budget expenditures to the F&E, Operations, and Research, Engineering, and Development (RE&D) accounts. In reviewing this order, we found that it is outdated and unclear and that the linkages between FAA's policies and the assignment of budget line items to the F&E and Operations accounts are very general. In addition, the order is not structured by organizational objectives (performance goals), as is part of FAA's fiscal year 2004 budget estimate for F&E. This structural difference makes it difficult to compare the F&E portion of the budget submission with FAA's policies. Additionally, the order lacks the level of detail needed for both FAA officials and appropriators to easily distinguish between F&E (capital) and Operations expenditures. The order also does not reflect FAA's current process for acquiring goods and services (acquisition management), which influences whether an expenditure for a project is categorized as an F&E or an Operations expense. According to our analysis, while FAA's policies for categorizing expenses are very broad and give the agency wide latitude, FAA followed the policies outlined in its 1993 order for the majority of the 17 budget line items identified by the appropriators in FAA's fiscal year 2004 budget submission. FAA concurred with the appropriators that 5 of these budget line items should have been categorized as Operations expenses and said that it would restructure the items in its next budget submission; however, the agency maintained that the remaining 12 items were appropriately categorized as F&E expenses and cited specific agency policies to support the items' placement there. Although FAA's policies for assigning budget line items to the F&E and Operations accounts are very general, our analysis generally supported FAA's categorizations. FAA's budget policies cannot readily be compared with those of NASA and DOD. While the policies of all three agencies use similar budgetary language, the policies cannot be compared in detail because the agencies use different budgetary approaches. Each agency independently developed its own budget format in response to the current administration's direction that federal agencies develop performance-based budgets.

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: Jayetta Hecker Team: Government Accountability Office: Physical Infrastructure Phone: (202) 512-8984


GAO-04-841R, FAA Budget Policies and Practices This is the accessible text file for GAO report number GAO-04-841R entitled 'FAA Budget Policies and Practices' which was released on July 02, 2004. This text file was formatted by the U.S. General Accounting 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. Washington, DC 20548: United States General Accounting Office: July 2, 2004: The Honorable Richard C. Shelby: Chairman: The Honorable Patty Murray: Ranking Minority Member: Subcommittee on Transportation/Treasury and General Government: Committee on Appropriations: United States Senate: The Honorable Ernest J. Istook: Chairman: The Honorable John W. Olver: Ranking Minority Member: Subcommittee on Transportation and Treasury, and Independent Agencies: Committee on Appropriations: House of Representatives: Subject: FAA Budget Policies and Practices: In recent years, Congress has raised concerns about cost growth in the Federal Aviation Administration's (FAA) operating budget. Appropriators noted several expenses in FAA's fiscal year 2004 facilities and equipment (F&E) account--the account used by FAA for much of its capital purchases--budget submission that appeared to be ongoing operating expenses. The House and Senate appropriations subcommittee reports on FAA's fiscal year 2004 budget submission highlighted 17 such budget items and recommended that the expenses for these items either be transferred to the operations budget or not receive funding. As a result of these concerns, Congress directed us to conduct an audit of FAA's policies and practices for determining whether an expense should be budgeted in its operating accounts or in the capital account. Specifically, this report addresses the following questions: (1) What are FAA's policies for determining whether an expense--including personnel compensation, benefits, travel, and related expenses-- belongs in its capital (F&E) or Operations accounts? (2) How did FAA implement its policies for determining whether 17 specific budget line items identified by appropriators belong in its F&E or Operations accounts, including personnel compensation, benefits, travel, and related expenses? (3) How do FAA's budget policies compare with those of other civilian agencies with large acquisition budgets, such as the National Aeronautics and Space Administration (NASA) and the Department of Defense (DOD)? To identify FAA's policies for deciding whether an expense belongs in its capital[Footnote 1] (F&E) or operations accounts, we reviewed FAA Order 2500.8A, [Footnote 2] which contains the agency's policies for making these decisions. We also interviewed FAA officials responsible for preparing FAA's budget submission. To determine how FAA implemented its policies for the 17 budget line items at issue for the appropriators, we compared FAA's policies for assigning budget line items to the F&E and Operations accounts with FAA's implementation of those policies in its fiscal year 2004 budget submission. We also interviewed the FAA officials responsible for preparing each of the 17 budget line items and reviewed the supplemental documentation they