This is the accessible text file for GAO report number GAO-04-158T 
entitled 'Defense Health Care: DOD Needs to Improve Force Health 
Protection and Surveillance Processes' which was released on October 
16, 2003.

This text file was formatted by the U.S. General Accounting Office 
(GAO) to be accessible to users with visual impairments, as part of a 
longer term project to improve GAO products' accessibility. Every 
attempt has been made to maintain the structural and data integrity of 
the original printed product. Accessibility features, such as text 
descriptions of tables, consecutively numbered footnotes placed at the 
end of the file, and the text of agency comment letters, are provided 
but may not exactly duplicate the presentation or format of the printed 
version. The portable document format (PDF) file is an exact electronic 
replica of the printed version. We welcome your feedback. Please E-mail 
your comments regarding the contents or accessibility features of this 
document to Webmaster@gao.gov.

This is a work of the U.S. government and is not subject to copyright 
protection in the United States. It may be reproduced and distributed 
in its entirety without further permission from GAO. Because this work 
may contain copyrighted images or other material, permission from the 
copyright holder may be necessary if you wish to reproduce this 
material separately.

Testimony:

Before the Committee on Veterans' Affairs, House of Representatives:

United States General Accounting Office:

GAO:

For Release on Delivery:

Expected at 10:00 a.m. EDT:

Thursday, October 16, 2003:

Defense Health Care:

DOD Needs to Improve Force Health Protection and Surveillance 
Processes:

Statement of Neal P. Curtin:

Director, Defense Capabilities and Management 

GAO-04-158T:

GAO Highlights:

Highlights of GAO-04-158T, testimony before the Committee on Veterans’ 
Affairs, House of Representatives 

Why GAO Did This Study:

Following the 1990-91 Persian Gulf War, many servicemembers 
experienced health problems that they attributed to their military
service in the Persian Gulf. However, a lack of servicemember health 
and deployment data hampered subsequent investigations into the nature 
and causes of these illnesses. Public Law 105-85, enacted in November 
1997, required the Department of Defense (DOD) to establish a system 
to assess the medical condition of service members before and after 
deployments. GAO reported on (1) the Army’s and Air Force’s compliance 
with DOD’s force health protection and surveillance requirements for 
servicemembers deploying in support of Operation Enduring Freedom 
(OEF) in Central Asia and Operation Joint Guardian (OJG) in Kosovo and 
(2) the status of DOD efforts to correct problems related to the 
accuracy and completeness of databases reflecting which servicemembers 
were deployed to certain locations. (Defense Health Care: Quality 
Assurance Process Needed to Improve Force Health Protection and 
Surveillance [GAO-03-1041, Sept. 19, 2003])

GAO was asked to testify on its findings regarding the Army’s and Air 
Force’s compliance with DOD’s force health protection and surveillance 
policies. For its report, GAO reviewed records for statistical samples 
of active duty servicemembers at four military installations.

What GAO Found:

The Army and Air Force—the focus of GAO’s review—did not comply with 
DOD’s force health protection and surveillance policies for many 
active duty servicemembers, including the policies that they be 
assessed before and after deploying overseas, that they receive 
certain immunizations, and that health-related documentation be 
maintained in a centralized location. GAO’s review of 1,071 
servicemembers’ medical records from a universe of 8,742 at selected 
Army and Air Force installations participating in overseas operations 
disclosed that 38 to 98 percent of servicemembers were missing one or 
both of their health assessments and as many as 36 percent were 
missing two or more of the required immunizations.

GAO found that many servicemembers’ medical records did not include 
health assessments found in DOD’s centralized database. Similarly, DOD 
also did not maintain a complete, centralized database of 
servicemembers’ health assessments and immunizations. Health-related 
documentation missing from the centralized database ranged from 0 to 
63 percent for pre-deployment assessments, 11 to 75 percent for post-
deployment assessments, and 8 to 93 percent for immunizations. There 
was no effective quality assurance program at the Office of the 
Assistant Secretary of Defense for Health Affairs or at the Army or 
Air Force that helped ensure compliance with policies. GAO believes 
that the lack of such a program was a major cause of the high rate of 
noncompliance. Continued noncompliance with these policies may result 
in servicemembers deploying with health problems or delays in 
obtaining care when they return. Finally, DOD’s centralized deployment 
database is still missing the information needed to track 
servicemembers’ movements in the theater of operations. By July 2003, 
the department’s data center had begun receiving location-specific 
deployment information from the services and is currently reviewing 
its accuracy and completeness.

GAO’s report recommended that DOD establish an effective quality 
assurance program that will ensure that the military services comply 
with the force health protection and surveillance policies for all 
servicemembers.

DOD agreed with the recommendation and outlined a number of actions 
the military services are already taking to implement their quality 
assurance programs. While we view these actions as responsive to our 
recommendation, the effectiveness of these actions to ensure 
compliance will depend on follow-through by DOD and the services.

www.gao.gov/cgi-bin/getrpt?GAO-04-158T.

To view the full testimony, click on the link above. For more 
information, contact Neal Curtin at (757) 552-8100.

[End of section]

Mr. Chairman and Members of the Committee:

I am pleased to be here as you discuss health assessments and the 
importance of complete medical records for our servicemembers. Both the 
Department of Defense (DOD) and the Department of Veterans Affairs (VA) 
need this information to perform their missions. DOD needs health 
status information and complete medical records to help ensure the 
deployment of healthy forces and the continued fitness of those forces. 
VA's Veterans Benefits Administration uses health information to 
adjudicate veterans' claims for disability compensation related to 
service-connected injuries or illnesses. As you know, VA's Veterans 
Health Administration needs complete and accurate medical records 
documenting all medical care for individual servicemembers are needed 
for the delivery of high-quality, post-deployment care. In this 
context, you asked us to discuss our recent report on the Army's and 
Air Force's compliance with DOD's force health protection and 
surveillance policies that require servicemembers to be assessed before 
and after deploying overseas, that require servicemembers to receive 
certain immunizations, and that require health-related documentation to 
be maintained in a centralized location.

