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United States Government Accountability Office:

For Release on Delivery:

Expected at:

10 a.m. EDT on Thursday,

April 21, 2005:

GAO:

Testimony:

Before the Committee on Government Reform,

House of Representatives:

GAO-05-571T:

Information Technology:

OMB Can More Effectively Use Its Investment Reviews:

Statement of David A. Powner,

Director, Information Technology:

Management Issues:

GAO Highlights:

Highlights of GAO-05-571T, a testimony before the Committee on 
Government Reform, House of Representatives.

Why GAO Did This Study:

Federal spending on information technology (IT) is over $60 billion 
this year and is expected to continue to rise. Accordingly, it is 
essential that federal IT investments are managed efficiently. Of the 
1,200 major IT projects in the President’s Budget for Fiscal Year 2005, 
OMB stated that it had placed about half—621 projects, representing 
about $22 billion—on a Management Watch List to focus attention on 
mission-critical IT investments that need management improvements.

GAO was asked to testify on the findings and recommendations made in a 
report that it recently completed (GAO-05-276), which describes and 
assesses OMB’s processes for (1) placing projects on its Management 
Watch List and (2) following up on corrective actions established for 
projects on the list.

What GAO Found:

For the fiscal year 2005 budget, OMB developed processes and criteria 
for including investments on its Management Watch List. In doing so, it 
identified opportunities to strengthen investments and promote 
improvements in IT management. However, it did not develop a single, 
aggregate list identifying the projects and their weaknesses. Instead, 
OMB officials told GAO that to identify projects with weaknesses, 
individual analysts used scoring criteria that the office established 
for evaluating the justifications for funding that federal agencies 
submit for major projects. These analysts, each of whom is typically 
responsible for several federal agencies, were then responsible for 
maintaining information on these projects. To derive the total number 
of projects on the list for fiscal year 2005, the office polled its 
individual analysts and compiled the result. However, OMB officials 
told GAO that because they did not see such an activity as necessary, 
they did not compile a single list. Accordingly, OMB has not fully 
exploited the opportunity to use its watch list as a tool for analyzing 
IT investments on a governmentwide basis.

OMB asked agencies to take corrective actions to address weaknesses 
associated with projects on the Management Watch List, but it did not 
develop a structured, consistent process for deciding how to monitor 
agency corrective actions. According to OMB officials, decisions on 
monitoring of progress were typically made by the staff with 
responsibility for reviewing individual agency budget submissions, 
depending on the staff’s insights into agency operations and 
objectives. Because it did not consistently require or monitor agency 
follow-up activities, OMB did not know whether the project risks that 
it identified through its Management Watch List were being managed 
effectively, potentially leaving resources at risk of being committed 
to poorly planned and managed projects. In addition, because it did not 
consistently monitor the follow-up performed on projects on the 
Management Watch List, OMB could not readily tell GAO which of the 621 
projects received follow-up attention. 

To help enable OMB to take advantage of the potential benefits of using 
the Management Watch List as a tool for analyzing and following up on 
investments, GAO’s report included recommendations that OMB develop a 
single, aggregate Management Watch List and that it develop and use 
criteria for prioritizing and monitoring the projects on the list. GAO 
also recommended that the office use the prioritized list for reporting 
to the Congress as part of its statutory reporting responsibilities. In 
commenting on a draft of this report, OMB did not agree that the 
aggregated governmentwide list recommended by GAO is necessary for 
adequate oversight and management. However, GAO continues to believe 
that an aggregated Management Watch List would contribute to OMB’s 
ability to analyze IT investments governmentwide and track progress in 
addressing deficiencies.

[Hyperlink, http://www.gao.gov/cgi-bin/getrpt?GAO-05-571T].

To view the full product, including the scope
and methodology, click on the link above.
For more information, contact David Powner at (202) 512-9286 or 
pownerd@gao.gov.

[End of Section]

Mr. Chairman and Members of the Committee:

Thank you for the opportunity to participate in the Committee's hearing 
on processes that the Office of Management and Budget (OMB) has 
developed as part of its efforts to identify and follow up on 
information technology (IT) projects that need management improvements.

As you know, the President's Budget for Fiscal Year 2005 requested over 
$60 billion to fund IT, and that figure is expected to rise throughout 
the rest of the decade. OMB stated that of the nearly 1,200 major IT 
projects in the fiscal year 2005 budget, it had placed about half--621 
projects, representing about $22 billion--on its Management Watch List. 
For fiscal year 2006, 342 of 1,087 IT projects (representing about $15 
billion) were placed on the watch list.