provided to explain FAA's placement of the 17 line items in the F&E account. To compare FAA's policies for categorizing budget line items with those of NASA and DOD, we obtained comparable policy documents from NASA and DOD and met with officials of both agencies responsible for preparing budget submissions to clarify their agencies' policies and obtain the information needed to draw accurate comparisons. We then compared the three agencies' policies. We also compared FAA's, NASA's, and DOD's processes for preparing budget estimates and their communication with appropriations committee staff. Our review did not assess any FAA budget line items other than the 17 identified above, nor did it address cost growth issues, the purpose of or funding for any of the 17 budget line items or their subcomponents, the accuracy of FAA's budget estimates, or NASA's and DOD's approach to developing performance-based budgets. We determined that the budget data we reviewed were sufficiently reliable for our purposes. We performed our work from February through June 2004 in accordance with generally accepted government auditing standards. This report summarizes the information we provided to your staff on May 14, 2004. The briefing slides, which provide more details about our analysis, are attached as enclosure I. Background: For fiscal year 2004, FAA submitted budget requests for four appropriations accounts: F&E; Operations; Research, Engineering, and Development (RE&D); and the Airport Improvement Program (AIP). FAA's budget authority for fiscal year 2004 was $13.9 billion. In preparing this budget submission, FAA officials used FAA Order 2500.8A (Apr. 9, 1993), which defines three of the appropriations accounts, including the F&E (capital) account, and identifies the costs that are to be budgeted in each. House and Senate appropriations committee staff approved the order before it was implemented. Summary: In summary, we found the following: FAA Order 2500.8A contains the agency's policies for assigning budget expenditures to the F&E, Operations, and RE&D accounts. In reviewing this order, we found that it is outdated and unclear and that the linkages between FAA's policies and the assignment of budget line items to the F&E and Operations accounts are very general. For example, it was not always possible to use this order to distinguish between F&E programs that allow FAA to modernize or add new capabilities and maintenance programs (Operations) that allow FAA to maintain current capabilities (e.g., when a system designed to modernize the national airspace system is deployed at specific locations and the cost for operating systems at these locations is "handed off," or moved, to the Operations account). In addition, the order is not structured by organizational objectives (performance goals), as is part of FAA's fiscal year 2004 budget estimate for F&E. This structural difference makes it difficult to compare the F&E portion of the budget submission with FAA's policies. Additionally, the order lacks the level of detail needed for both FAA officials and appropriators to easily distinguish between F&E (capital) and Operations expenditures. The order also does not reflect FAA's current process for acquiring goods and services (acquisition management), which influences whether an expenditure for a project is categorized as an F&E or an Operations expense. Because FAA contended that some of its problems with modernizing the air traffic control system were caused by federal acquisition regulations, Congress exempted FAA in November 1995 from most federal procurement laws and regulations and directed FAA to develop a new acquisition management system. FAA Order 2500.8A includes an outdated appendix on the agency's process for acquiring major systems, which reflects the process FAA used before implementing its new acquisition management system in 1996. According to our analysis, while FAA's policies for categorizing expenses are very broad and give the agency wide latitude, FAA followed the policies outlined in its 1993 order for the majority of the 17 budget line items identified by the appropriators in FAA's fiscal year 2004 budget submission. FAA concurred with the appropriators that 5 of these budget line items should have been categorized as Operations expenses and said that it would restructure the items in its next budget submission; however, the agency maintained that the remaining 12 items were appropriately categorized as F&E expenses and cited specific agency policies to support the items' placement there. Although FAA's policies for assigning budget line items to the F&E and Operations accounts are very general, our analysis generally supported FAA's categorizations. For four of the five budget line items that FAA concurred with appropriators should have been categorized as Operations expenses and would be restructured in its next budget submission, we found that their placement in the F&E account in the 2004 budget submission was generally consistent with the budget policies set forth in Order 2500.8A. However, we found that FAA's policies were particularly unclear for 1 of these items and determined that this item could be budgeted out of either the F&E or the Operations account. FAA's placement of the remaining 12 budget line items in the F&E account appears to be consistent with Order 2500.8A. FAA's budget submission alone did not adequately explain why these line items, which were relatively new requests for funding, should be categorized