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Presents Opportunities and Challenges For Budget and Performance 
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Testimony: 

Before the Subcommittee on Government Efficiency and Financial 
Management Committee on Government Reform, House of Representatives:

For Release on Delivery Expected at 2:00 p.m. EST Wednesday February 4, 
2004:

PERFORMANCE BUDGETING:

OMB's Program Assessment Rating Tool Presents Opportunities and 
Challenges For Budget and Performance Integration:

Statement of Paul L. Posner Managing Director, Federal Budget Issues 
Strategic Issues:

[Hyperlink, http://www.gao.gov/cgi-bin/getrpt?GAO-04-439T]:

GAO Highlights:

Highlights of GAO-04-439T, a testimony before the Subcommittee on 
Government Efficiency and Financial Management, Committee on 
Government Reform, House of Representatives.

Why GAO Did This Study:

The Office of Management and Budget’s (OMB) Program Assessment Rating 
Tool (PART) is meant to provide a consistent approach to evaluating 
federal programs during budget formulation. The subcommittee asked GAO 
to discuss our recent report, Performance Budgeting: Observations on 
the Use of OMB’s Program Assessment Rating Tool for the Fiscal 2004 
Budget (GAO-04-174) and strategies for improving PART and furthering 
the goals envisioned by the Government Performance and Results Act of 
1993 (GPRA).

What GAO Found:

PART helped structure OMB’s use of performance information for 
internal program and budget analysis and stimulated agency interest in 
budget and performance integration. Moreover, it illustrated the 
potential to build on GPRA’s foundation to more actively promote the 
use of performance information in budget decisions. OMB deserves 
credit for inviting scrutiny of its federal program performance 
reviews and sharing them on its Web site. 

Much of PART’s potential value lies in its program recommendations but 
follow through will require sustained commitment by agencies and OMB. 
OMB devoted considerable effort to developing PART, but diagnosing 
problems and rating programs are only the beginning of PART’s 
ambitious agenda. Implementing change and providing oversight takes 
time; OMB needs to be mindful of this as it considers capacity and 
workload issues in the PART. 

As is to be expected in the first year of any reform, PART is a work 
in progress and we noted in our report where OMB might make 
improvements. Any tool that is sophisticated enough to take into 
account the complexity of the U.S. government will require exercising 
some judgment. Therefore it is not surprising that we found 
inconsistencies in OMB staff interpreting and applying PART. 

PART provides an opportunity to more efficiently use scarce analytic 
resources, to focus decision makers’ attention on the most pressing 
policy issues, and to consider comparisons and trade-offs among 
related programs by more strategically targeting PART assessments 
based on such factors as the relative priorities, costs, and risks 
associated with related clusters of programs and activities. PART 
assessments underscored long-standing gaps in performance and 
evaluation information throughout the federal government. By reaching 
agreement on areas in which evaluations are most essential, decision 
makers can help ensure that limited resources are applied wisely. 

The relationship between PART and the broader GPRA strategic planning 
process is still evolving. Although PART can stimulate discussion on 
program-specific performance measurement issues, it is not a 
substitute for GPRA’s strategic, longer-term focus on thematic goals, 
and department- and governmentwide crosscutting comparisons. Although 
PART and GPRA serve different needs, a strategy for integrating the 
two could help strengthen both.

Federal programs are designed and implemented in dynamic environments 
where competing program priorities and stakeholders’ needs must be 
balanced continually and new needs addressed. PART clearly serves 
OMB’s needs but questions remain about whether it serves the various 
needs of other key stakeholders. If PART results are to be considered 
in the congressional debate it will be important for OMB to (1) 
involve congressional stakeholders early in providing input on the 
focus of the assessments; (2) clarify any significant limitations in 
the assessments and underlying performance information; and (3) 
initiate discussions with key congressional committees about how they 
can best leverage PART information in congressional authorization, 
appropriations, and oversight processes. 

What GAO Recommends:

In our recent report on PART we recommended that the Director of OMB 
(1) address the capacity demands of PART, (2) strengthen PART 
guidance, (3) address evaluation information scope and availability 
issues, (4) focus program selection on critical operations and 
crosscutting comparisons, (5) expand the dialogue with Congress, and 
(6) articulate and implement a complementary relationship between PART 
and GPRA. 

