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United States Government Accountability Office:

GAO:

Testimony Before the Committee on Government Reform, House of 
Representatives:

For Release on Delivery:

Expected at 2:00 p.m. EDT on Thursday, April 28, 2005:

Continuity of Operations: 

Agency Plans Have Improved, but Better Oversight Could Assist Agencies 
in Preparing for Emergencies:

Statement of Linda D. Koontz:

Director, Information Management Issues:

GAO-05-619T:

GAO Highlights:

Highlights of GAO-05-619T, a testimony before the Committee on 
Government Reform, House of Representatives: 

Why GAO Did This Study:

To ensure that essential government services are available in 
emergencies, federal agencies are required to develop continuity of 
operations plans. According to guidance from the Federal Emergency 
Management Agency (FEMA), which is responsible for providing guidance 
for and assessing agency continuity plans, a key element of a viable 
capability is the proper identification of essential functions. GAO 
previously reported on agency continuity plan compliance, and 
determined that a number of agencies and their components did not have 
continuity plans in place on October 1, 2002, and those that were in 
place did not generally comply with FEMA’s guidance.

GAO was asked to testify on its most recent work in continuity 
planning, which is discussed in a separate report, being released today 
(GAO-05-577). In this report, GAO reviewed to what extent (1) major 
federal agencies used sound practices to identify and validate their 
essential functions, (2) agencies had made progress since 2002 in 
improving compliance with FEMA guidance, and (3) agency continuity of 
operations plans addressed the use of telework arrangements (in which 
work is performed at an employee’s home or at a work location other 
than a traditional office) during emergencies.

What GAO Found:

Many of the 23 agencies that GAO reviewed reported using sound 
practices for identifying and validating essential functions, but few 
provided documentation sufficient for GAO to confirm their responses. 
(GAO identified these sound practices based on published literature and 
in consultation with experts on continuity planning.) Agency responses 
indicate that—although aware of the practices—agencies may not have 
followed them thoroughly or effectively. Further, the essential 
functions identified by agencies varied widely: the number of functions 
identified in each plan ranged from 3 to 538 and included ones that 
appeared to be of secondary importance. The absence in FEMA’s guidance 
of specific criteria for identifying essential functions contributed to 
this condition. Subsequent guidance significantly addresses the sound 
practices that GAO identified. Also, the White House has begun a 
process to improve continuity planning. If this guidance and process 
are implemented effectively, they could lead to improved identification 
of essential functions in the executive branch.

As of May 1, 2004, agencies had made progress in improving compliance
with FEMA guidance, but significant weaknesses remained. Agencies that 
had plans in place in both years showed significant improvement in the 
area of tests, training, and exercises. However, although some 
improvement occurred for other planning areas, important weaknesses 
remained: for example, 31 of 45 plans did not fully identify mission-
critical systems and data necessary to conduct essential functions. 
Inadequate oversight by FEMA contributed to the level of weaknesses in 
agency continuity plans. FEMA plans to improve oversight using an 
online readiness reporting system, which it plans to have fully 
operational later this year, and it has already taken other steps to 
help agencies improve their plans, such as conducting an interagency 
exercise. However, FEMA does not plan to verify the readiness 
information that agencies will report in the system.

Finally, even though FEMA’s continuity planning guidance in place in 
May 2004 did not address telework, one agency’s continuity plan at that 
time included plans to use telework in response to an emergency. In 
addition, 10 agencies reported that they planned to use telework 
following a COOP event, but their plans were not clearly documented.

In its report, GAO made recommendations aimed at helping to improve 
continuity planning. These included establishing a schedule for the 
completion of recently initiated efforts, developing a strategy for 
short-term oversight in the meantime, and developing and implementing 
procedures that verify the agency-reported data used in oversight of 
agency continuity of operations planning. The report includes comments 
from FEMA. In commenting, FEMA agreed that there has been improvement 
in COOP plans and that additional oversight is needed.

www.gao.gov/cgi-bin/getrpt?GAO-05-619T.

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact Linda Koontz at (202) 
512-6240 or koontzl@gao.gov.