as F&E rather than Operations expenses. However, after examining additional FAA documents and receiving explanations from agency officials, we found that the placement of these items in the F&E budget account follows FAA's policies. FAA has not requested funding for (has "zeroed out") these 12 budget line items in its fiscal year 2005 budget estimates, pending clarification from appropriations committee staff. FAA's budget policies cannot readily be compared with those of NASA and DOD. While the policies of all three agencies use similar budgetary language, the policies cannot be compared in detail because the agencies use different budgetary approaches. Each agency independently developed its own budget format in response to the current administration's direction that federal agencies develop performance- based budgets. NASA adopted a new budget format and revised its budget policies accordingly. While NASA officials noted value in this approach for management purposes, we have found that for some decision-making, it could be useful for federal agencies to make meaningful distinctions between capital investments and operating expenses in their budgets. However, under some approaches to performance-based budgeting, this distinction may be lost. Before fiscal year 2003, FAA's F&E budget justification was generally aligned with FAA Order 2500.8A and included activities such as "Procurement and Modernization of Air Traffic Control Facilities and Equipment." In fiscal year 2003, FAA revised its F&E budget justification largely to reflect organizational objectives (performance goals) such as "Improve Efficiency of the Air Traffic Control System." However, FAA did not revise its budget policies to link them to the new objectives. This makes it difficult to determine whether the placement of items in the F&E account is consistent with the budget policies. FAA officials did not discuss this revision with appropriations committee staff before or during their move toward a performance-based budget; however, according to a senior Department of Transportation official, the department has conducted outreach with appropriations staff to gain their acceptance of the principles of performance-based budgeting. NASA submitted a budget request for three appropriations accounts: Science Aeronautics and Exploration, Space Flight Capabilities, and Inspector General, and NASA's budget authority for fiscal year 2004 was $15.4 billion. NASA relies on a "full-cost"[Footnote 3] budgeting methodology to identify costs associated with programs and developed its first "full-cost" budget for fiscal year 2004. "Full-cost" budgeting led to changes in both NASA's budget policies and presentation of capital costs in its budget justification. This approach does not identify capital costs as a separate or distinct category of costs to be reported within a program area in the budget. NASA rolls up all of its capital costs with other costs to illustrate to appropriators how much it intends to spend in its program areas. NASA integrates its strategic plan and performance information into its budget justifications to illustrate how much it intends to spend to achieve its objectives. Before transitioning to "full-cost" budgeting, NASA met with appropriations committee staff to discuss how "full-cost" budgeting would change its budget justifications. As a result of these discussions, a senior NASA official told us that the agency continues to provide certain kinds of information that appropriations committee staff said they did not want to lose in the transition to "full-cost" budgeting. DOD has many appropriations accounts, and its budget authority for fiscal year 2004 was $441.4 billion. Each service has accounts for personnel; operations and maintenance; research, development, test, and evaluation (RDT&E); procurement; military construction, and family housing; and base realignments and closures (BRAC). Certain appropriations accounts report only investments[Footnote 4] ("capital expenses"), and others report a mix of both operating and capital investment costs. For example, the procurement and military construction appropriations accounts are used solely for investments ("capital" expenses). The RDT&E and BRAC appropriations accounts are used both for investments ("capital" expenses) and operating expenses. DOD also uses a unit cost dollar threshold of $250,000 to define operating and capital investment costs. Costs up to $250,000 are operating expenses, and costs equal to or greater than a unit cost of $250,000 are investment ("capital") expenses. DOD's effort to link performance with budget resources is ongoing, and DOD is implementing a framework for establishing department-level performance goals and measures and tracking results. DOD has also linked some resources with metrics for tracking results in broad program areas (e.g., air combat, airlift, and basic research) in the fiscal year 2004 budget and plans to expand such linkages over the next few budget cycles. DOD's approach has not affected either its investment ("capital") budget policies or its presentation of investment costs or operating expenses in its budget justification. Conclusions: The budget policies reflected in FAA's 1993 order have not kept pace with FAA's recent move to a performance-based budget for its F&E account and do not reflect the agency's current (1996) acquisition management system. As a result, the F&E portion of FAA's budget submission is hard to follow because its performance-based