OMB generally agreed with our findings, conclusions, and 
recommendations and said it is already taking actions to address many 
of our recommendations.

We also suggested that Congress consider the need for a structured 
approach to articulating its perspective and oversight agenda on 
performance goals and priorities for key programs.

www.gao.gov/cgi-bin/getrpt?GAO-04-439T.

To view the full product, including the scope and methodology, click 
on the link above. For more information, contact Paul Posner at (202) 
512-9573 or posnerp@gao.gov.

[End of section]

Mr. Chairman and Members of the Subcommittee:

I am pleased to be here today to discuss performance budgeting and the 
Office of Management and Budget's (OMB) Program Assessment Rating Tool 
(PART). Since the 1950s, the federal government has attempted several 
governmentwide initiatives designed to better align spending decisions 
with expected performance--what is commonly referred to as "performance 
budgeting." The consensus is that prior efforts--including the Hoover 
Commission, the Planning-Programming-Budgeting-System (PPBS), 
Management by Objectives, and Zero-Based Budgeting (ZBB)--did not 
succeed in significantly shifting the focus of the federal budget 
process from its long-standing concentration on the items of government 
spending to the results of its programs. However, the persistent 
attempts reflect a long-standing interest in linking resources to 
results.

In the 1990s, Congress and the executive branch laid out a statutory 
and management framework that provides the foundation for strengthening 
government performance and accountability, with the Government 
Performance and Results Act of 1993[Footnote 1] (GPRA) as its 
centerpiece. GPRA is designed to inform congressional and executive 
decision making by providing objective information on the relative 
effectiveness and efficiency of federal programs and spending. A key 
purpose of the act is to create closer and clearer links between the 
process of allocating scarce resources and the expected results to be 
achieved with those resources. We have learned that this type of 
integration is critical from prior initiatives that failed in part 
because they did not prove to be relevant to budget decision makers in 
the executive branch or Congress.[Footnote 2] GPRA requires both a 
connection to the structures used in congressional budget presentations 
and consultation between the executive and legislative branches on 
agency strategic plans; this gives Congress an oversight stake in 
GPRA's success.[Footnote 3]

This administration has made the integration of performance and budget 
information one of five governmentwide management priorities under the 
President's Management Agenda (PMA).[Footnote 4] Central to this 
initiative is the PART. OMB developed PART as a diagnostic tool meant 
to provide a consistent approach to evaluating federal programs and 
applied it in formulating the President's fiscal year 2004 budget 
request. PART covers four broad topics for all "programs"[Footnote 5] 
selected for review: (1) program purpose and design, (2) strategic 
planning, (3) program management, and (4) program results (i.e., 
whether a program is meeting its long-term and annual goals) as well as 
additional questions that are specific to one of seven mechanisms or 
approaches used to deliver the program.[Footnote 6]

GPRA expanded the supply of performance information generated by 
federal agencies, although as the PART assessments demonstrate, more 
must be done to develop credible performance information. However, 
improving the supply of performance information is in and of itself 
insufficient to sustain performance management and achieve real 
improvements in management and program results. Rather, it needs to be 
accompanied by a demand for that information by decision makers and 
managers alike. PART may mark a new chapter in performance-based 
budgeting by more successfully stimulating demand for this information-
-that is, using the performance information generated through GPRA's 
planning and reporting processes to more directly feed into executive 
branch budgetary decisions.

My statement today focuses on six points:

* PART helped structure OMB's use of performance information for its 
internal program and budget analysis, made the use of this information 
more transparent, and stimulated agency interest in budget and 
performance integration. Moreover, it illustrated the potential to 
build on GPRA's foundation to more actively promote the use of 
performance information in budget decisions.

* Much of the potential value of PART lies in the related program 
recommendations and associated improvements, but follow through will 
require sustained commitment by agencies and OMB. OMB's efforts in 
developing PART have been considerable, but diagnosing problems and 
applying ratings are the beginning not the end of PART's ambitious 
agenda. Identifying solutions, implementing changes, and providing 
oversight takes time, and OMB needs to be mindful of this as it 
considers the capacity and workload issues in the PART.

