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Testimony: 

Before the Subcommittee on Oversight of Government Management, the 
Federal Workforce, and the District of Columbia, Committee on Homeland 
Security and Governmental Affairs, U.S. Senate: 

For Release on Delivery Expected at 10:00 a.m. EDT Tuesday, September 
27, 2005: 

Human Capital: 

Designing and Managing Market-Based and More Performance-Oriented Pay 
Systems: 

Statement of David M. Walker: 
Comptroller General of the United States: 

GAO-05-1048T: 

GAO Highlights: 

Highlights of GAO-05-1048T, a testimony before the Subcommittee on 
Oversight of Government Management, the Federal Workforce, and the 
District of Columbia, Committee on Homeland Security and Governmental 
Affairs, U.S. Senate: 

Why GAO Did This Study: 

The federal government must have the capacity to plan more 
strategically, react more expeditiously, and focus on achieving 
results. Critical to the success of this transformation are the federal 
government’s people—its human capital. Yet, in many cases the federal 
government has not transformed how it classifies, compensates, 
develops, and motivates its employees to achieve maximum results within 
available resources and existing authorities. A key question is how to 
update the federal government’s compensation system to be market-based 
and more performance-oriented. 

To further the discussion of federal pay reform, GAO partnered with key 
human capital stakeholders to convene a symposium in March 2005 to 
discuss public, private, and nonprofit organizations’ successes and 
challenges in designing and managing market-based and more performance-
oriented pay systems. 

This testimony presents the strategies that organizations considered in 
designing and managing market-based and more performance-oriented pay 
systems and describes how they are implementing them. 

What GAO Found: 

GAO strongly supports the need to expand pay reform in the federal 
government. While implementing market-based and more performance-
oriented pay systems is both doable and desirable, organizations’ 
experiences in designing and managing their pay systems underscored 
three key themes that can guide federal agencies’ efforts. 

* The shift to market-based and more performance-oriented pay must be 
part of a broader strategy of change management and performance 
improvement initiatives. 
* Market-based and more performance-oriented pay cannot be simply 
overlaid on most organizations’ existing performance management 
systems. Rather, as a precondition to effective pay reform, individual 
expectations must be clearly aligned with organizational results, 
communication on individual contributions to annual goals must be 
ongoing and two-way, meaningful distinctions in employee performance 
must be made, and cultural changes must be undertaken.
* Organizations need to build up the basic management capacity of their 
organizations. Training and developing new and current staff to fill 
new roles and work in different ways will play a crucial part in 
building the capacity of the organizations. 

Organizations presenting at our symposium considered the following 
strategies in designing and managing their pay systems. 

1. Focus on a set of values and objectives to guide the pay system.
2. Examine the value of employees’ total compensation to remain 
competitive in the market. 
3. Build in safeguards to enhance the transparency and help ensure the 
fairness of pay decisions. 
4. Devolve decision making on pay to appropriate levels. 
5. Provide training on leadership, management, and interpersonal skills 
to facilitate effective communication. 
6. Build consensus to gain ownership and acceptance for pay reforms. 
7. Monitor and refine the implementation of the pay system. 

Moving forward, it is possible to enact broad-based reforms that would 
enable agencies to move to market-based and more performance-oriented 
pay systems. However, before implementing reform, each executive branch 
agency should demonstrate and the Office of Personnel Management should 
certify that the agency has the institutional infrastructure in place 
to help ensure that the pay reform is effectively and equally 
implemented. At a minimum, this infrastructure includes a modern, 
effective, credible, and validated performance management system in 
place that provides a clear linkage between institutional, unit, and 
individual performance-oriented outcomes; results in meaningful 
distinctions in ratings; and incorporates adequate safeguards. 

www.gao.gov/cgi-bin/getrpt?GAO-05-1048T. 

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact Lisa Shames at (202) 512-
6806 or shamesl@gao.gov. 

[End of section] 

Chairman Voinovich, Senator Akaka, and Members of the Subcommittee: 

I appreciate the opportunity to be here today to discuss what has been 
learned from alternative personnel systems' implementation of pay for 
performance. As the federal government transforms to be better 
positioned to address 21st century challenges, a key question is "How 
should the federal government update its compensation systems to be 
more market-based and performance-oriented?"[Footnote 1] The federal 
government must have the institutional capacity to plan more 
strategically, react more expeditiously, and focus on achieving 
results. Critical to the success of this transformation are the federal 
government's people--its human capital. Yet the government has not 
transformed, in many cases, how it classifies, compensates, develops, 
and motivates its employees to achieve maximum results within available 
resources and existing authorities. 