At your request, we performed a review of OMB's processes for (1) 
placing projects on its Management Watch List and (2) following up on 
corrective actions established for projects on the list. Today I am 
summarizing the findings and recommendations of that report, which is 
being released today.[Footnote 1]

Results in Brief:

For the fiscal year 2005 budget, OMB developed processes and criteria 
for including IT projects (investments) on its Management Watch List. 
In doing so, it identified opportunities to strengthen investments and 
promote improvements in IT management. However, OMB did not develop a 
single, aggregate list identifying the projects and their weaknesses. 
Instead, according to OMB officials, individual OMB analysts assigned 
scores to the justifications for funding (known as exhibit 300s) that 
are submitted by federal agencies. (These scores were based on criteria 
established in the office's Circular A-11.) OMB delegated individual 
analysts on its staff, each of whom is typically assigned 
responsibility for several federal agencies, with maintaining, for 
their respective agencies, information for the IT projects included on 
the list. To derive the total number of projects on the list that OMB 
reported (621 for fiscal year 2005), OMB polled its individual analysts 
and compiled the numbers. According to OMB officials, they did not 
construct a single list of projects meeting their watch list criteria 
because they did not see such an activity as necessary for performing 
OMB's predominant mission: to assist in overseeing the preparation of 
the federal budget and to supervise agency budget administration. Thus, 
OMB did not exploit the opportunity to use the list as a tool for 
analyzing IT investments on a governmentwide basis, limiting its 
ability to identify and report on the full set of IT investments 
requiring corrective actions.

OMB asked agencies to take corrective actions to address weaknesses 
associated with projects on the Management Watch List, but it did not 
develop a structured, consistent process for deciding how to follow up 
on these actions. According to OMB officials, decisions on follow-up 
and monitoring of specific projects were typically made by the OMB 
staff with responsibility for reviewing individual agency budget 
submissions, depending on the staff's insights into agency operations 
and objectives. Because it did not consistently monitor the follow-up 
performed, OMB could not tell us which of the 621 projects identified 
on the fiscal year 2005 list received follow-up attention, and it did 
not know whether the specific project risks that it identified through 
its Management Watch List were being managed effectively. This approach 
could leave resources at risk of being committed to poorly planned and 
managed projects. Thus, OMB was not using its Management Watch List as 
a tool for improving IT investments on a governmentwide basis and 
focusing attention where it was most needed.

To enable OMB to take advantage of the potential benefits of using the 
Management Watch List as a tool for analyzing and following up on IT 
investments, we recommended in our report that OMB develop a single, 
aggregate Management Watch List, and that it develop and use criteria 
for prioritizing and monitoring the projects on the list. We also 
recommended that the office use the prioritized list for reporting to 
the Congress as part of its statutory reporting responsibilities. In 
commenting on a draft of this report, OMB did not agree that the 
aggregated governmentwide list recommended by GAO is necessary for 
adequate oversight and management. However, GAO continues to believe 
that an aggregated Management Watch List would contribute to OMB's 
ability to analyze IT investments governmentwide and track progress in 
addressing deficiencies.

Background:

The President's Budget for Fiscal Year 2005 identified approximately 
$60 billion for IT projects. In that budget, OMB stated that, of 
approximately 1,200 major IT projects, about half--621 projects, 
representing about $22 billion--were on a Management Watch List. In 
testimony in March 2004,[Footnote 2] OMB officials explained that the 
fiscal year 2005 budget process required agencies to successfully 
correct project weaknesses and business case deficiencies of projects 
on the Management Watch List; otherwise, OMB would limit agencies' 
spending on new starts and other developmental activities.

In the most recent budget, that for fiscal year 2006, OMB continued its 
use of a Management Watch List. This budget includes 1,087 IT projects, 
totaling about $65 billion. Of this total, 342 projects, representing 
about $15 billion, are on the Management Watch List. The budget also 
stated that projects on the Management Watch List had to address 
performance, security, or other related issues before funding would be 
obligated in fiscal year 2006.