format does not track with the agency's budget policies, some of which are ambiguous. Without any communication from FAA officials to explain the changes they have made as part of their move toward performance-based budgeting, committee appropriations staff have had difficulty (1) distinguishing clearly between F&E and Operations expenses, (2) determining when a program in a budget line item is intended to modernize an existing capability or maintain it, and (3) tracking budget line items when they are moved from the F&E to the Operations account (e.g., when a system designed to modernize the national airspace system is deployed at specific locations and the cost for operating systems at these locations is "handed off," or moved, to the Operations account). Communicating with appropriations committee staff, as NASA officials did when they shifted to performance-based budgeting, would allow FAA officials to clarify their actions, determine the types of information the committees need to make funding decisions, and help ensure that this information is not lost in the transition to this new budget format. Recommendations: We recommend that the Secretary of Transportation direct the FAA Administrator to take the following three actions to clarify FAA's rationale for allocating budget expenditures between its F&E and Operations budget accounts: Update FAA Order 2500.8A in consultation with appropriations committee staff. * Clearly distinguish in the revised order between maintenance programs (Operations) that allow FAA to maintain current capabilities and F&E programs that allow FAA to modernize or add new capabilities. * Revise FAA's budget practices to make it easier for appropriators to track funding when the agency moves funds for individual budget line items from one budget account to another. Agency Comments: We provided a draft of this report to the Department of Transportation (DOT), FAA, NASA, and DOD for their review and comment. DOT, FAA, and DOD provided oral comments, stating that they had no comments on the report. NASA provided technical comments, which can be found in Enclosure III. NASA had three comments. First, NASA stated that while the GAO report accurately states that, "NASA relies on a 'full-cost' budgeting methodology to identify costs associated with programs and developed its first 'full-cost' budget for fiscal year 2004," the statement that "'Full-cost' budgeting led to changes in both NASA's capital budget policies and presentation of capital costs," is potentially misleading and should be changed. NASA has not had a distinct set of separate capital budgeting procedures, therefore, the word 'capital" should be removed when referring to NASA's budget policies. At one time, NASA did have a separate 'mission support' appropriation that covered such institutional infrastructure items as civil service personnel salaries, construction of facilities, and research operation support. However, the mission support appropriation still included a mix of institutional resources, some of which supported development efforts and are included presently in the full cost of development programs." As requested, we deleted the term "capital" in reference to NASA's budgeting policies in the final report and placed a note on the corresponding briefing slide in Enclosure I. For the second comment regarding NASA's use of performance-based ("full-cost") budgeting, we acknowledge that NASA has found value in using this approach for management purposes; however, it is GAO's position that it could be useful for federal agencies to make meaningful distinctions between capital investments and operating expenses in their budgets because under some approaches to performance budgeting, this distinction may be lost. We incorporated NASA's position into our letter and placed a note on the corresponding briefing slide in Enclosure I. Finally, we added a note to the appropriate briefing slide in Enclosure I to reflect NASA's third comment that it reviewed its "full-cost" practices and its overall budget formulation process in 2003. We are sending copies of this report to the House Committee on Appropriations, Subcommittee on Transportation, Treasury, and Independent Agencies; the Senate Committee on Appropriations, Subcommittee on Transportation/Treasury and General Government; the Secretary of Transportation; and the FAA Administrator. We will also make copies available to others upon request. In addition, the report will be available at no charge on GAO's Web site at http://www.gao.gov. If you or your staff have any questions about this report, please call me at heckerj@gao.gov or at (202) 512-2834. Individuals making key contributions to this report are listed in enclosure IV. Sincerely yours, Signed by: JayEtta Z. Hecker: Director, Physical Infrastructure Team: Enclosures - 4: Enclosure I: FAA Budget Policies and Practices: [See PDF for image] [End of slide presentation] [End of section] Enclosure II: Briefing Appendix II: FAA Budget Mandate Matrix: [See PDF for image] Note: Items # 1-6 are from the House of Representatives 108-243: Departments of Transportation and Treasury and Independent Agencies Appropriations Bill, 2004 Items #7 - 18[Footnote 5] are from the Senate 108-146: Transportation, Treasury and General Government Appropriations Bill, 2004 [FAA contact: Carol Burrus, Manager, Capital Division, ABU-300 (202) 267-9025] [End of table] [End of section] Enclosure III: Comments from the National Aeronautics and Space Administration: National Aeronautics and Space Administration: Office of the Administrator Washington, DC 20546-0001: June 24, 2004: Ms. JayEtta Hecker Director: Physical Infrastructure Issues: United States General Accounting Office: Washington, DC 20548: Dear Ms. Hecker: Thank you for the opportunity to comment on the draft General Accounting Office (GAO) report entitled, Federal Aviation Administration (FAA) Budget Policies and Practices (Report Number GAO- 04-841R). While the focus of the GAO report is on FAA, there is still some information in the report regarding NASA that could be misleading, and I request that it be clarified. The details of those clarifications are provided in the enclosure. Questions may be forwarded to Dr. Richard Beck, Director, Resources Management Division, Office of the Chief Financial Officer, at (202) 358-2240. Cordially, Signed by: Frederick D. Gregory: Deputy Administrator: Enclosure: cc: ADI/Mr. Jennings: G/Mr. Pastorek: L/Mr. Forsgren: O/Mr. Sutton: O/Mr. Roberts: NASA comments on draft report entitled "FAA Budget Policies and Practices" (GAO Code 540091, Report Number GAO-04-841R): While the GAO report accurately states that, "NASA relies on a 'full- cost' budgeting methodology to identify costs associated with programs and developed its first 'full-cost' budget for fiscal year 2004," the statement that, "'Full-cost' budgeting led to changes in both NASA's capital budget policies and presentation of capital costs," is potentially misleading and should be changed. NASA has not had a distinct set of separate capital budgeting procedures, therefore, the word "capital" should be removed when referring to NASA's budget policies. At one time, NASA did have a separate "mission support" appropriation that covered such institutional infrastructure items as civil service personnel salaries, construction of facilities, and research operation support. However, the mission support appropriation still included a mix of institutional resources, some of which supported development efforts and are included presently in the full cost of development programs. Therefore, references to NASA having previous separate capital budgeting procedures should be deleted from page 4 in the draft and page 31 in enclosure 1. In adopting its full-cost budgeting practices, NASA focuses on trying to ensure that the appropriate levels of institutional infrastructure relate directly to the need of each program activity. In this manner, the institutional infrastructure can be planned in direct context of the needs of each program that contributes to achieving the Agency's strategic plan objectives. Budgeting for NASA programs through separate capital and operating accounts would not be compatible with the conduct of NASA's type of program activities and could lead to possible disconnects and/or suboptimized planning for a program when its funds are separated across two appropriation accounts that are treated almost as two distinct entities. Since there are particular benefits to budgeting in this manner for NASA, it would be appreciated if the GAO report recognized the potential value of this full-cost approach in NASA's case instead of implying that NASA's budgeting is simply different and could possibly be benefited by having separate capital and operations appropriations accounts on page 4 and page 27 in enclosure 1. I would also ask that the reference to NASA's budget policies being 5 years old, on page 25 in enclosure 1, be updated to include the review that we had in 2003 of the Agency's full-cost practices and its overall budget formulation process in 2003. Enclosure: [End of section] GAO Contacts and Staff Acknowledgements: GAO Contacts: JayEtta Z. Hecker (202) 512-2834: Beverly Norwood (202) 512-2834: Acknowledgments: In addition to the individuals named above, Christine Bonham, Donna Byers, Carol Campbell, Carlos Diz, Elizabeth Eisenstadt, Tom Gordon, David Hooper, Laura Durland, Edda Emmanuelli-Perez, Samantha Goodman, Thomas Hopp, Jerry Herley, Eric Mader, Maren McAvoy, and John Warren made key contributions to this report. (544090): FOOTNOTES [1] While there are accounting definitions for capital expenses, these definitions are used for entirely different purposes than the definitions of capital expenses used by federal agencies in preparing their annual budgets. Specifically, federal accounting standards promulgated by the Federal Accounting Standards Advisory Board define property, plant, and equipment and establish their accounting, including capitalization. For budgeting purposes, capital assets are defined in OMB Circular A-11 and may differ from accounting. For example, capital assets as defined in A-11 may or may not be capitalized (recorded in an entity's balance sheet) under federal accounting standards. [2] Federal Aviation Administration, Funding Criteria for Operations, Facilities and Equipment (F&E), and Research, Engineering and Development (R,E&D) Accounts, 2500.8A (April 9, 1993). [3] NASA's "full-cost" definition does not include costs that the federal government does not currently include in the budget, such as accruing retiree health benefits. [4] DOD's capital costs are referred to as investments and are roughly comparable to FAA's F&E expenses. [5] "Controlling FAA's Operating Costs" (#6) was originally pulled from the committee report but is not within the scope of this review. However, we did not want to complicate the numbering system by withdrawing it.

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