Following the 1990-91 Persian Gulf War, many servicemembers experienced 
health problems that they attributed to their military service in the 
Persian Gulf. However, subsequent investigations into the nature and 
causes of these illnesses were hampered by a lack of servicemember 
health and deployment data. Moreover, in May 1997, we reported on 
several similar problems associated with the implementation of the DOD 
deployment health surveillance policies for servicemembers deployed to 
Bosnia in support of a peacekeeping operation.[Footnote 1]

In response, the Congress enacted legislation[Footnote 2] in November 
1997 requiring DOD to establish a system for assessing the medical 
condition of servicemembers before and after their deployment to 
locations outside the United States and requiring the centralized 
retention of certain health-related data associated with the 
servicemember's deployment. The system is to include the use of pre-
deployment and post-deployment medical examinations, including an 
assessment of mental health and the drawing of blood samples. DOD has 
implemented specific force health protection and surveillance 
policies. These policies include pre-deployment and post-deployment 
health assessments designed to identify health issues or concerns that 
may affect the deployability of servicemembers or that may require 
medical attention; pre-deployment immunizations to address possible 
health threats in deployment locations; pre-deployment screening for 
tuberculosis; and the retention of blood serum samples on file prior to 
deployment. In February 2002, we testified before the Subcommittee on 
Health of this Committee that DOD had several initiatives under way to 
improve the reliability of deployment information and to enhance its 
information technology capabilities, as we and others have 
recommended.[Footnote 3] Although its recent policies and 
reorganization reflect a commitment by DOD to establish a comprehensive 
medical surveillance system, much needed to be done to implement 
the system.

My testimony today is based on our September 2003 report on the Army's 
and Air Force's compliance with DOD's force health protection and 
surveillance policies for active duty deployments for Operation 
Enduring Freedom (OEF) in Central Asia and Operation Joint Guardian 
(OJG) in Kosovo.[Footnote 4] We also examined whether DOD has corrected 
problems related to the accuracy and completeness of databases 
reflecting which servicemembers deployed to certain locations.

To do our work, we obtained the force health protection and 
surveillance policies applicable to the OEF and OJG deployments from 
the Army, Air Force, combatant commanders, the office of the Assistant 
Secretary of Defense, and the services' Surgeons General. To test the 
implementation of these policies, we reviewed statistical samples 
totaling 1,071 active duty servicemembers selected from a universe of 
8,742 active duty servicemembers at four military 
installations.[Footnote 5] To provide assurances that our review of the 
selected medical records was accurate, we requested the installations' 
medical personnel to reexamine those medical records that were missing 
required health assessments or immunizations and adjusted our results 
where documentation was subsequently identified. We also requested 
installation medical personnel to check all possible sources for 
missing pre-deployment and post-deployment health assessments and 
missing immunizations. We also requested the U.S. Special Operations 
Command (SOCOM) to query its database for health-related documentation 
for servicemembers in our sample at one of the selected installations. 
We also examined, for Army and Air Force servicemembers in our samples, 
the completeness of the centralized records at the Army Medical 
Surveillance Activity[Footnote 6] (AMSA), which is tasked with 
centrally collecting deployment health-related records. Further, we 
interviewed officials at the office of the Deployment Health Support 
Directorate and at the Defense Manpower Data Center (DMDC) regarding 
the accuracy and completeness of DMDC's personnel deployment database 
and planned improvements. We conducted our work from June 2002 through 
July 2003 in accordance with generally accepted government auditing 
standards.

Summary:

In summary, the Army and Air Force did not comply with DOD's force 
health protection and surveillance policies for many of the 
servicemembers at the installations we visited. Our review of medical 
records at those installations disclosed that problems continue to 
exist in several areas.

* Deployment health assessments. The percentage of Army and Air Force 
servicemembers missing one or both of their pre-deployment and post-
deployment health assessments ranged from 38 to 98 percent of our 
samples. Moreover, when health assessments were conducted, as many as 
45 percent of them were not done within the required time frames. 
Furthermore, a health care provider did not review all health 
assessments and, although only a small number of assessments in our 
samples indicated a health concern, large percentages of these 
assessments were not referred for further consultations as required.

* Immunizations and other pre-deployment requirements. Servicemembers 
missing evidence of receiving one of the pre-deployment immunizations 
required for their deployment location ranged from 14 percent to 
46 percent. As many as 36 percent of the servicemembers were missing 
two or more of their required immunizations. Furthermore, 
servicemembers missing current tuberculosis screening at the time of 
their deployment ranged from 7 to 40 percent. As many as 29 percent of 
the servicemembers in our samples had blood serum samples in the 
repository older than the required maximum age of 1 year at the time of 
deployment, ranging, on average, from 2 to 15 months out-of-date.

* Completeness of medical records and centralized data collection. 
Servicemembers' permanent medical records at the Army and Air Force 
installations we visited did not include documentation of the completed 
health assessments that we found at AMSA and at the U.S. Special 
Operations Command, ranging from 8 to 100 percent for pre-deployment 
health assessments and from 11 to 62 percent for post-deployment 
health assessments. Our review also disclosed that the AMSA database 
was still, over 5 years after congressional action, lacking 
documentation of many health assessments and immunizations that we 
found in the servicemembers' medical records at the installations 
visited. Specifically, health-related documentation missing from the 
centralized database ranged from 0 to 63 percent for pre-deployment 
health assessments, 11 to 75 percent for post-deployment health 
assessments, and 8 to 93 percent for immunizations.

Furthermore, DOD did not have oversight of departmentwide efforts to 
comply with health surveillance requirements. There was no effective 
quality assurance program at the Office of the Assistant Secretary of 
Defense for Health Affairs or at the Offices of the Surgeons' General 
of the Army or Air Force that helped ensure compliance with force 
health protection and surveillance policies. We believe the lack of 
such a system was a major cause of the high rate of noncompliance we 
found at the units we visited. Continued noncompliance with these 
policies may result in servicemembers being deployed with unaddressed 
health problems or without immunization protection. Furthermore, 
incomplete and inaccurate medical records may hinder DOD's and VA's 
ability to investigate the causes of any future health problems that 
may arise coincident with deployments.