According to OMB officials, the office identifies projects for the 
Management Watch List through their evaluation of justifications for 
funding that agencies submit for major IT projects as part of the 
budget development process. This evaluation is carried out as part of 
OMB's predominant mission: to assist the President in overseeing the 
preparation of the federal budget and to supervise budget 
administration in executive branch agencies. OMB is also responsible 
for evaluating the effectiveness of agency programs, policies, and 
procedures; assessing competing funding demands among agencies; and 
setting funding priorities. Finally, OMB is responsible for overseeing 
and coordinating the administration's policies regarding procurement, 
financial management, information, and regulations. In each of these 
three areas of responsibility, OMB's role is to help improve 
administrative management, to develop better performance measures and 
coordinating mechanisms, and to reduce unnecessary burden on the public.

To drive improvement in the implementation and management of IT 
projects, the Congress enacted the Clinger-Cohen Act in 1996, which 
expanded the responsibilities of the agencies and OMB under the 
Paperwork Reduction Act.[Footnote 3] Under the act, agencies are 
required to engage in capital planning and performance-and results-
based management. OMB is required to establish processes to analyze, 
track, and evaluate the risks and results of major capital investments 
in information systems made by executive agencies. OMB is also required 
to report to the Congress on the net program performance benefits 
achieved as a result of major capital investments in information 
systems that are made by executive agencies.[Footnote 4]

In response to the Clinger-Cohen Act and other statutes, OMB developed 
section 300 of Circular A-11. This section provides policy for 
planning, budgeting, acquisition, and management of federal capital 
assets and instructs agencies on budget justification and reporting 
requirements for major IT investments.[Footnote 5] Section 300 defines 
the budget exhibit 300 as a document that agencies submit to OMB to 
justify resource requests for major IT investments. This reporting 
mechanism (part of the budget formulation and review process) is 
intended to enable an agency to demonstrate to its own management, as 
well as to OMB, that it has employed the disciplines of good project 
management; developed a strong business case for the investment; and 
met other Administration priorities in defining the cost, schedule, and 
performance goals proposed for the investment. The exhibit 300 includes 
information that is intended, among other things, to help OMB and the 
agencies identify and correct poorly planned or performing investments 
(i.e., investments that are behind schedule, over budget, or not 
delivering expected results) and real or potential systemic weaknesses 
in federal information resource management (e.g., project manager 
qualifications).

According to OMB's description of its processes, agencies' exhibit 300 
business cases are reviewed by OMB analysts from its four statutory 
offices--the Offices of E-Government and Information Technology (e-
Gov), Information and Regulatory Affairs (OIRA), Federal Financial 
Management, and Federal Procurement Policy--and its Resource Management 
Offices (RMO). Within OIRA, each of about 12 analysts is responsible 
for overseeing IT projects for a specific agency or (more commonly) 
several agencies. According to OMB officials, the OIRA and e-Gov 
analysts, along with RMO program examiners, evaluate and score agency 
exhibit 300 business cases as part of the development of the 
President's Budget. The results of this review are provided to agencies 
through what is called the "passback" process. That is, OMB passes the 
requests back to agencies with its evaluation, which identifies any 
areas requiring remediation.

The integrity of this review process presupposes that the exhibit 300s 
are accurate. In response to a request from this committee, we are 
currently reviewing the quality of the information that underlies 
exhibit 300s at several agencies. We will be reporting on this work in 
the fall of this year.

OMB Established Processes and Criteria for Identifying Weak Projects, 
but It Did Not Use an Aggregate List to Perform Its Analysis or 
Oversight:

According to OMB officials, including the Deputy Administrator of OIRA 
and the Chief of the Information Technology and Policy Branch, OMB 
staff identified projects for the Management Watch List through their 
evaluation of the exhibit 300s that agencies submit for major IT 
projects as part of the budget development process. The OMB officials 
added that the scoring of agency exhibit 300s is based on guidance in 
OMB Circular A-11[Footnote 6] that is intended to ensure that agency 
planning and management of capital assets are consistent with OMB 
policy and guidance.

As described in Circular A-11, the scoring of a business case consists 
of individual scoring for 10 categories, as well as a total composite 
score of all the categories. (Examples of these 10 categories are 
performance goals, security and privacy, performance-based management 
system--including the earned value management system[Footnote 7]--and 
support of the President's Management Agenda.) According to Circular A-
11, scores range from 1 to 5, with 5 indicating investments whose 
business cases provided the best justification and 1 the least.

OMB officials said that, for fiscal year 2005, an IT project was placed 
on the Management Watch List if its exhibit 300 business case received 
a total composite score of 3 or less, or if it received a score of 3 or 
less in the areas of performance goals, performance-based management 
systems, or security and privacy, even if its overall score was a 4 or 
5. OMB reported that agencies with weaknesses in these three areas were 
to submit remediation plans addressing the weaknesses.