* As is to be expected in the first year of any reform, PART is a work 
in progress and we noted in our report where OMB might make 
improvements. Any tool that is sophisticated enough to take into 
account the complexity of the U.S. government will require some 
exercise of judgment. Therefore it is not surprising that we found some 
inconsistencies in OMB staff interpreting and applying PART.

* PART provides an opportunity to more efficiently use scarce analytic 
resources, to focus decision makers' attention on the most pressing 
policy issues, and to consider comparisons and trade-offs among related 
programs by more strategically targeting PART assessments based on such 
factors as the relative priorities, costs, and risks associated with 
related clusters of programs and activities. The first year PART 
assessments underscored the long-standing gaps in performance and 
evaluation information throughout the federal government. By reaching 
agreement on areas in which evaluations are most essential, decision 
makers can help ensure that limited resources are applied wisely.

* The relationship between PART and its process and the broader GPRA 
strategic planning process is still evolving. Although PART can 
stimulate discussion on program-specific performance measurement 
issues, it is not a substitute for GPRA's strategic, longer-term focus 
on thematic goals and department-and governmentwide crosscutting 
comparisons. Although PART and GPRA serve different needs, a strategy 
for integrating the two could help strengthen both.

* Federal programs are designed and implemented in dynamic environments 
where competing program priorities and stakeholders' needs must be 
balanced continually and new needs must be addressed. While PART 
clearly serves the needs of OMB in budget formulation, questions remain 
about whether it serves the various needs of other key stakeholders. If 
the President or OMB wants the PART and its results to be considered in 
the congressional debate, it will be important for OMB to (1) involve 
congressional stakeholders early in providing input on the focus of the 
assessments; (2) clarify any significant limitations in the assessments 
as well as the underlying performance information; and (3) initiate 
discussions with key congressional committees about how they can best 
take advantage of and leverage PART information in congressional 
authorization, appropriations, and oversight processes. Moreover, 
Congress needs to consider ways it can articulate its oversight 
priorities and performance agenda.

My statement is based on our recently published report on OMB's 
PART.[Footnote 7] This subcommittee along with several other requesters 
asked GAO to review the application of PART in its first year, its 
relationship to GPRA planning and reporting requirements, and its 
strengths and weaknesses as an evaluation tool. We conducted our work 
in accordance with generally accepted government auditing standards.

Strengths and Weaknesses of PART in Its First Year of Implementation:

Through its development and use of PART, OMB has more explicitly 
infused performance information into the budget formulation process; 
increased the attention paid to evaluation and to performance 
information; and ultimately, we hope, increased the value of this 
information to decision makers and other stakeholders. By linking 
performance information to the budget process, OMB has provided 
agencies with a powerful incentive for improving both the quality and 
availability of performance information. The level of effort and 
involvement by senior OMB officials and staff clearly signals the 
importance of this strategy in meeting the priorities outlined in the 
PMA. OMB should be credited with opening up for scrutiny--and potential 
criticism--its review of key areas of federal program performance and 
then making its assessments available to a potentially wider audience 
through its Web site.

As OMB and others recognize, performance is not the only factor in 
funding decisions. Determining priorities--including funding 
priorities--is a function of competing values and interests. 
Accordingly, we found that while PART scores were generally positively 
related to proposed funding changes in discretionary programs, the 
scores did not automatically determine funding changes. That is, for 
some programs rated "effective" or "moderately effective" OMB 
recommended funding decreases, while for several programs judged to be 
"ineffective" OMB recommended additional funding in the President's 
budget request with which to implement changes. In fact, the more 
important role of PART was not its use in making resource decisions, 
but in its support for recommendations to improve program design, 
assessment, and management.