Also, DOD has not corrected the problems we identified in 1997 that 
were related to the completeness and accuracy of a central personnel 
deployment database that is designed to collect data reflecting which 
servicemembers deployed to certain locations. DMDC's deployment 
database still does not include the information needed for effective 
deployment health surveillance. Prior to April 2003, the services were 
not reporting location-specific deployment data to the DMDC because, 
according to a DMDC official, the services did not maintain the data. 
By July 2003, all of the services had begun submitting classified 
deployment data to DMDC, which is currently reviewing the deployment 
information received to determine its accuracy and completeness. 
However, DMDC still does not have a system to track the movement of 
servicemembers within a given theater, because this information has not 
been available from the services and the development of a new tracking 
system at the service unit level may be required. DOD is developing a 
new system for tracking the movements of servicemembers and civilian 
personnel in the theater of operation with plans for implementation by 
about September 2005 for the Army and by 2007 or early calendar year 
2008 for the other services.

We recommended that the Secretary of Defense direct the Assistant 
Secretary of Defense for Health Affairs to establish an effective 
quality assurance system to ensure that the military services comply 
with force health protection and surveillance requirements for all 
servicemembers. DOD agreed with our recommendation and outlined a 
number of actions the military services are already taking to implement 
their quality assurance programs. While we view these actions as 
responsive to our recommendation, the effectiveness of these actions to 
ensure compliance will depend on follow-through by DOD and the 
services.

Background:

In May 1997, we reported on DOD's actions to improve deployment 
health surveillance before, during, and after deployments, focusing on 
Operation Joint Endeavor, which was conducted in the countries of 
Bosnia-Herzegovina, Croatia, and Hungary.[Footnote 7] Our 1997 review 
disclosed problems with the Army's implementation of the medical 
surveillance plan for Operation Joint Endeavor in the following areas:

* Medical assessments. Many Army personnel who should have received 
post-deployment medical assessments did not receive them and the 
assessments that were completed were frequently done late.

* Medical record keeping. Many of the servicemembers' medical records 
that we reviewed were incomplete and missing documentation of 
in-theater post-deployment medical assessments, medical visits during 
deployment, and receipt of an investigational new vaccine.

* Centralized database. The centralized database for collecting in-
theater and home unit post-deployment medical assessments was 
incomplete for many Army personnel.

* Deployment information. DOD officials considered the database used 
for tracking the deployment of Air Force and Navy personnel inaccurate.

Following the publication of our report, the Congress, in November 
1997, included a provision in the Defense Authorization Act for Fiscal 
Year 1998 requiring the Secretary of Defense to establish a medical 
tracking system for servicemembers deployed overseas as follows:

"(a) SYSTEM REQUIRED--The Secretary of Defense shall establish a system 
to assess the medical condition of members of the armed forces 
(including members of the reserve components) who are deployed outside 
the United States or its territories or possessions as part of a 
contingency operation (including a humanitarian operation, 
peacekeeping operation, or similar operation) or combat operation.

"(b) ELEMENTS OF SYSTEM--The system described in subsection (a) shall 
include the use of predeployment medical examinations and 
postdeployment medical examinations (including an assessment of mental 
health and the drawing of blood samples) to accurately record the 
medical condition of members before their deployment and any changes in 
their medical condition during the course of their deployment. The 
postdeployment examination shall be conducted when the member is 
redeployed or otherwise leaves an area in which the system is in 
operation (or as soon as possible thereafter).

"(c) RECORDKEEPING--The results of all medical examinations conducted 
under the system, records of all health care services (including 
immunizations) received by members described in subsection (a) in 
anticipation of their deployment or during the course of their 
deployment, and records of events occurring in the deployment area that 
may affect the health of such members shall be retained and maintained 
in a centralized location to improve future access to the records.

"(d) QUALITY ASSURANCE--The Secretary of Defense shall establish a 
quality assurance program to evaluate the success of the system in 
ensuring that members described in subsection (a) receive predeployment 
medical examinations and postdeployment medical examinations and that 
the recordkeeping requirements with respect to the system 
are met."[Footnote 8]

As set forth above, these provisions require the use of pre-deployment 
and post-deployment medical examinations to accurately record the 
medical condition of servicemembers before deployment and any changes 
during their deployment. In a June 30, 2003, correspondence with the 
General Accounting Office, the Assistant Secretary of Defense for 
Health Affairs stated that "it would be logistically impossible to 
conduct a complete physical examination on all personnel immediately 
prior to deployment and still deploy them in a timely manner." 
Therefore, DOD required both pre-deployment and post-deployment health 
assessments for servicemembers who deploy for 30 or more continuous 
days to a land-based location outside the United States without a 
permanent U.S. military treatment facility. Both assessments use a 
questionnaire designed to help military healthcare providers in 
identifying health problems and providing needed medical care. The pre-
deployment health assessment is generally administered at the home 
station before deployment, and the post-deployment health assessment is 
completed either in theater before redeployment to the servicemember's 
home unit or shortly upon redeployment.

As a component of medical examinations, the statute quoted above also 
requires that blood samples be drawn before and after a servicemember's 
deployment. DOD Instruction 6490.3, August 7, 1997, requires that a 
pre-deployment blood sample be obtained within 12 months of the 
servicemember's deployment.[Footnote 9] However, it requires the blood 
samples be drawn upon return from deployment only when directed by the 
Assistant Secretary of Defense for Health Affairs. According to DOD, 
the implementation of this requirement was based on its judgment that 
the Human Immunodeficiency Virus serum sampling taken independent of 
deployment actions is sufficient to meet both pre-deployment and post-
deployment health needs, except that more timely post-deployment 
sampling may be directed when based on a recognized health threat or 
exposure. Prior to April 2003, DOD did not require a post-deployment 
blood sample for servicemembers supporting the OEF and OJG deployments.