Recognizing that the federal government's pay system does not align 
well with modern compensation principles, Congress has provided various 
agencies exemptions from current statute in performance management and 
pay administration.[Footnote 2] Most recently, the Departments of 
Homeland Security (DHS) and Defense (DOD) received the authority to 
establish "flexible and contemporary" human capital and pay 
systems.[Footnote 3] We at GAO have also received human capital 
authorities and strive to lead by example, especially in implementing 
more market-based and performance-oriented classification and 
compensation systems. 

GAO strongly supports the need to expand pay reform in the federal 
government. To further the discussion of federal pay reform, GAO 
partnered with the U.S. Office of Personnel Management (OPM), the U.S. 
Merit Systems Protection Board, the National Academy of Public 
Administration, and the Partnership for Public Service and convened a 
symposium in March 2005 to discuss public, private, and nonprofit 
organizations' successes and challenges with designing and managing 
market-based and more performance-oriented pay systems.[Footnote 4] 

While we believe that implementing market-based and more performance-
oriented pay systems is both doable and desirable, these organizations' 
experiences in designing and managing their pay systems underscored 
three key themes that can guide federal agencies' efforts to better 
link pay with performance. 

* First, the shift to market-based and more performance-oriented pay 
must be part of a broader strategy of change management and performance 
improvement initiatives. Market-based and more performance-oriented pay 
is only one part--albeit a critical one--of a larger effort to improve 
the performance of an organization. 

* Second, market-based and more performance-oriented pay cannot be 
simply overlaid on most organizations' existing performance management 
systems. Rather, as a precondition to effective pay reform, individual 
expectations must be clearly aligned with organizational results, 
communication on individual contributions to annual goals must be 
ongoing and two-way, meaningful distinctions in employee performance 
must be made, and cultural changes must be undertaken. Specifically, 
these organizations recognize that pay increases are no longer an 
entitlement but should be based on employees' contributions to the 
organization's mission and goals. 

* Third, organizations need to build up the basic management capacity 
of their organizations. Training and developing new and current staff 
to fill new roles and work in different ways will play a crucial part 
in building the capacity of the organizations. In particular, there 
needs to be growth and development at every level of the organization: 
top leaders with the vision, commitment, capabilities, and persistence 
to lead and facilitate the change; managers with the skills and 
abilities to fairly and honestly assess employee performance; and 
individual employees who are engaged and empowered to seek 
opportunities to enhance their careers. 

Federal agencies have also been experimenting with pay for performance 
through OPM's personnel demonstration projects authorized under Title 
5. We reported that these demonstration projects show an understanding 
that linking pay to performance is very much a work in progress and 
that additional work is needed to strengthen efforts to ensure that 
performance management systems are tools to help them manage on a day-
to-day basis.[Footnote 5] In particular, there are opportunities to 
translate employee performance so that managers make meaningful 
distinctions between top and poor performers with objective and fact-
based information and provide information to employees about the 
results of the performance appraisal and pay decisions to ensure 
reasonable transparency and appropriate accountability mechanisms are 
in place, among other things.[Footnote 6] 

In addition, as agencies develop their pay for performance systems, 
they will need to consider the appropriate mix between pay awarded as 
base pay increases versus one-time cash increases while still 
maintaining fiscally sustainable compensation systems that reward 
performance. A key question to consider is how the government can make 
an increasing percentage of federal compensation dependent on achieving 
individual and organizational results by, for example, providing more 
compensation as one-time cash bonuses rather than as permanent salary 
increases. However, agencies' use of cash bonuses or other monetary 
incentives has an impact on employees' retirement calculations since 
they are not included in calculating retirement benefits. Congress 
should consider potential legislative changes to allow cash bonuses to 
be calculated toward retirement and thrift savings benefits by 
specifically factoring bonuses into the employee's basic pay for 
purposes of calculating the employee's "high-3" for retirement benefits 
and making contributions to the thrift savings plan. 

Nevertheless, we need to move forward with human capital reforms, but 
how it is done, when it is done, and the basis on which it is done can 
make all the difference in whether such efforts are successful. Human 
capital reforms to date recognize that the "one-size-fits-all" approach 
is not appropriate to each agency's demands, challenges, and missions. 
However, we have reported that a reasonable degree of consistency 
across the government is still desirable and that broader reforms 
should be guided by a framework consisting of a common set of 
principles, criteria, and processes.[Footnote 7] 

Before implementing any human capital reforms, executive branch 
agencies should follow a phased approach that meets the "show me" test. 
That is, each agency should be authorized to implement a reform only 
after it has shown it has met certain requirements, including an 
assessment of its demonstrated institutional infrastructure and an 
independent certification by OPM of this infrastructure. This 
institutional infrastructure includes (1) a strategic human capital 
planning process linked to the agency's overall strategic plan; (2) 
capabilities to design and implement a new human capital system 
effectively; (3) a modern, effective, credible, and validated 
performance management system that provides a clear linkage between 
institutional, unit, and individual performance-oriented outcomes, and 
results in meaningful distinctions in ratings; and (4) adequate 
internal and external safeguards to ensure the fair, effective, and 
nondiscriminatory implementation of the system. 