As shown in figure 1, we found that 82 percent of PART's 
recommendations addressed program assessment, design, and management 
issues; only 18 percent of the recommendations had a direct link to 
funding matters.[Footnote 8]

Figure 1: Fiscal Year 2004 PART Recommendations:

[See PDF for image]

[End of figure]

OMB's ability to use PART to identify and address future program 
improvements and measure progress--a major purpose of PART--depends on 
its ability to oversee the implementation of PART recommendations. As 
OMB has recognized, following through on these recommendations is 
essential for improving program performance and ensuring 
accountability. Currently, OMB plans to assess an additional 20 percent 
of all federal programs annually. As the number of recommendations from 
previous years' evaluations grows, a system for monitoring their 
implementation will become more critical. However, OMB does not have a 
centralized system to oversee the implementation of such 
recommendations or evaluate their effectiveness.

The goal of PART is to evaluate programs systematically, consistently, 
and transparently. OMB went to great lengths to encourage consistent 
application of PART in the evaluation of government programs, including 
pilot testing the instrument, issuing detailed guidance, and conducting 
consistency reviews. Although there is undoubtedly room for continued 
improvement, any tool is inherently limited in providing a single 
performance answer or judgment on complex federal programs with 
multiple goals.

Performance measurement challenges in evaluating complex federal 
programs make it difficult to meaningfully interpret a bottom-line 
rating. OMB published both a single, bottom-line rating for PART 
results and individual section scores. It is these latter scores that 
are potentially more useful for identifying information gaps and 
program weaknesses. For example, one program that was rated "adequate" 
overall got high scores for purpose (80 percent) and planning (100 
percent), but poor scores in being able to show results (39 percent) 
and in program management (46 percent). In a case like this, the 
individual section ratings provided a better understanding of areas 
needing improvement than the overall rating alone. In addition, bottom-
line ratings may force raters to choose among several important, but 
disparate goals and encourage a determination of program effectiveness 
even when performance data are unavailable, the quality of those data 
is uneven, or they convey a mixed message on performance.

Any tool that is sophisticated enough to take into account the 
complexity of the U.S. government will always require some 
interpretation and judgment. Therefore it is not surprising that OMB 
staff were not fully consistent in interpreting complex questions about 
agency goals and results. In addition, the limited availability of 
credible evidence on program results also constrained OMB's ability to 
use PART to rate programs' effectiveness.

Many PART questions contain subjective terms that are open to 
interpretation. Examples include terminology such as "ambitious" in 
describing sought-after performance measures. Because the 
appropriateness of a performance measure depends on the program's 
purpose, and because program purposes can vary immensely, an ambitious 
goal for one program might be unrealistic for a similar but more 
narrowly defined program. Without further guidance, it is unclear how 
OMB staff can be expected to be consistent.

We found inconsistencies in how the definition of acceptable 
performance measures was applied. Our review surfaced several instances 
in which OMB staff inconsistently defined appropriate measures--outcome 
versus output--for programs. Agency officials also told us that OMB 
staff used different standards to define measures as outcome-oriented. 
Outputs are the products and services delivered by the program whereas 
outcomes refer to the results of outputs. For example, in the 
employment and training area, OMB accepted short-term outcomes, such as 
obtaining high school diplomas or employment, as a proxy for long-term 
goals for the Department of Health and Human Services' Refugee 
Assistance program, which aims to help refugees attain economic self-
sufficiency as soon as possible. However, OMB did not accept the same 
employment rate measure as a proxy for long-term goals for the 
Department of Education's Vocational Rehabilitation program because it 
had not set long-term targets beyond a couple of years. In other words, 
although neither program contained long-term outcomes, such as 
participants gaining economic self-sufficiency, OMB accepted short-
term outcomes in one instance but not the other.

The yes/no format employed throughout most of the PART questionnaire 
resulted in oversimplified answers to some questions. Although OMB 
believes it helped standardization, the yes/no format was particularly 
troublesome for questions containing multiple criteria for a "yes" 
answer. Agency officials have commented that the yes/no format is a 
crude reflection of reality, in which progress in planning, management, 
or results is more likely to resemble a continuum than an on/off 
switch. We found several instances in which some OMB staff gave a "yes" 
answer for successfully achieving some but not all of the multiple 
criteria, while others gave a "no" answer when presented with a similar 
situation. For example, OMB judged the Department of the Interior's 
(DOI) Water Reuse and Recycling program "no" on whether a program has a 
limited number of ambitious, long-term performance goals, noting that 
although DOI set a long-term goal of 500,000 acre-feet per year of 
reclaimed water, it failed to establish a time frame for when it would 
reach the target. However, OMB judged the Department of Agriculture's 
and DOI's Wildland Fire programs "yes" on this question even though the 
programs' long-term goals of improved conditions in high-priority 
forest acres are not accompanied by specific time frames.