In April 2003, DOD revised its health surveillance policy for blood 
samples and post-deployment health assessments. Effective May 22, 2003, 
the services are required to draw a blood sample from each redeploying 
servicemember no later than 30 days after arrival at a demobilization 
site or home station.[Footnote 10] According to DOD, this requirement 
for post-deployment blood samples was established in response to an 
assessment of health threats and national interests associated with 
current deployments. The department also revised its policy guidance 
for enhanced post-deployment health assessments to gather more 
information from deployed servicemembers about events that occurred 
during a deployment. More specifically, the revised policy requires 
that a trained health care provider conduct a face-to-face health 
assessment with each returning servicemember to ascertain (1) the 
individual's responses to the health assessment questions on the post-
deployment health assessment form; (2) the presence of any mental 
health or psychosocial issues commonly associated with deployments; (3) 
any special medications taken during the deployment; and (4) concerns 
about possible environmental or occupational exposures.

The Army and Air Force Did Not Comply with Deployment Health 
Surveillance Policies for Many Servicemembers:

The Army and Air Force did not comply with DOD's force health 
protection and surveillance requirements for many of the servicemembers 
in our samples at the selected installations we visited. Specifically, 
these Army and Air Force servicemembers were missing: pre-deployment 
and/or post-deployment health assessments; evidence of receiving one or 
more of the pre-deployment immunizations required for their deployment 
location; and other pre-deployment requirements related to tuberculosis 
screening and blood serum sample storage. Also, servicemembers' 
permanent medical records were missing required health-related 
information, and DOD's centralized database did not include 
documentation of servicemember health-related information. Neither the 
installations nor DOD had monitoring and oversight mechanisms in place 
to help ensure that the force health protection and surveillance 
requirements were met for all servicemembers.

Many Servicemembers Lacked Pre-deployment and Post-deployment Health 
Assessments:

We found that servicemembers missing one or both of their pre-
deployment and post-deployment assessments ranged from 38 to 98 percent 
in our samples.[Footnote 11] For example, at Fort Campbell for the OEF 
deployment we found that 68 percent of the 222 active duty 
servicemembers in our sample were missing either one or both of the 
required pre-deployment and post-deployment health assessments. The 
results of our statistical samples for the deployments at the 
installations visited are depicted in figure 1.

Figure 1: Percent of Servicemembers Missing One or Both Health 
Assessments:

[See PDF for image]

Notes: = 95 percent confidence interval, upper and lower bounds for 
each estimate.

These percentages reflect assessments from all sources and without 
regard to timeliness.

[End of figure]

For those servicemembers in our samples who had completed 
pre-deployment or post-deployment health assessments, we found that as 
many as 45 percent of the assessments in our samples were not completed 
on time in accordance with requirements. DOD policy requires that 
servicemembers complete a pre-deployment health assessment form within 
30 days of their deployment and a post-deployment health assessment 
form within 5 days upon redeployment back to their home 
station.[Footnote 12] These time frames were established to allow time 
to identify and resolve any health concerns or problems that may affect 
the ability of the servicemember to deploy, and to promptly identify 
and address any health concerns or problems that may have arisen during 
the servicemember's deployment. Additionally, DOD policy requires that 
pre-deployment and post-deployment health assessments are to be 
reviewed immediately by a health care provider to identify any medical 
care needed by the servicemember.[Footnote 13] We found, however, that 
not all health assessments were reviewed by a health care provider 
as required.

The services did not refer some servicemember health assessments 
that indicated a need for further consultation. According to DOD 
policy, a medical provider, namely a physician, physician's assistant, 
nurse, or independent duty medical technician is required to further 
review a servicemember's need for specialty care when the member's 
pre-deployment and/or post-deployment health assessment indicates 
health concerns such as unresolved medical or dental problems or plans 
to seek mental health counseling or care.[Footnote 14] This follow-up 
may take the form of an interview or examination of the servicemember, 
and forms the basis of a decision as to whether a referral for further 
specialty care is warranted. In our samples, the number of assessments 
that indicated a health concern was relatively small, but 
large percentages of these assessments were not referred for further 
specialty care. For example, our sample at Travis Air Force Base 
included five pre-deployment health assessments that indicated a health 
concern, but four (80 percent) of the health assessments were not 
referred for further specialty care.

Noncompliance with the requirement for pre-deployment health 
assessments may result in servicemembers with existing health problems 
or concerns being deployed with unaddressed health problems. Also, 
failure to complete post-deployment health assessments may risk a delay 
in obtaining appropriate medical follow-up attention for a health 
problem or concern that may have arisen during or following the 
deployment.

Immunizations and Other Pre-Deployment Health Requirements Not Met:

Based on our samples, the services did not fully meet immunization 
and other pre-deployment requirements. Evidence of pre-deployment 
immunizations receipt was missing from many servicemembers' medical 
records. Servicemembers missing the required immunizations may not have 
the immunization protection they need to counter theater disease 
threats. Based on our review of servicemember medical records for the 
deployments at the four installations we visited, we found that between 
14 and 46 percent of the servicemembers were missing one of their 
required immunizations prior to deployment (see fig. 2). Furthermore, 
as many as 36 percent of the servicemembers were missing two or more of 
their required immunizations.

Figure 2: Percent of Servicemembers Missing Required Immunizations:

[See PDF for image]

Notes: = 95 percent confidence interval, upper and lower bounds for 
each estimate.