[End of section]

Mr. Chairman and Members of the Committee:

I appreciate the opportunity to participate in the Committee's hearing 
on federal continuity of operations planning. As you know, essential 
government services can be interrupted by a range of events, including 
terrorist attacks, severe weather, or building-level emergencies. 
Federal agencies are required by Presidential Decision Directive 67 to 
develop plans for ensuring the continuity of such services in emergency 
situations. The Federal Emergency Management Agency (FEMA), which was 
designated executive agent for executive branch continuity of 
operations (COOP) planning, issued Federal Preparedness Circular 65 in 
July 1999 as planning guidance to agencies. The circular states that, 
in order to have a viable COOP capability, agencies should identify 
their essential functions. These functions then provide the basis for 
subsequent planning steps. The circular also identified eight elements 
of a viable COOP capability.[Footnote 1]

We previously reviewed agency COOP plan compliance with FEMA's 
guidance, at your request. At that time, we found that a number of 
agencies and their components did not have continuity plans in place as 
of October 1, 2002, and those that were in place did not generally 
comply with FEMA's guidance.[Footnote 2]

We subsequently assessed plans in place on May 1, 2004, both from the 
agencies that had plans in place in 2002 and from agencies that 
subsequently adopted plans.[Footnote 3] We examined to what extent:

* major federal agencies used sound practices to identify and validate 
their essential functions,

* agencies had made progress in improving compliance with the guidance 
outlined in FPC 65 since our 2002 review,[Footnote 4] and:

* agency continuity of operations plans addressed the use of telework 
arrangements (in which work is performed at an employee's home or at a 
work location other than a traditional office) during emergencies.

At your request, I am summarizing today the findings and 
recommendations of the report on this most recent work, which is being 
released today.[Footnote 5]

Results in Brief:

Many of the 23 agencies reported using the eight sound practices for 
identifying and validating essential functions that we identified (for 
example, performing a risk and impact analysis for each essential 
function), but few provided documentation sufficient for us to confirm 
their responses. This indicates that agencies--although aware of these 
practices--may not have followed them thoroughly or effectively. In 
addition, the number of functions identified in each agency plan ranged 
from 3 to 538 and included ones that appeared to be of secondary 
importance (for example, "provide advice to the Under Secretary"). Both 
FEMA's June 2004 revision to its guidance and a recently initiated 
White House effort have the potential, if effectively implemented, to 
help agencies better identify their essential functions and thus 
develop better continuity plans. However, the lack of a schedule to 
complete the White House effort makes it unclear when these 
improvements might take place.

Although agency COOP plans have shown improvement since our prior 
assessment of 2002 plans, most plans in place on May 1, 2004, continued 
to exhibit inconsistencies in the identification of essential functions 
and significant lack of compliance with FEMA's guidance. Inadequate 
oversight by FEMA contributed to the level of weaknesses in agency COOP 
plans. FEMA plans to improve oversight using an online readiness 
reporting system, which it plans to have fully operational later this 
year, and it has already taken other steps to help agencies improve 
their plans, such as conducting an interagency exercise. However, FEMA 
no longer plans to verify the readiness information that agencies will 
report in the system.

Finally, even though FEMA's continuity planning guidance in place in 
May 2004 did not address telework, one agency's continuity plan in 
place at that time indicated that it was planning to use telework in 
response to an emergency. In addition, 10 agencies reported that they 
planned to use telework following a COOP event, but their plans were 
not clearly documented.

In our report, we made recommendations to the Assistant to the 
President for Homeland Security and to the Secretary of Homeland 
Security to ensure that agencies are adequately prepared to continue 
performing essential functions following an emergency. In commenting on 
our findings and recommendations, FEMA agreed that there has been 
improvement in COOP plans and that additional oversight is needed.

Background:

Federal operations and facilities have been disrupted by a range of 
events, including the terrorist attacks on September 11, 2001; the 
Oklahoma City bombing; localized shutdowns due to severe weather 
conditions, such as the closure of federal offices in the Washington, 
D.C., area in September 2003 due to Hurricane Isabel; and building-
level events, such as asbestos contamination at the Department of the 
Interior's headquarters. Such disruptions, particularly if prolonged, 
can lead to interruptions in essential government services. Prudent 
management, therefore, requires that federal agencies develop plans for 
dealing with emergency situations, including maintaining services, 
ensuring proper authority for government actions, and protecting vital 
assets.