GAO will continue to work with Congress, OPM, and other key 
stakeholders on future human capital reforms. This morning I will 
highlight the strategies that organizations considered in designing and 
managing market-based and more performance-oriented pay systems and how 
they are implementing them. These organizations include selected OPM 
demonstration projects, organizations presenting at the symposium, and 
GAO. 

Strategies for Designing and Managing Market-Based and More Performance-
Oriented Pay Systems: 

Even though people are critical to an agency's successful 
transformation, a number of agencies still try to manage their people 
with a "one-size-fits-all" approach to compensation. For example, 
employees are compensated through an outmoded system that (1) rewards 
length of service rather than individual performance and contributions; 
(2) automatically provides across-the-board annual pay increases, even 
to poor performers; and (3) compensates employees living in various 
localities without adequately considering the local labor market rates 
for these employees. We have observed that a competitive compensation 
system can help organizations attract and retain a quality workforce. 
To develop such a system, organizations assess the skills and knowledge 
they need; compare compensation against other public, private, or 
nonprofit entities competing for the same talent in a given locality; 
and classify positions along levels of responsibility. 

The strategies that the organizations at our symposium considered in 
designing and managing market-based and more performance-oriented pay 
systems and examples of how organizations are implementing them are as 
follows. 

1. Focus on a set of values and objectives to guide the pay system. 
Organizations need to focus on a set of values and objectives when 
designing and managing their market-based and more performance-oriented 
pay systems. Values are inherent and enduring principles that represent 
the organization's beliefs and boundaries. For example, GAO's core 
values--accountability, integrity, and reliability--were a focus in 
identifying and validating the competencies for our new performance 
management system. With authority from Congress, we have implemented a 
market-based compensation system that places greater emphasis on a 
person's skills, knowledge, and job performance and not the passage of 
time while, at a minimum, protecting the purchasing power of employees 
who are performing acceptably and are paid within competitive 
compensation ranges. Under the new market-based pay system, which is in 
the first phase of implementation, employee compensation now considers 
current salary and allocates individual performance-based compensation 
amounts between a merit increase (i.e., salary increase) and a 
performance bonus (i.e., cash). In addition, we received authority from 
Congress to adjust the rates of basic pay on a separate basis from the 
annual adjustments authorized for employees in the executive branch. We 
also recently finalized a performance-based compensation system with 
pay banding for the remainder of GAO's workforce, the administrative 
professional and support staff. 

While core values define the organization's beliefs and boundaries, 
objectives articulate the strategy the organization plans to take to 
implement a market-based and more performance-oriented pay system to 
help it recognize and reward employees and maintain a competitive 
position in the market. For example, the Red Cross recognizes that 
salary is its main lever to fulfill its mission and values, and thus 
one of its objectives is to pay salaries that are externally 
competitive and internally equitable. To meet this objective, the Red 
Cross sets its employees' pay slightly higher than the market in order 
to remain competitive and attract, motivate, and retain its employees. 
Similarly, a main objective of the Office of the Comptroller of the 
Currency's (OCC) pay system is to maintain comparability regarding 
compensation and benefits with the other federal financial regulatory 
agencies, such as the Federal Deposit Insurance Corporation (FDIC) and 
the U.S. Securities and Exchange Commission. To maintain comparability 
in compensation and benefits, OCC participates in an annual survey that 
gathers information and data on the financial regulatory agencies' 
total compensation packages. This information helps OCC set its pay 
increase budget for the next year based on the average pay for its 
market. 

2. Examine the value of employees' total compensation to remain 
competitive in the market. The organizations at our symposium found 
that it is important to be flexible in the mix of what constitutes 
total compensation so they can remain competitive with the market. 
Organizations should consider a mix of base pay plus other monetary 
incentives, benefits, and deferred compensation, such as retirement 
pay, as part of a competitive compensation system. For example, to help 
it compete in the market and retain its employees, IBM offers its 
employees a "total rewards" package including work-life benefits such 
as tuition reimbursement for employee development, along with 
retirement and health care benefits. 

At GAO, we believe that providing employees with individualized total 
compensation summary statements each year helps provide clarity on the 
employees' total compensation packages and specifically, how employees' 
pay increases received during the year fit into their total 
compensation. The annual summary statements include GAO's contributions 
to employees' benefits, incentives and other awards, and other GAO paid 
or subsidized benefits. The statements include items such as student 
loan repayments and transit subsidies, as well as adjustments to 
employees' pay, such as across-the-board salary adjustments, 
performance-based pay adjustments, and promotion-related increases. 