[End of figure]

The U.S. Central Command required the following pre-deployment 
immunizations for all servicemembers that deployed to Central Asia 
in support of OEF: hepatitis A (two-shot series); measles, mumps, and 
rubella; polio; tetanus/diphtheria within the last 10 years; yellow 
fever within the last 10 years; typhoid within the last 5 years; 
influenza within the last 12 months; and meningococcal within the last 
5 years.[Footnote 15] For OJG deployments, the U.S. European Command 
required the same immunizations cited above, with the exception of the 
yellow fever inoculation that was not required for Kosovo.[Footnote 16]

Furthermore, deploying servicemembers in our review that were missing a 
current tuberculosis screening ranged from 7 to 40 percent. A screening 
is deemed "current" if it occurred 1 to 2 years prior to deployment. 
Specifically, the U.S. Central Command required servicemembers 
deploying to Central Asia in support of OEF to be screened for 
tuberculosis within 12 months of deployment.[Footnote 17] For OJG 
deployments, the U.S. European Command required Army and Air Force 
servicemembers to be screened for tuberculosis with 24 months of 
deployment.[Footnote 18]

U.S. Central Command and U.S. European Command policies require that 
deploying servicemembers have a blood serum sample in the serum 
repository not older than 12 months prior to deployment.[Footnote 19] 
While nearly all deploying servicemembers had blood serum samples held 
in the Armed Services Serum Repository prior to deployment, as many as 
29 percent had serum samples that were too old. The samples that were 
too old ranged, on average, from 2 to 15 months out-of-date.

Servicemember Medical Records and Centralized Database 
Were Not Complete:

Servicemembers' permanent medical records were not complete, and DOD's 
centralized database did not include documentation of servicemember 
health-related information. Many servicemembers' permanent medical 
records at the Army and Air Force installations we visited did not 
include documentation of completed health assessments and servicemember 
visits to Army battalion aid stations. Similarly, the centralized 
deployment record database did not include many of the deployment 
health assessments and immunization records that we found in the 
servicemembers' medical records at the installations we visited.

Many Completed Deployment Health Assessments and Medical Interventions 
Were Not Documented in Servicemembers' Medical Record:

DOD policy requires that the original completed pre-deployment 
and post-deployment health assessment forms be placed in the 
servicemember's permanent medical record and that a copy be 
forwarded to AMSA.[Footnote 20] Figure 3 shows that completed 
assessments we found at AMSA and at the U.S. Special Operations Command 
for servicemembers in our samples were not documented in the 
servicemember's permanent medical record, ranging from 8 to 
100 percent for pre-deployment health assessments and from 11 to 
62 percent for post-deployment health assessments.

Figure 3: Percent of Assessments Found in Centralized Database That 
Were Not Found in Servicemembers' Medical Records:

[See PDF for image]

Notes: = 95 percent confidence interval, upper and lower bounds for 
each estimate.

[A] All three pre-deployment cases at Fort Campbell found in the 
centralized database were missing from servicemembers' medical record, 
but unable to compute confidence intervals due to insufficient size.

[End of figure]

Army and Air Force policies also require documentation in the 
servicemember's permanent medical record of all visits to in-theater 
medical facilities.[Footnote 21] Except for the OEF deployment at Fort 
Drum, officials were unable to locate or access the sign-in logs for 
servicemember visits to in-theater Army battalion aid stations and to 
Air Force expeditionary medical support for the OEF and OJG deployments 
at the installations we visited. Consequently, we limited the scope of 
our review to two battalion aid stations for the OEF deployment at Fort 
Drum. We found that 39 percent of servicemember visits to one battalion 
aid station and 94 percent to the other were not documented in the 
servicemember's permanent medical record. Representatives of the two 
battalion aid stations said that the missing paper forms documenting 
the servicemember visits may have been lost en route to Fort Drum. 
Specifically, a physician's assistant for one of these battalion aid 
stations said the battalion aid station moved three times in theater 
and each time the paper forms used to document in-theater visits were 
boxed and moved with the battalion aid station. Consequently, the forms 
missing from servicemembers' medical records may have been lost en 
route to Fort Drum.

The lack of complete and accurate medical records documenting 
all medical care for the individual servicemember complicates the 
servicemembers' post-deployment medical care. For example, accurate 
medical records are essential for the delivery of high-quality medical 
care and important for epidemiological analysis following deployments. 
According to DOD and VA health officials, the lack of complete and 
accurate medical records complicated the diagnosis and treatment of 
servicemembers who experienced post-deployment health problems that 
they attributed to their military service in the Persian Gulf in 1990-
91.

DOD is implementing the Theater Medical Information Program (TMIP) that 
has the capability to electronically record and store in-theater 
patient medical encounter data. TMIP is currently undergoing 
operational testing by the military services and DOD intends to begin 
fielding TMIP during the first quarter of fiscal year 2004.

Centralized Database Missing Health-Related Documentation:

Based on our samples, DOD's centralized database did not include 
documentation of servicemember health-related information. As set forth 
above, Public Law 105-85, enacted November 1997, requires the Secretary 
of Defense to retain and maintain health-related records in a 
centralized location. This includes records for all medical 
examinations conducted to ascertain the medical condition of 
servicemembers before deployment and any changes during their 
deployment, all health care services (including immunizations) received 
in anticipation of deployment or during the deployment, and events 
occurring in the deployment area that may affect the health of 
servicemembers. A February 2002 Joint Staff memorandum requires the 
services to forward a copy of the completed pre-deployment and post-
deployment health assessments to AMSA for centralized 
retention.[Footnote 22] Also, the U.S. Special Operations Command 
(SOCOM) requires deployment health assessments for special forces units 
to be sent to the Command for centralized retention in the Special 
Operation Forces Deployment Health Surveillance System.[Footnote 23]

Figure 4 depicts the percentage of pre-deployment and post-deployment 
health assessments and immunization records we found in the 
servicemembers' medical records that were not available in a 
centralized database at AMSA or SOCOM. Health-related documentation 
missing from the centralized database ranged from 0 to 63 percent for 
pre-deployment health assessments, 11 to 75 percent for post-deployment 
health assessments, and 8 to 93 percent for immunizations.