Until relatively recently, continuity planning was generally the 
responsibility of individual agencies. In October 1998, Presidential 
Decision Directive (PDD) 67 identified the Federal Emergency Management 
Agency (FEMA)--which is responsible for responding to, planning for, 
recovering from, and mitigating against disasters--as the executive 
agent for federal COOP planning across the federal executive branch. 
FEMA was an independent agency until March 2003, when it became part of 
the Department of Homeland Security (DHS), reporting to the Under 
Secretary for Emergency Preparedness and Response. Under PDD 67, its 
responsibilities include:

* formulating guidance for agencies to use in developing viable plans;

* coordinating interagency exercises and facilitating interagency 
coordination, as appropriate; and:

* overseeing and assessing the status of COOP capabilities across the 
executive branch.

According to FEMA officials, the directive also required that agencies 
have COOP plans in place by October 1999.

In July 1999, FEMA first issued Federal Preparedness Circular (FPC) 65. 
FPC 65 is guidance to the federal executive branch for use in 
developing viable and executable contingency plans that facilitate the 
performance of essential functions during any emergency. Specifically, 
the guidance:

* established the identification of essential functions as the basis 
for COOP planning;

* defined essential functions as those that enable agencies to provide 
vital services, exercise civil authority, maintain safety, and sustain 
the economy during an emergency;

* defined the elements of a viable continuity of operations capability 
according to eight topic areas: identification of essential functions; 
development of plans and procedures; identification of orders of 
succession; delegations of authority; provision for alternate 
facilities; provision of interoperable communications; availability of 
vital records; and conduct of regular tests, training, and exercises; 
and:

* set up an interagency working group to coordinate continuity 
planning.

FPC 65 applies to all federal executive branch departments and agencies 
at all levels, including locations outside Washington, D.C. It directed 
the heads of each agency to assume responsibilities including:

* developing, approving, and maintaining agency continuity plans and 
procedures;

* developing a COOP multiyear strategy and program management plan; 
and:

* conducting tests and training of agency continuity plans, contingency 
staffs, and essential systems and equipment.

At your request, we previously reported on federal agency headquarters 
contingency plans in place in October 2002.[Footnote 6] At that time, 
we determined that most agencies identified at least one function as 
essential, but the functions varied in number and apparent importance. 
Furthermore, while 20 of 23 agencies had documented COOP plans, none 
addressed all the guidance in FPC 65. We identified inadequate guidance 
and oversight as factors contributing to these weaknesses, and 
recommended that DHS (1) ensure that agencies without plans develop 
them, (2) ensure that agencies address weaknesses in their plans, and 
(3) conduct assessments of plans that included an independent 
verification of agency-provided data and an assessment of identified 
essential functions. In response to these recommendations, DHS reported 
in July 2004 that it (1) was developing an online system to collect 
data from agencies on the readiness of their continuity plans that 
would evaluate compliance with the guidance, (2) had conducted an 
interagency exercise, and (3) had developed a training program for 
agency continuity planning managers. DHS added that it planned to 
conduct an independent validation of each agency's self-assessment 
after deployment of the readiness system.[Footnote 7]

Many Agencies Reported Using Sound Continuity Practices, but Few 
Provided Adequate Supporting Documentation:

Based on an analysis of published literature and in consultation with 
experts on continuity planning, we identified eight sound practices 
related to essential functions that organizations should use when 
developing their COOP plans. These practices, listed in table 1, 
constitute an ongoing process that includes identifying and validating 
essential functions.

Table 1: Eight Sound Practices for Continuity Planning:

Practices: 

Establish a structured COOP project work group/committee that includes 
representatives of all agency components, legal advisors, and 
continuity experts and either includes a member of the agency's 
executive management or reports to a member of the agency's executive 
management. Such a committee should be involved in the initial 
selection of essential functions.

Determine the resources necessary to perform each function.

Determine the dependencies necessary to perform each 
function.

Develop a schedule or project plan for critical stages in 
the continuity of operations program effort.

Identify and rank plausible threats, vulnerabilities, 
liabilities, and/or exposures through a risk assessment.

Perform a risk and impact analysis for each essential 
function--including prioritization of essential functions and 
determination of minimum acceptance level of output and recovery time 
objective for each function.

Develop and implement a strategy for validating the 
continuity plan and the underlying essential functions.

Change its essential functions as the result of the 
validation process.

Source: GAO.