According to OMB management, individual analysts were responsible for 
evaluating projects and determining which projects met the criteria to 
be on the Management Watch List for their assigned agencies. To derive 
the total number of projects on the list that were reported for fiscal 
year 2005, OMB polled the individual analysts and compiled the numbers.

OMB officials said that they did not aggregate these projects into a 
single list describing projects and their weaknesses, because they did 
not see such an activity as necessary in performing OMB's predominant 
mission. Further, OMB officials stated that the limited number of 
analysts involved enabled them to explore governmentwide issues using 
ad hoc queries and to develop approaches to address systemic problems 
without the use of an aggregate list. They pointed at successes in 
improving IT management, such as better compliance with security 
requirements, as examples of the effectiveness of their current 
approach.

Nevertheless, OMB has not fully exploited the opportunity to use its 
Management Watch List as a tool for analyzing IT investments on a 
governmentwide basis. According to the Clinger-Cohen Act, OMB is 
required to establish processes to analyze, track, and evaluate the 
risks and results of major IT capital investments made by executive 
agencies, which aggregation of the Management Watch List would 
facilitate. Without aggregation, OMB's ability to conduct 
governmentwide analysis is limited, since no governmentwide dataset 
exists--only a set of subordinate datasets in the hands of individual 
analysts. In addition, each time an up-to-date report is required, OMB 
must query all its analysts to assemble an aggregate response; thus, 
the office cannot efficiently identify, analyze, and report on the full 
set of IT investments requiring corrective actions.

OMB's Monitoring of Projects Was Inconsistent, and Agency Follow-up 
Activities Were Not Tracked Centrally:

OMB asked agencies to take corrective actions to address weaknesses 
associated with projects on the Management Watch List, but it did not 
develop a structured, consistent process or criteria for deciding how 
to follow up on these actions. Instead, OMB officials, including the 
Deputy Administrator of OIRA and the Chief of the Information 
Technology and Policy Branch, said that the decision on whether and how 
to follow up on a specific project was typically made jointly between 
the OIRA analyst and the RMO program examiner who had responsibility 
for the individual agency, and that follow-up on specific projects was 
driven by a number of factors, only one of which was inclusion on the 
Management Watch List. According to these officials, those Management 
Watch List projects that did receive specific follow-up attention 
received feedback through the passback process, through targeted 
evaluation of remediation plans designed to address weaknesses, and 
through the apportioning of funds so that the use of budgeted dollars 
was conditional on appropriate remediation plans being in 
place.[Footnote 8]

These officials also said that follow-up of some Management Watch List 
projects was done through quarterly e-Gov Scorecards; these are reports 
that use a red/yellow/green scoring system to illustrate the results of 
OMB's evaluation of the agencies' implementation of e-government 
criteria in the President's Management Agenda. OMB determines the 
scores in quarterly reviews, in which it evaluates agency progress 
toward agreed-upon goals along several dimensions. The e-gov scores are 
part of the input to the quarterly reporting on the President's 
Management Agenda.

OMB officials also stated that those Management Watch List projects 
that did receive follow-up attention were not tracked centrally, but 
only by the individual OMB analysts. Accordingly, OMB could not readily 
tell us which of the 621 watch list projects for fiscal year 2005 were 
followed up on, nor could it use the list to describe the relationship 
between its follow-up activities and the changes in the numbers of 
projects on the watch list between fiscal year 2005 (621 projects) and 
fiscal year 2006 (342 projects).

OMB does not have specific criteria for prioritizing follow-up on 
Management Watch List projects. Without specific criteria, OMB staff 
may be agreeing to commit resources to follow up on projects that did 
not represent OMB's top priorities from a governmentwide perspective. 
For example, inconsistent attention to OMB priorities, such as earned 
value management, could undermine the objectives that OMB set in these 
areas. In addition, major projects with significant management 
deficiencies may have continued to absorb critical agency resources.

In order for OMB management to have assurance that IT program 
deficiencies are addressed, it is critical that corrective actions 
associated with Management Watch List projects be monitored. Such 
monitoring is instrumental in ensuring that agencies address and 
resolve weaknesses found in exhibit 300s, which may indicate underlying 
weaknesses in project planning or management. Tracking agency follow-up 
activities is essential to enabling OMB to determine progress on both 
specific projects and governmentwide trends. Without tracking specific 
follow-up activities, OMB could not readily ascertain whether the risks 
that it identified through its Management Watch List were being managed 
effectively; if they were not, funds were potentially being spent on 
poorly planned and managed projects.