Figure 4: Percent of Assessments and Immunizations Found in 
Servicemembers' Medical Records That Were Not Found in the Centralized 
Database:

[See PDF for image]

Notes: = 95 percent confidence interval, upper and lower bounds for 
each estimate.

Centralized database is AMSA for all but Hurlburt Field, which reports 
to either AMSA or SOCOM based on classification of military personnel. 
Hurlburt Field results reflect combined health assessment and 
immunization data found at either AMSA or SOCOM.

[A] Zero cases found in servicemembers' medical record that were not 
found in the centralized database.

[End of figure]

All but one of the servicemembers in our sample at Hurlburt Field were 
special operations forces. A SOCOM official told us that pre-deployment 
and post-deployment health assessment forms for servicemembers in 
special operations force units are not sent to AMSA because the health 
assessments may include classified information that AMSA is not 
equipped to receive. Consequently, SOCOM retains the deployment health 
assessments in its classified Special Operations Forces Deployment 
Health Surveillance System. Also, a SOCOM medical official told us that 
the system does not include pre-deployment immunization data. A 
Deployment Health Support Directorate official told us that the 
Directorate is examining how to remove the classified information from 
the deployment health assessments so that SOCOM can forward the 
assessments to AMSA. For presentation in figure 4, we combined the 
health assessment and immunization data we found at AMSA and SOCOM for 
Hurlburt Field.

An AMSA official believes that missing documentation in the centralized 
database could be traced to the services' use of paper copies of 
deployment health assessments that installations are required to 
forward to the centralized database, and the lack of automation to 
record servicemembers' pre-deployment immunizations. DOD has ongoing 
initiatives to electronically automate the deployment health assessment 
forms and the recording of servicemember immunizations. For example, 
DOD is implementing a comprehensive electronic medical records system, 
known as the Composite Health Care System II, which includes pre-
deployment and post-deployment health assessment forms and the 
capability to electronically record immunizations given to 
servicemembers. DOD has deployed the system at five sites and will be 
seeking approval in August/September 2003 for worldwide 
deployment.[Footnote 24] DOD officials believe that the electronic 
automation of the deployment health-related information will lessen the 
burden of installations in forwarding paper copies and the likelihood 
of information being lost in transit.

DOD and Installations Did Not Have Oversight of Force Health Protection 
and Surveillance Requirements:

DOD did not have an effective quality assurance program to provide 
oversight of, and ensure compliance with, the department's force health 
protection and surveillance requirements. Moreover, the installations 
we visited did not have ongoing monitoring or oversight mechanisms to 
help ensure that force health protection and surveillance requirements 
were met for all servicemembers. We believe that the lack of such a 
system was a major cause of the high rate of noncompliance we found at 
the units we visited. The services are currently developing quality 
assurance programs designed to ensure that force health protection and 
surveillance policies are implemented for servicemembers.

Although required by Public Law 105-85 to establish a quality assurance 
program,[Footnote 25] neither the Assistant Secretary of Defense for 
Health Affairs nor the offices of the Surgeons General of the Army or 
Air Force had established oversight mechanisms that would help ensure 
that force health protection and surveillance requirements were met for 
all servicemembers. Following our visit to Fort Drum in October 2002, 
the Army Surgeon General wrote a memorandum in December 2002 to the 
commanders of the Army Regional Medical Commands that expressed concern 
related to our sample results at Fort Drum. He emphasized the 
importance of properly documenting medical care and directed the 
commanders to accomplish an audit of a statistically significant sample 
of medical surveillance records of all deployed and redeployed soldiers 
at installations supported by their regional commands, provide an 
assessment of compliance, and develop an action plan to improve 
compliance with the requirements.

At three of the four installations we visited, officials told us that 
new procedures were implemented that they believe will improve 
compliance with force health protection and surveillance requirements 
for deployments occurring after those we reviewed. Specifically, 
following our visit to Fort Drum in October 2002, Fort Drum medical 
officials designed a pre-deployment and post-deployment checklist 
patterned after our review that is being used as part of processing 
before servicemembers are deployed and when they return. The officials 
told us that this process has improved their compliance with force 
health protection and surveillance requirements for deployments 
subsequent to our visit. Also, the hospital commander at Fort Campbell 
told us that they implemented procedures that now require all units 
located at Fort Campbell to use the hospital's medical personnel in 
their processing of servicemembers prior to deployment. The hospital 
commander believes that this new requirement will improve compliance 
with the force health protection and surveillance requirements at Fort 
Campbell because the medical personnel will now review whether all 
requirements have been met for the deploying servicemembers. At 
Hurlburt Field, officials told us that they implemented a new 
requirement in November 2002 to withhold payment of travel expenses and 
per diem to re-deploying servicemembers until they complete the post-
deployment health assessment. Officials believe that this change will 
improve servicemembers' completion of the post-deployment health 
assessments. While it is noteworthy that these installations have 
implemented changes that they believe will improve their compliance, 
the actual measure of improvements over time cannot be known unless the 
installations perform periodic reviews of servicemembers' medical 
records to identify the extent of compliance with deployment health 
requirements.

In March 2003, we briefed the Subcommittee on Total Force, House 
Committee on Armed Services, about our interim review results at 
selected military installations.[Footnote 26] Subsequently, at a 
March 2003 congressional hearing, the Subcommittee discussed our 
interim review results with the Assistant Secretary of Defense for 
Health Affairs and the services' Surgeons General. Based on our interim 
results that DOD was not meeting the full requirement of the law and 
the military services were not effectively carrying out many of DOD's 
force health protection and surveillance policies, in May 2003 the 
House Committee on Armed Services directed the Secretary of Defense to 
take measures to improve oversight and compliance. Specifically, in its 
report accompanying the Fiscal Year 2004 National Defense Authorization 
Act, the Committee directed the Secretary of Defense "… to establish a 
quality control program to begin assessing implementation of the force 
health protection and surveillance program, and to provide a strategic 
implementation plan, including a timeline for full implementation of 
all policies and programs, to the Senate Committee on Armed Services 
and the House Committee on Armed Services by March 31, 2004."[Footnote 
27]

In April 2003, the Under Secretary of Defense for Personnel and 
Readiness issued an enhanced post-deployment health assessment policy 
that required the services to develop and implement a quality assurance 
program that encompasses medical record keeping and medical 
surveillance data.[Footnote 28] In June 2003, the Office of Assistant 
Secretary of Defense for Health Affairs' Deployment Health Support 
Directorate began reviewing the services' quality assurance 
implementation plans and establishing DOD-wide compliance metrics--
including parameters for conducting periodic visits--to monitor service 
implementation.