[End of table]

With regard to COOP plans in place on May 1, 2004, many of the 23 
agencies reported using some of the sound practices in developing 
plans, included identifying and validating essential functions, but few 
provided documentation sufficient for us to validate their responses. 
This indicates that agencies--although aware of these practices--may 
not have followed them thoroughly or effectively. For example, it is 
unlikely that a thorough risk analysis of essential functions could be 
performed without being documented.

Further, the essential functions identified by agencies varied widely: 
the number of functions identified in each plan ranged from 3 to 538. 
In addition, the apparent importance of the functions was not 
consistent. For example, a number of essential functions were of clear 
importance, such as:

* "conduct payments to security holders" and:

* "carry out a rapid and effective response to all hazards, 
emergencies, and disasters."

Other identified functions appeared vague or of questionable 
importance:

* "champion decision-making decisions" and:

* "provide advice to the Under Secretary."

New Guidance and Review Process Could Result in More Consistent 
Identification of Essential Functions:

The high level of generality in FEMA's guidance on essential functions 
contributed to the inconsistencies in agencies' identification of these 
functions. As was the case during our 2002 review, the version of FPC 
65 in place on May 1, 2004, defined essential functions as those that 
enable agencies to provide vital services, exercise civil authority, 
maintain safety, and sustain the economy during an emergency. The 
document did not, however, define a process that agencies could use to 
select their essential functions.

In June 2004, FEMA released an updated version of FPC 65, providing 
additional guidance to agencies on each of the topics covered in the 
original guidance, including an annex on essential functions. The annex 
lists several categories that agencies must consider when determining 
which functions are essential, including:

* functions that must continue with minimal interruption or cannot be 
interrupted for more than 12 hours without compromising the 
organization's ability to perform its mission and:

* functions assigned to the agency by federal law or by order of the 
President.

The new guidance goes on to outline steps addressing the prioritization 
of selected functions as well as the identification of resources 
necessary to accomplish them and of interdependencies with other 
agencies.

On January 10, 2005, the Assistant to the President for Homeland 
Security issued a memorandum outlining additional guidance on essential 
functions and initiated a process to identify and validate agency-level 
functions. The memorandum noted that in the past many departments and 
agencies had had difficulty clearly identifying and articulating their 
essential functions. It attributed this difficulty, in part, to the 
lack of a defined set of national-level essential functions to guide 
agency continuity planning, resulting in multiple efforts to develop 
agency essential functions for different specific purposes (e.g., 
planning for Year 2000 computer continuity, information technology 
planning, and critical infrastructure planning). Further, it noted that 
departments and agencies sometimes do not distinguish between a 
"function" and the specific activities necessary to perform the 
function.

To address these issues, the memorandum identified eight National 
Essential Functions that are necessary to lead and sustain the country 
during an emergency and, therefore, must be supported through 
continuity capabilities. Table 2 lists the eight National Essential 
Functions.

Table 2: National Essential Functions:

Functions: 

Preserve our constitutional form of government.

Provide leadership visible to the nation and the world; 
maintain the trust and confidence of the American people.

Defend the country against all enemies, foreign or domestic, 
and prevent or interdict future attacks.

Maintain and foster effective relationships with foreign 
nations.

Protect against threats to the homeland and bring to justice 
perpetrators of crimes or attacks against the nation, its citizens, or 
its interests.

Provide rapid and effective response to and recovery from 
the domestic consequences of an attack or other incident.

Protect and stabilize the nation's economy; ensure 
confidence in financial systems.

Provide for critical federal government services that 
address the national health, safety, and welfare needs of the nation.

Source: White House.

[End of table]

The memorandum asked major agencies to identify their Priority Mission 
Essential Functions--those functions that must be performed to support 
or implement the National Essential Functions before, during, and in 
the immediate aftermath of an emergency. The document stated that, 
generally, priority functions must be uninterrupted or resumed during 
the first 24 to 48 hours after the occurrence of an emergency and 
continued through full resumption of all government functions.

When identifying their functions, agencies were asked to also identify 
the National Essential Function that each priority function supports, 
the time in which the priority function must be accomplished, and the 
partners necessary to perform the priority function. The memorandum 
asked agencies to reply by February 18, 2005.