The lack of program performance information also creates challenges in 
effectively measuring program performance. According to OMB, about half 
of the programs assessed for fiscal year 2004 lacked "specific, 
ambitious long-term performance goals that focus on outcomes" and 
nearly 40 percent lacked sufficient "independent, quality evaluations." 
Nearly 50 percent of programs assessed for fiscal year 2004 received 
ratings of "results not demonstrated" because OMB decided that program 
performance information, performance goals, or both were insufficient 
or inadequate. While the validity of these assessments may be subject 
to interpretation and debate, our previous work[Footnote 9] has raised 
concerns about the capacity of federal agencies to produce evaluations 
of program effectiveness as well as credible data.

The Relationship between GPRA and PART:

PART was designed for and is used in the executive branch budget 
preparation and review process. As a result, the goals and measures 
used in PART must meet OMB's needs. By comparison, GPRA--the current 
statutory framework for strategic planning and reporting--is a broader 
process involving the development of strategic and performance goals 
and objectives to be reported in strategic and annual plans and 
reports. OMB said that GPRA plans were organized at too high a level to 
be meaningful for program-level budget analysis and management review. 
OMB acknowledges that GPRA was the starting point for PART, but as I 
will explain, it appears that OMB's emphasis is shifting such that over 
time the performance measures developed for PART and used in the budget 
process may also come to drive agencies' strategic planning processes.

The fiscal year 2004 PART process came to be a parallel competing 
structure to the GPRA framework as a result of OMB's desire to collect 
performance data that better align with budget decision units. OMB's 
most recent Circular A-11 guidance clearly requires both that each 
agency submit a performance budget for fiscal year 2005 and that this 
should replace the annual GPRA performance plan.[Footnote 10] These 
performance budgets are to include information from the PART 
assessments, where available, including all performance goals used in 
the assessment of program performance done under the PART process. 
Until all programs have been assessed using PART, the performance 
budget will also include performance goals for agency programs that 
have not yet been assessed. OMB's movement from GPRA to PART is further 
evident in the fiscal year 2005 PART guidance stating that while 
existing GPRA performance goals may be a starting point during the 
development of PART performance goals, the GPRA goals in agency GPRA 
documents are to be revised, as needed, to reflect OMB's instructions 
for developing the PART performance goals. Lastly, this same guidance 
states that GPRA plans should be revised to include any new performance 
measures used in PART and that unnecessary measures should be deleted 
from GPRA plans.

Although there is potential for complementary approaches to GPRA and 
PART, the following examples clearly illustrate the importance of 
carefully considering the implications of selecting a unit of analysis, 
including its impact on the availability of performance data. They also 
reveal some of the unresolved tensions between the President's budget 
and performance initiative--a detailed budget perspective--and GPRA--a 
more strategic planning view. Experience with the PART highlighted the 
fact that defining a "unit of analysis" useful for both program-level 
budget analysis and agency planning purposes can be difficult. For 
example, disaggregating programs for PART purposes could ignore the 
interdependence of programs recognized by GPRA by artificially 
isolating programs from the larger contexts in which they operate. 
Agency officials described one program assessed with the PART--Projects 
for Assistance in Transition from Homelessness--that was aimed at a 
specific aspect of homelessness, that is, referring persons with 
emergency needs to other agencies for housing and needed services. OMB 
staff wanted the agency to produce long-term outcome measures for this 
program to support the PART review process. Agency officials argued 
that chronically homeless people require many services, and that this 
federal program often supports only some of the services needed at the 
initial stages of intervention. GPRA--with its focus on assessing the 
relative contributions of related programs to broader goals--is better 
designed to consider crosscutting strategies to achieve common goals. 
Federal programs cannot be assessed in isolation. Performance needs 
also to be examined from an integrated, strategic perspective.