Centralized Deployment Database Still Missing Information Needed for 
Deployment Health Surveillance:

The DMDC deployment database still does not include the deployment 
information we identified in 1997 as needed for effective deployment 
health surveillance. In 1997, we reported that knowing the identity of 
servicemembers who were deployed during a given operation and tracking 
their movements within the theater of operations are major elements of 
a military medical surveillance system.[Footnote 29] The Institute of 
Medicine reported in 2000 that the documentation of the locations of 
units and individuals during a given deployment is important for 
epidemiological studies and for the provision of appropriate medical 
care during and after deployments.[Footnote 30] This information allows 
(1) epidemiologists to study the incidence of disease patterns across 
populations of deployed servicemembers who may have been exposed to 
diseases and hazards within the theater, and (2) health care 
professionals to treat their medical problems appropriately. Because of 
concerns about the accuracy of the DMDC database, we recommended in our 
1997 report that the Secretary of Defense direct an investigation of 
the completeness of the information in the DMDC personnel database and 
take corrective actions to ensure that the deployment information is 
accurate for servicemembers who deploy to a theater.

DOD's established policies notwithstanding, the services did not report 
location-specific deployment information to DMDC prior to April 2003, 
because, according to a DMDC official, the services did not maintain 
the data. DOD Instruction 6490.3, issued in August 1997, requires DMDC, 
under the Department's Under Secretary for Personnel and Readiness, to 
maintain a system that collects information on deployed forces, 
including daily-deployed strength, total and by unit; grid coordinate 
locations for each unit (company size and larger); and inclusive dates 
of individual servicemember's deployment.[Footnote 31] In addition, the 
Joint Chief of Staff's Memorandum MCM-0006-02, dated February 1, 2002, 
required combatant commands to provide DMDC with their theater-wide 
rosters of all deployed personnel, their unit assignments, and the 
unit's geographic locations while deployed.[Footnote 32] This 
memorandum stressed that accurate personnel deployment data is needed 
to assess the significance of medical diseases and injuries in terms of 
the rate of occurrence among deployed servicemembers. The Under 
Secretary of Defense for Personnel and Readiness expressed concern 
about the services' failure to report complete personnel deployment 
data to DMDC in an October 2002 memorandum.[Footnote 33]

To address the services' lack of reporting to DMDC, the Under Secretary 
of Defense for Personnel and Readiness established a tri-service 
working group that outlined a plan of action in March 2003 to address 
the reporting issues. In July 2003, a DMDC official told us that 
significant improvements had recently occurred and that all of the 
services had begun submitting their classified deployment databases--
including deployment locations--to DMDC. DMDC is currently reviewing 
the deployment information submitted by the services to determine its 
accuracy and completeness. It plans to complete this review during the 
summer of 2003.

With regard to DMDC's efforts to create a system for tracking the 
movements of servicemembers within a given theater of operations, DMDC 
officials told us that little progress has been made. They said that 
the primary reason for a lack of progress in developing this system is 
that the source information has generally not been available from the 
services and this may require the development of new tracking systems 
at the unit level. In June 2003, a DMDC official told us that it had 
been recently determined that the Air Force has implemented a theater 
tracking system that may have applicability to the other services. The 
tracking system--known as the Deliberate Crisis and Action Planning and 
Execution Segment (DCAPES)--enables field teams to enter classified 
information about the whereabouts of deployed Air Force personnel at 
the longitude/latitude level of detail. DMDC began receiving 
information from this system in April 2003. The Under Secretary of 
Defense for Personnel and Readiness is reviewing this system to 
determine whether it could be used for the same purposes by the other 
services.

Also, DOD is developing the Defense Integrated Military Human Resource 
System (DIMHRS), which will have the capability to track the movements 
of all servicemembers and civilians in the theater of operations. As of 
June 2003, DOD plans to implement this system for the Army by about 
September 2005 and for the other services by 2007 or early calendar 
year 2008.

Concluding Observations:

While DOD and the military services have established force health 
protection and surveillance policies, at the units we visited we found 
many instances of noncompliance by the services. Moreover, because DOD 
and the services did not have an effective quality assurance program in 
place to help ensure compliance, these problems went undetected and 
uncorrected. Continued noncompliance with these policies may result 
in servicemembers with existing health problems or concerns being 
deployed with unaddressed health problems or without the immunization 
protection they need to counter theater disease threats. Failure to 
complete post-deployment health assessments may risk a delay in 
obtaining appropriate medical follow-up attention for a health problem 
or concern that may have arisen during or following the deployment. 
Similarly, incomplete and inaccurate medical records and deployment 
databases would likely hinder DOD's and VA's ability to investigate the 
causes of any future health problems that may arise coincident with 
deployments.

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

Contacts and Acknowledgments:

For further information regarding this testimony, please contact Neal 
P. Curtin at (757) 552-8100. Clifton Spruill, Steve Fox, Rebecca Beale, 
Lynn Johnson, William Mathers, Terry Richardson, Kristine Braaten, 
Grant Mallie, Herbert Dunn, and R.K. Wild also contributed to this 
testimony.

FOOTNOTES

[1] U.S. General Accounting Office, Defense Health Care: Medical 
Surveillance Improved Since Gulf War, but Mixed Results in Bosnia, GAO/
NSIAD-97-136 (Washington, D.C.: May 13, 1997).