The memorandum emphasized the need for the involvement of senior-level 
agency officials, calling for each agency's functions to be first 
approved by an official with agencywide responsibilities. The 
memorandum then laid out a process by which the functions would be 
validated by an interagency group within the Homeland Security Council. 
According to FEMA officials, two agencies' essential functions have 
already been reviewed, and there are plans to complete all agency 
reviews by the end of the summer. The validated functions would then be 
used to support development of a new continuity policy and would be 
used to develop and implement improved requirements for capabilities, 
inform the annual budget process, establish program metrics, and guide 
training and exercises and other continuity program activities. The 
memorandum did not set any time frames for these later steps.

Together, FEMA's revised guidance and the guidance from the White House 
significantly address the best practices that we identified. For 
example:

* Both documents call for agencies to identify dependencies necessary 
to perform the functions.

* FEMA's guidance calls for agencies to prioritize their essential 
functions and identify the resources necessary to perform them.

* The White House guidance calls on agencies to identify the recovery 
time necessary for each function and outlines a process to validate the 
initial list of functions.

If implemented effectively, the new guidance and the review process 
conducted by the White House could result in more consistent 
identification of essential functions across the executive branch. The 
functions could then form the basis for better plans for continuing the 
most critical functions following a disruption to normal operations. 
However, without time frames for completing the outlined process, it is 
unclear when the expected improvements will occur.

Agency COOP Plans Have Improved, but None Address All of FEMA's 
Guidance:

When compared with our prior assessment, agency continuity plans in 
place on May 1, 2004, showed improved compliance with FEMA's guidance 
in two ways:

* One agency and nine component agencies that did not have documented 
continuity plans in place at the time of our 2002 review had put such 
plans in place by May 1.

* For each of the topic areas outlined in the guidance, agencies 
generally made progress in increasing compliance.

However, two major agencies did not have plans in place on May 1, 2004. 
As of April 2005, one of these two had finalized its plan.

In addition, after analyzing these plans, we found that none in place 
on May 1 followed all of FEMA's guidance. Of the eight topic areas 
identified in FPC 65, these 45 COOP plans generally complied with the 
guidance in two areas (developing plans and procedures and order of 
succession); generally did not comply in one area (tests, training, and 
exercises); and showed mixed compliance in the other five areas. 
Specifically, when examining the governmentwide results of our analysis 
of the eight planning topics outlined in FPC 65, we determined the 
following:

* Essential functions. Most agency plans identified at least one 
function as essential and identified which functions must be continued 
under all circumstances. However, less than half the COOP plans 
identified interdependencies among the functions, established staffing 
and resource requirements, or identified the mission-critical systems 
and data needed to perform the functions.

* Plans and procedures. Most plans followed the guidance in this area, 
including establishing a roster of COOP personnel, activation 
procedures, and the appropriate planning time frame (12 hours to 30 
days).

* Orders of succession. All but a few agency plans identified an order 
of succession to the agency head. Most plans included orders of 
succession for other key officials or included officials outside of the 
local area in the succession to the agency head. Many plans did not 
include the orders of succession in the agency's vital records or 
document training for successors on their emergency duties.

* Delegations of authority. Few plans adequately documented the legal 
authority for officials to make policy decisions in an emergency.

* Alternate facilities. Most plans documented the acquisition of at 
least one alternate facility, and many included alternate facilities 
inside and outside of the local area. However, few plans documented 
that agencies had sufficient space for staff, pre-positioned equipment, 
or appropriate communications capabilities at their alternate 
facilities.

* Redundant emergency communications. Most plans identified at least 
two independent media for voice communication. Less than half of the 
plans included adequate contact information, and few provided 
information on backup data links.

* Vital records. Less than half of the plans fully identified the 
agency's vital records. Few plans documented the locations of all vital 
records or procedures for updating them.

* Tests, training, and exercises. While many agencies documented some 
training, very few agencies documented that they had conducted tests, 
training, and exercises at the recommended frequency.

Inadequate Oversight by FEMA Contributes to Noncompliance:

During our prior review of 2002 plans, we found that insufficient 
oversight by FEMA contributed to agencies' lack of compliance with the 
guidance. Specifically, we noted that FEMA had not conducted an 
assessment of agency contingency plans since 1999. As a result, we 
recommended that it conduct assessments of agency continuity plans that 
include independent verification of agency-reported information. In 
response, DHS reported that it was developing a readiness reporting 
system to assist it in assessing agency plans and planned to verify the 
information reported by the agencies.