In summary, OMB's scoring of agency IT budget submissions and 
identification of weaknesses has resulted in opportunities to 
strengthen investments. However, the office has not taken the next 
step--to develop a single, aggregate list identifying the projects and 
their weaknesses--and it has not developed a structured, consistent 
process for deciding how to follow up on corrective actions. OMB's 
approach does not fully exploit the insights developed through the 
scoring process, and it may leave unattended weak projects consuming 
significant budget dollars. Developing an aggregated list would help 
OMB to realize more fully the potential benefits of using the 
Management Watch List as a tool for monitoring and analyzing IT 
investments governmentwide. Accordingly, in our report we recommended 
that the Director of OMB take the following four actions:

* Develop a central list of projects and their deficiencies.

* Use the list as the basis for selecting projects for follow-up and 
for tracking follow-up activities;

* to guide follow-up, develop specific criteria for prioritizing the IT 
projects included on the list, taking into consideration such factors 
as the relative potential financial and program benefits of these IT 
projects, as well as potential risks.

* Analyze the prioritized list to develop governmentwide and agency 
assessments of the progress and risks of IT investments, identifying 
opportunities for continued improvement.

* Report to the Congress on progress made in addressing risks of major 
IT investments and management areas needing attention.

In commenting on a draft of this report, OMB's Administrator of the 
Office of E-Government and Information Technology expressed 
appreciation for our review of OMB's use of its Management Watch List. 
However, the Administrator disagreed with our assessment that an 
aggregated governmentwide list is necessary to perform adequate 
oversight and management, and that OMB does not know whether risks are 
being addressed. Nonetheless, based on OMB's inability to easily report 
which of the 621 investments on the Management Watch List remained 
deficient or how much of the $22 billion cited in the President's 
Budget remained at risk, we continue to believe that an aggregate list 
would facilitate OMB's ability to track progress.

Mr. Chairman, that concludes my testimony. I would be pleased to answer 
any questions that you and the other Members of the Committee may have.

Contact and Acknowledgements:

For further information, please contact David A. Powner at (202) 512-
9286 or Lester Diamond at (202) 512-7957. We can also be reached by e-
mail at pownerd@gao.gov or diamondl@gao.gov. Key contributors to this 
testimony were William G. Barrick, Barbara Collier, Lester Diamond, and 
Sandra Kerr.

FOOTNOTES

[1] GAO, Information Technology: OMB Can Make More Effective Use of Its 
Investment Reviews, GAO-05-276 (Washington, D.C.: Apr. 15, 2005).

[2] On March 3, 2004, OMB's Deputy Director for Management and its 
Administrator for Electronic Government and Information Technology 
testified at a hearing conducted by the Subcommittee on Technology, 
Information Policy, Intergovernmental Relations and the Census, 
Committee on Government Reform, House of Representatives. The hearing 
topic was "Federal Information Technology Investment Management, 
Strategic Planning, and Performance Measurement: $60 Billion Reasons 
Why."

[3] 44 U.S.C. § 3504(a)(1)(B)(vi) (OMB); 44 U.S.C. § 3506(h)(5) 
(agencies).

[4] These requirements are specifically described in the Clinger-Cohen 
Act, 40 U.S.C. § 11302(c).

[5] OMB Circular A-11 defines a major IT investment as an investment 
that requires special management attention because of its importance to 
an agency's mission or because it is an integral part of the agency's 
enterprise architecture, has significant program or policy 
implications, has high executive visibility, or is defined as major by 
the agency's capital planning and investment control process.

[6] These scoring criteria are presented in Office of Management and 
Budget Circular A-11, Part 7, Planning, Budgeting, Acquisition, and 
Management of Capital Assets (July 2004).

[7] Earned value management is a project management tool that 
integrates the investment scope of work with schedule and cost elements 
for investment planning and control. This method compares the value of 
work accomplished during a given period with that of the work expected 
in the period. Differences in expectations are measured in both cost 
and schedule variances.

[8] The authority for apportioning funds is specifically described in 
the Clinger-Cohen Act, 40 U.S.C. § 11303(b)(5)(B)(ii).