[2] Section 765 of Pub. L. No. 105-85 amended title 10 of the United 
States Code by adding section 1074f.

[3] U.S. General Accounting Office, VA and Defense Health Care: 
Military Medical Surveillance Policies in Place, but Implementation 
Challenges Remain, GAO-02-478T (Washington, D.C.: Feb. 27, 2002).

[4] U.S. General Accounting Office, Defense Health Care: Quality 
Assurance Process Needed to Improve Force Health Protection and 
Surveillance, GAO-03-1041 (Washington, D.C.: Sept. 19, 2003). Moreover, 
we reported in April 2003 and testified in July 2003 on problems 
experienced by the Army in assessing the health status of all early-
deploying reservists. See U.S. General Accounting Office, Defense 
Health Care: Army Needs to Assess the Health Status of All Early-
Deploying Reservists, GAO-03-437 (Washington, D.C.: Apr. 15, 2003); and 
U.S. General Accounting Office, Defense Health Care: Army Has Not 
Consistently Assessed the Health Status of Early-Deploying Reservists, 
GAO-03-997T (Washington, D.C.: July 9, 2003).

[5] Includes samples of records for servicemembers who deployed from 
Fort Drum, New York; Fort Campbell, Kentucky; Travis Air Force Base, 
California; and Hurlburt Field, Florida.

[6] The Army Medical Surveillance Activity is DOD's executive agent for 
collecting and retaining the military services' deployment health-
related documents--including the pre-deployment and post-deployment 
health assessments and immunizations.

[7] GAO/NSIAD-97-136.

[8] Section 765 of Pub. L. No. 105-85 amended title 10 of the United 
States Code by adding section 1074f.

[9] DOD Instruction 6490.3, "Implementation and Application of Joint 
Medical Surveillance for Deployments," August 7, 1997.

[10] Under Secretary of Defense for Personnel and Readiness Memorandum, 
"Enhanced Post-Deployment Health Assessments," April 22, 2003.

[11] Because we checked all known possible sources for the existence of 
deployment health assessments, we concluded that the assessments were 
not completed in those instances where we could not find required 
health assessments.

[12] Office of the Chairman, The Joint Chiefs of Staff, Memorandum MCM-
0006-2, "Updated Procedures for Deployment Health Surveillance and 
Readiness," February 1, 2002.

[13] The Joint Staff, Joint Staff Memorandum MCM-251-98.

[14] Office of the Chairman, The Joint Chiefs of Staff, Memorandum MCM-
0006-02, "Updated Procedures for Deployment Health Surveillance and 
Readiness," February 1, 2002.

[15] U.S. Central Command, "Personnel Policy Guidance for U.S. 
Individual Augmentation Personnel in Support of Operation Enduring 
Freedom," October 3, 2001.

[16] Headquarters U.S. European Command, "Greece and the Balkans: Force 
Health Protection Guidance," January 4, 2002.

[17] U.S. Central Command, "Personnel Policy Guidance for U.S. 
Individual Augmentation Personnel in Support of Operation Enduring 
Freedom," October 3, 2001.

[18] Headquarters U.S. European Command, "Greece and the Balkans: Force 
Health Protection Guidance," January 4, 2002.

[19] U.S. Central Command, "Personnel Policy Guidance for U.S. 
Individual Augmentation Personnel in Support of Operation Enduring 
Freedom," October 3, 2001; and Headquarters U.S. European Command, 
"Greece and the Balkans: Force Health Protection Guidance," 
January 4, 2002.

[20] Office of the Chairman, The Joint Chiefs of Staff, Memorandum MCM-
0006-02, "Updated Procedures for Deployment Health Surveillance and 
Readiness," February 1, 2002.

[21] Army Regulation 40-66, "Medical Records Administration," October 
23, 2002, and Air Force Instruction 41-210, "Health Services Patient 
Administration Functions," October 1, 2000.

[22] Office of the Chairman, The Joint Chiefs of Staff, Memorandum MCM-
0006-02, "Updated Procedures for Deployment Health Surveillance and 
Readiness," February 1, 2002.

[23] U.S. Special Operations Command Directive 40-4, "Medical 
Surveillance," October 18, 2000; Appendix 1 to Annex Q to U.S. Central 
Command Operations Order, "Special Operation Forces Deployment Health 
Surveillance System," November 30, 2001.

[24] In September 2002, we reported that DOD had experienced delays and 
cost overruns in implementing the Composite Health Care System II. See 
U.S. General Accounting Office, Information Technology: Greater Use of 
Best Practices Can Reduce Risk in Acquiring Defense Health Care System, 
GAO-02-345 (Washington, D.C.: Sept. 26, 2002).

[25] 10 U.S.C. sec. 1074f(d).

[26] Prior to briefing the Subcommittee, we also briefed the Senior 
Military Medical Advisory Committee including the Assistant Secretary 
of Defense for Health Affairs and the military services' Surgeons 
General or their representatives about our interim review results.

[27] H.R. Rep. No. 108-106 at 336 (2003).

[28] Under Secretary of Defense for Personnel and Readiness Memorandum, 
"Enhanced Post-Deployment Health Assessments," April 22, 2003.

[29] GAO/NSIAD-97-136.

[30] Institute of Medicine, Protecting Those Who Serve: Strategies to 
Protect the Health of Deployed U.S. Forces (National Academy Press, 
Washington, D.C.: 2000).

[31] DOD Instruction 6490.3, "Implementation and Application of Joint 
Medical Surveillance for Deployments," August 7, 1997.

[32] Office of the Chairman, The Joint Chiefs of Staff, Memorandum MCM-
0006-02, "Updated Procedures for Deployment Health Surveillance and 
Readiness," February 1, 2002.

[33] This memorandum was dated October 25, 2002, and sent to the Vice 
Chief of Staff of the Army, Vice Chief of Staff of the Air Force, Vice 
Chief of Naval Operations, and the Assistant Commandant of the Marine 
Corps.