Although neither of these planned actions was completed by May 1, 2004, 
FEMA has made subsequent efforts to improve its oversight. According to 
FEMA officials, development of the readiness reporting system was 
completed in March 2005, and the system is expected to be operational 
and certified by October 2005, at which time there will be seven 
locations (including two FEMA locations) using the system. They added 
that once the system becomes fully operational, agencies will be 
required to periodically provide updated information on their 
compliance with FEMA's guidance. These officials also reported that the 
agency had taken additional steps to improve readiness. Specifically, 
they stated that the interagency exercise held in mid-May 2004 
successfully activated and tested agency plans; they based this 
assessment on reports provided by the agencies. Furthermore, FEMA has 
begun planning for another interagency exercise in 2006. In addition, 
as of April 2005, FEMA had provided training to 682 federal, state, and 
local officials from 30 major federal departments and agencies and 209 
smaller agencies--including state, local, and tribal entities. FEMA 
officials stated that because of these additional successful efforts to 
improve readiness, they no longer planned to verify agency-reported 
readiness data.

While the revised guidance, recent exercise, and ongoing training 
should help ensure that agency continuity plans follow FEMA's guidance, 
FEMA's ongoing ability to oversee agency continuity planning activities 
will be limited by its reliance on agency-provided data. Without 
verification of such data, FEMA lacks assurance that agency plans are 
compliant and that the procedures outlined in those plans will allow 
agencies to effectively continue to perform their essential functions 
following a disruption.

One Agency Plans to Use Telework in Response to an Emergency:

Telework, also referred to as telecommuting or flexiplace, has gained 
widespread attention over the past decade in both the public and 
private sectors as a human capital flexibility that offers a variety of 
potential benefits to employers, employees, and society. In a 2003 
report to Congress on the status of telework in the federal government, 
the Director of the Office of Personnel Management (OPM) described 
telework as "an invaluable management tool which not only allows 
employees greater flexibility to balance their personal and 
professional duties, but also allows both management and employees to 
cope with the uncertainties of potential disruptions in the workplace, 
including terrorist threats."[Footnote 8]

As we reported in an April 2004 report, telework is an important and 
viable option for federal agencies in COOP planning and implementation 
efforts, especially as the duration of an emergency event is 
extended.[Footnote 9] In a July 2003 GAO report, we defined 25 key 
telework practices for implementation of successful federal telework 
programs.[Footnote 10]

Although not required to do so, 1 of the 21 agency continuity plans in 
place on May 1, 2004, documented plans to address some essential 
functions through telework. Two other agencies reported that they 
planned to use telework to fulfill their essential functions, and eight 
agencies reported that they planned for nonessential staff to telework 
during a COOP event, but their continuity plans do not specifically 
mention telework.

However, none of the agencies that are planning to use telework during 
a COOP event documented that the necessary preparations had taken 
place. These preparations--derived from the 25 key telework practices 
for the development of an effective telework program--include informing 
and training the staff, ensuring that there is adequate technological 
capacity for telework, providing technological assistance, and testing 
the ability to telework.

In summary, Mr. Chairman, although agency COOP plans have shown 
improvement since our prior assessment of 2002 plans, most plans in 
place on May 1, 2004, continued to exhibit inconsistencies in the 
identification of essential functions and significant lack of 
compliance with FEMA's guidance. Both FEMA's revision to this guidance 
and a recently initiated White House effort have the potential, if 
effectively implemented, to help agencies better identify their 
essential functions and thus develop better continuity plans. However, 
the lack of a schedule to complete the White House effort makes it 
unclear when these improvements might take place. Agencies' efforts to 
develop continuity plans could also be aided by FEMA's efforts to 
develop a readiness reporting system, conduct a governmentwide 
exercise, and train agency COOP planners, as well as by any guidance or 
policies that result from the White House effort.

Finally, even though FEMA's continuity planning guidance in place in 
May 2004 did not address telework, one agency's continuity plan at that 
time included plans to use telework in response to an emergency. In 
addition, 10 agencies reported that they planned to use telework 
following a COOP event, but their plans were not clearly documented.