One way of improving the links between PART and GPRA would be to 
develop a more strategic approach to selecting and prioritizing areas 
for assessment under the PART process. Targeting PART assessments based 
on such factors as the relative priorities, costs, and risks associated 
with related clusters of programs and activities addressing common 
strategic and performance goals not only could help ration scarce 
analytic resources but also could focus decision makers' attention on 
the most pressing policy and program issues. Moreover, such an approach 
could facilitate the use of PART assessments to review the relative 
contributions of similar programs to common or crosscutting goals and 
outcomes established through the GPRA process.

The Importance of Congressional and Other Stakeholder Involvement:

We have previously reported[Footnote 11] that stakeholder involvement 
appears critical for getting consensus on goals and measures. In fact, 
GPRA requires agencies to consult with Congress and solicit the views 
of other stakeholders as they develop their strategic plans.[Footnote 
12] Stakeholder involvement can be particularly important for federal 
agencies because they operate in a complex political environment in 
which legislative mandates are often broadly stated and some 
stakeholders may strongly disagree about the agency's mission and 
goals.

The relationship between PART and its process and the broader GPRA 
strategic planning process is still evolving. As part of the executive 
branch budget formulation process, PART must clearly serve the 
President's interests. Some tension about the amount of stakeholder 
involvement in the internal deliberations surrounding the development 
of PART measures and the broader consultations more common to the GPRA 
strategic planning process is inevitable. Compared to the relatively 
open-ended GPRA process, any budget formulation process is likely to 
seem closed.

Yet, we must ask whether the broad range of congressional officials 
with a stake in how programs perform will use PART assessments unless 
they believe the reviews reflect a consensus about performance goals 
among a community of interests, target performance issues that are 
important to them as well as the administration, and are based on an 
evaluation process that they have confidence in. Similarly, the 
measures used to demonstrate progress toward a goal, no matter how 
worthwhile, cannot serve the interests of a single stakeholder or 
purpose without potentially discouraging use of this information by 
others. Accordingly, if PART is to be accepted as other than one 
element in the development of the President's budget proposal, 
congressional understanding and acceptance of the tool and analysis 
will be important.

Congress has a number of opportunities to provide its perspective on 
performance issues and performance goals, such as when it establishes 
or reauthorizes a new program, during the annual appropriations 
process, and in its oversight of federal operations. In fact, these 
processes already reflect GPRA's influence. Reviews of language in 
public laws and committee reports show an increasing number of 
references to GPRA-related provisions. What is missing is a mechanism 
to systematically coordinate a congressional perspective.

In our report, we have suggested steps for both OMB and the Congress to 
take to strengthen the dialogue between executive officials and 
congressional stakeholders. We have recommended that OMB reach out to 
key congressional committees early in the PART selection process to 
gain insight about which program areas and performance issues 
congressional officials consider warrant PART review. Engaging Congress 
early in the process may help target reviews with an eye toward those 
areas most likely to be on the agenda of the Congress, thereby better 
ensuring the use of performance assessments in resource allocation 
processes throughout government. We have also suggested that Congress 
consider the need to develop a more systematic vehicle for 
communicating its top performance concerns and priorities; develop a 
more structured oversight agenda to prompt a more coordinated 
congressional perspective on crosscutting performance issues; and use 
this agenda to inform its authorization, appropriations, and oversight 
processes.

Concluding Observations:

The PART process is the latest initiative in a long-standing series of 
reforms undertaken to improve the link between performance information 
and budget decisions. Although each of the initiatives of the past 
appears to have met with an early demise, in fact, subsequent reforms 
were strengthened by building on the legacy left by their predecessors. 
Prior reforms often failed because they were not relevant to resource 
allocation and other decision making processes, thereby eroding the 
incentives for federal agencies to improve their planning, data, and 
evaluations.

Unlike many of those past initiatives, GPRA has been sustained since 
its passage 10 years ago, and evidence exists that it has become more 
relevant than its predecessors. PART offers the potential to build on 
the infrastructure of performance plans and information ushered in by 
GPRA and the law's intent to promote the use of these plans in resource 
allocation decision making. GPRA improved the supply of plans and 
information, while PART can prompt greater demand for this information 
by decision makers. Potentially, enhancing interest and use may bring 
about greater incentives by agencies to devote scarce resources to 
improving their information and evaluations of federal programs as 
well.

Increasing the use and usefulness of performance data is not only 
important to sustain performance management reforms, but to improve the 
processes of decision making and governance. Many in the U.S. believe 
there is a need to establish a comprehensive portfolio of key national 
performance indicators. This will raise complex issues ranging from 
agreement on performance areas and indicators to getting and sharing 
reliable information for public planning, decision making, and 
accountability. In this regard, the entire agenda of management reform 
at the federal level has been focused on shifting decision making and 
agency management from process to results. Although the PART is based 
on changing the orientation of budgeting, other initiatives championed 
by Congress and embodied in the PMA are also devoted to improving the 
accountability for performance goals in agency human capital 
management, financial management, competitive sourcing, and other key 
management areas.

In particular, we have reported that human capital--or people--is at 
the center of any serious change management initiative. Thus, strategic 
human capital management is at the heart of government transformation. 
High-performing organizations strengthen the alignment of their GPRA 
strategic and performance goals with their daily operations. In that 
regard, performance management systems can be a vital--but currently 
largely unused tool--to align an organization's operations with 
individual day-to-day activities. As we move forward to strengthen 
government performance and accountability, effective performance 
management systems can be a strategic tool to drive internal change and 
achieve desired results.

The question now is how to enhance the credibility and use of the PART 
process as a tool to focus decisions on performance. In our report, we 
make seven recommendations to OMB and a suggestion to Congress to 
better support the kind of collaborative approach to performance 
budgeting that very well may be essential in a separation of powers 
system like ours. Our suggestions cover several key issues that need to 
be addressed to strengthen and help sustain the PART process. We 
recommend that the OMB Director take the following actions:

* Centrally monitor agency implementation and progress on PART 
recommendations and report such progress in OMB's budget submission to 
Congress. Governmentwide councils may be effective vehicles for 
assisting OMB in these efforts.

* Continue to improve the PART guidance by (1) expanding the discussion 
of how the unit of analysis is to be determined to include trade-offs 
made when defining a unit of analysis, implications of how the unit of 
analysis is defined, or both; (2) clarifying when output versus outcome 
measures are acceptable; and (3) better defining an "independent, 
quality evaluation.":

* Clarify OMB's expectations to agencies regarding the allocation of 
scarce evaluation resources among programs, the timing of such 
evaluations, as well as the evaluation strategies it wants for the 
PART, and consider using internal agency evaluations as evidence on a 
case-by-case basis--whether conducted by agencies, contractors, or 
other parties.

* Reconsider plans for 100 percent coverage of federal programs and, 
instead, target for review a significant percentage of major and 
meaningful government programs based on such factors as the relative 
priorities, costs, and risks associated with related clusters of 
programs and activities.

* Maximize the opportunity to review similar programs or activities in 
the same year to facilitate comparisons and trade-offs.

* Attempt to generate, early in the PART process, an ongoing, 
meaningful dialogue with congressional appropriations, authorization, 
and oversight committees about what they consider to be the most 
important performance issues and program areas that warrant review.

* Seek to achieve the greatest benefit from both GPRA and PART by 
articulating and implementing an integrated, complementary 
relationship between the two.

In its comments on our report, OMB outlined actions it is taking to 
address several of these recommendations, including refining the 
process for monitoring agencies' progress in implementing the PART 
recommendations, seeking opportunities for dialogue with Congress on 
agencies' performance, and continuing to improve executive branch 
implementation of GPRA plans and reports.

Our recommendations to OMB are partly directed at fortifying and 
enhancing the credibility of the PART itself and the underlying data 
used to make the judgments. Decision makers across government are more 
likely to rely on PART data and assessments if the underlying 
information and the rating process are perceived as being credible, 
systematic, and consistent. Enhanced OMB guidance and improved 
strategies for obtaining and evaluating program performance data are 
vital elements.