In our report, we make recommendations aimed at helping to ensure that 
agencies are adequately prepared to perform essential functions 
following an emergency. We recommended that the Assistant to the 
President for Homeland Security establish a schedule for the completion 
of the recently initiated effort to validate agency essential functions 
and refine federal continuity of operations policy. We also recommended 
that the Secretary of Homeland Security direct the Under Secretary for 
Emergency Preparedness and Response to:

* develop a strategy for short-term oversight that ensures that 
agencies are prepared for a disruption in essential functions while the 
current effort to identify essential functions and develop new guidance 
is ongoing;

* develop and implement procedures that verify the agency-reported data 
used in oversight of agency continuity of operations planning; and:

* develop, in consultation with OPM, guidance on the steps that 
agencies should take to adequately prepare for the use of telework 
during a COOP event.

In commenting on our findings and recommendations, the Under Secretary 
for Emergency Preparedness and Response of DHS stated that the 
department agreed that there has been improvement in COOP plans and 
attributed that improvement to a renewed emphasis by DHS and the White 
House. The department also agreed with the need for additional 
oversight and noted that FEMA had begun conducting COOP site 
assessments at departments and agencies to improve readiness. The Under 
Secretary's letter drew attention to a number of actions taken after 
the May 1, 2004, cutoff date for our assessment. Finally, the Under 
Secretary pointed out that the readiness reporting system that FEMA is 
developing was not intended to be a COOP plan assessment tool, but that 
it instead provides key officials with the ability to determine plan 
status in near real time. We continue to believe that it is important 
for FEMA to assess agency plans as part of its oversight 
responsibilities. Regardless of the system's intended use, we believe 
its capabilities, as described by FEMA, make it a valuable tool that 
the agency should use when exercising these responsibilities.

Mr. Chairman, this concludes my statement. I would be pleased to 
respond to any questions that you or other members of the Committee may 
have at this time.

Contacts and Acknowledgements:

For information about this testimony, please contact Linda D. Koontz at 
(202) 512-6240 or at koontzl@gao.gov, or James R. Sweetman at (202) 
512-3347 or sweetmanj@gao.gov. Other key contributors to this testimony 
include Barbara Collier, Mike Dolak, Nick Marinos, and Jessica 
Waselkow.

FOOTNOTES

[1] In June 2004, FEMA released an updated version of FPC 65, providing 
additional guidance to agencies on each of the topics covered in the 
original guidance, including an annex on essential functions.

[2] GAO, Continuity of Operations: Improved Planning Needed to Ensure 
Delivery of Essential Services, GAO-04-160 (Washington, D.C.: Feb. 27, 
2004.)

[3] As agreed with your staff, we evaluated agency continuity plans in 
place on May 1, 2004. Our methodology included evaluating the 
headquarters continuity plans for 20 of the 23 largest civilian 
departments and agencies, as well as for 25 components of departments, 
for compliance with the eight elements identified in FPC 65. We 
provided agencies with several opportunities to submit relevant 
documentation as well as respond to preliminary findings.

[4] Since the June 2004 version of FPC 65 was released after our cutoff 
date of May 1, 2004, we assessed plans against the July 1999 version of 
FPC 65.

[5] GAO, Continuity of Operations: Agency Plans Have Improved, but 
Better Oversight Could Assist Agencies in Preparing for Emergencies, 
GAO-05-577 (Washington, D.C.: Apr. 28, 2005).

[6] GAO, Continuity of Operations: Improved Planning Needed to Ensure 
Delivery of Essential Government Services, GAO-04-160 (Washington, 
D.C.: Feb. 27, 2004) and Continuity of Operations: Improved Planning 
Needed to Ensure Delivery of Essential Services, GAO-04-638T 
(Washington, D.C.: Apr. 22, 2004).

[7] GAO, Status of Key Recommendations GAO Has Made to DHS and Its 
Legacy Agencies, GAO-04-865R (Washington, D.C.: July 2, 2004).

[8] U.S. Office of Personnel Management, Report to the Congress: The 
Status of Telework in the Federal Government (Washington, D.C.: January 
2003).

[9] GAO, Human Capital: Opportunities to Improve Federal Continuity 
Planning Guidance, GAO-04-384 (Washington, D.C.: Apr. 20, 2004).

[10] GAO, Human Capital: Further Guidance, Assistance, and Coordination 
Can Improve Federal Telework Efforts, GAO-03-679 (Washington, D.C.: 
July 18, 2003).