The PART process can be made more sustainable if the use of analytic 
resources at OMB and the agencies is rationalized by reconsidering the 
goal of 100 percent coverage of all federal programs. Instead, we 
suggest a more strategic approach to target assessments on related 
clusters of programs and activities. A more targeted approach stands a 
better chance of capturing the interest of decision makers throughout 
the process by focusing their attention on the most pressing policy and 
program issues on how related programs and tools affect broader 
crosscutting outcomes and goals. Unfortunately, the governmentwide 
performance plan required by GPRA has never been engaged to drive 
budgeting in this way.

Improving the integration of inherently separate but interrelated 
strategic planning and performance budgeting processes can help support 
a more strategic focus for PART assessments. GPRA's strategic planning 
goals could be used to anchor the selection and review of programs by 
providing a foundation to assess the relative contribution of related 
programs and tools to broader performance goals and outcomes.

Finally, refining the PART questionnaire and review process, and 
improving the quality of data are important, but the question of whose 
interests drive the process is perhaps paramount in our system. 
Ultimately, the impact of PART on decision making will be a function 
not only of the President's decisions, but of congressional decisions 
as well.

Much is at stake in the development of a collaborative performance 
budgeting process. Not only might the PART reviews come to be 
disregarded absent congressional involvement, but more important, 
Congress will lose an opportunity to use the PART process to improve 
its own decision making and oversight processes.

This is an opportune time for the executive branch and Congress to 
carefully consider how agencies and committees can best take advantage 
of and leverage the new information and perspectives coming from the 
reform agenda under way in the executive branch. Ultimately, the 
specific approach or process is not important. We face a long-term 
fiscal imbalance, which will require us to reexamine our existing 
policies and programs. It is all too easy to accept "the base" as given 
and to subject only new proposals to scrutiny and analysis. The norm 
should be to reconsider the relevance or "fit" of any federal program, 
policy, or activity in today's world and for the future.

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

For future contacts regarding this testimony, please call Paul L. 
Posner, Managing Director, Federal Budget Issues, at (202) 512-9573. 
Individuals making key contributions to this testimony included Denise 
M. Fantone and Jacqueline Nowicki.

(450291):

FOOTNOTES

[1] Pub. L. No. 103-62 (1993).

[2] U.S. General Accounting Office, Performance Budgeting: Past 
Initiatives Offer Insights for GPRA Implementation, GAO/AIMD-97-46 
(Washington, D.C.: Mar. 27, 1997).

[3] See Pub. L. No. 103-62 § 2 (1993), 5 U.S.C. § 306 (2003), and 31 
U.S.C. §§ 1115-1116 (2003).

[4] In addition to budget and performance integration, the other four 
priorities under the PMA are strategic management of human capital, 
expanded electronic government, improved financial performance, and 
competitive sourcing. 

[5] There is no standard definition for the term "program." For 
purposes of PART, OMB described the unit of analysis (program) as (1) 
an activity or set of activities clearly recognized as a program by the 
public, OMB, or Congress; (2) having a discrete level of funding 
clearly associated with it; and (3) corresponding to the level at which 
budget decisions are made.

[6] The seven major categories are competitive grants, block/formula 
grants, capital assets and service acquisition programs, credit 
programs, regulatory-based programs, direct federal programs, and 
research and development programs. Tax programs were not addressed for 
the fiscal year 2004 PART process.

[7] U.S. General Accounting Office, Performance Budgeting: Observations 
on the Use of OMB's Program Assessment Rating Tool for the Fiscal Year 
2004 Budget, GAO-04-174 (Washington, D.C.: Jan. 30, 2004).

[8] The 234 programs assessed for fiscal year 2004 contained a total of 
612 recommendations.

[9] U.S. General Accounting Office, Program Evaluation: Agencies 
Challenged by New Demand for Information on Program Results, GAO/GGD-
98-53 (Washington, D.C.: Apr. 24, 1998).

[10] OMB Circular A-11, Preparation, Submission, and Execution of the 
Budget.

[11] U.S. General Accounting Office, Agencies' Strategic Plans Under 
GPRA: Key Questions to Facilitate Congressional Review (Version 1), 
GAO/GGD-10.1.16 (Washington, D.C.: May 1997).

[12] 5 U.S.C. § 306(d) (2003).