Transparency is becoming an urgent matter today as federal agencies 
face tough choices ahead managing the serious and growing long-term 
fiscal challenges facing the nation. We recently reported that DOD's 
historical piecemeal approach to military compensation has resulted in 
a lack of transparency that creates an inability to, for example, 
assess the allocation of total compensation investments to cash and 
benefits.[Footnote 8] In order to help improve the transparency over 
total compensation, we recommended that DOD develop a comprehensive 
communication and education plan to inform servicemembers of the value 
of their pay and benefits and the competitiveness of their total 
compensation package when compared to their civilian counterparts that 
could be used as a recruiting and retention tool. 

3. Build in safeguards to enhance the transparency and help ensure the 
fairness of pay decisions. Agencies need to have modern, effective, 
credible, and as appropriate validated performance management systems 
in place with adequate safeguards to ensure fairness and prevent 
politicization and abuse. These systems are the precondition to linking 
pay, incentive, and reward systems with employee knowledge, skills, and 
contributions to organizational results. 

GAO's performance management and pay system has built in numerous 
safeguards, including multiple levels of review, to ensure consistency 
and fairness in the process and resulting decisions. Specifically, 
before performance ratings are finalized, they receive second-level 
reviews, typically by a senior executive within the employee's team. 
This reviewer checks if raters have consistently and reasonably applied 
the performance standards. Subsequently, the Human Capital Office and 
the Office of Opportunity and Inclusiveness review the performance 
ratings and pay decisions across all of GAO to determine whether there 
are any irregularities or potential adverse impacts to be addressed. To 
further help ensure consistency in ratings and in applying performance 
standards within and across GAO's teams, we implemented standardized 
rating scores (SRS) for employees for the first time in the fiscal year 
2004 performance appraisal cycle. The SRS indicates the employee's 
position relative to the average rating of that employee's team. 
Employees in different teams with the same SRS have the same relative 
performance, thus achieving better comparability in ratings across 
teams. Employees' SRS and the midpoint for their pay range are key 
factors in calculating their performance-based compensation for that 
year. We are continually working with the employees to identify the 
best way to communicate the SRS information as part of GAO's ongoing 
commitment to employee feedback on the new system and transparency 
about pay decisions. 

IBM built in several accountability mechanisms to help achieve 
consistency and equity in pay decisions across employee groups and 
teams. For example, to help ensure there is no discrimination in pay 
decisions, IBM conducts a base pay equity analysis to review the pay of 
women or minority employees if their proposed pay is one standard 
deviation away from the mean of the majority of employees and looks for 
an explanation for these pay differences, such as poor performance, a 
recent promotion into the pay band, or an extended leave of absence. In 
addition, IBM built in second-level reviews of pay decisions before 
employees receive any pay increases to ensure consistency in the 
compensation process. The first-line managers discuss their proposed 
pay decisions with managers at the next level--the up-line managers--to 
ensure the performance assessments and justifications are consistent 
across groups. Up-line managers can also shift pay allocations across 
groups if necessary in order to ensure employees who perform similarly 
are compensated the same regardless of their first-line managers. As a 
final check, the senior managers sign off on the pay decisions for each 
employee. 

To help provide transparency on how employees' performance compares to 
the rest of the organization, we previously reported that the Naval Sea 
Systems Command Warfare Center's Newport division publishes the results 
of its annual performance cycle. Newport aggregates the data so that no 
individual employee's rating or payout can be determined to protect 
confidentiality. Employees can compare their performance rating 
category against others in the same unit, other units, and the entire 
division. 

4. Devolve decision making on pay to appropriate levels. In 
implementing market-based and more performance-oriented pay systems, 
organizations need to determine what parts of their pay systems should 
be maintained centrally and what parts can be devolved to "lower" 
levels of the organization. When devolving these types of decisions, 
organizations have maintained overall core processes to help ensure 
reasonable consistency in how the systems are implemented. 

Virginia shifted the responsibility for administering pay from its 
central office to the commonwealth's agencies and their managers as 
part of its compensation reforms and developed core processes outlining 
how agencies should develop and implement their pay systems. 
Specifically, Virginia developed a salary plan that provides broad 
guidelines regarding the commonwealth's overall compensation 
philosophy, funding for pay increases, and the pay ranges for the 
employees' positions that reflect market conditions. Each agency is 
held accountable for developing its own salary administration plan 
which is approved by the central office prior to being implemented. As 
part of this plan, the agency is to select from among designated "pay 
practices" that it considers useful to best meet its specific needs, 
such as promotions or in-band pay adjustments to recognize employees 
for taking on additional duties. 

5. Provide training on leadership, management, and interpersonal skills 
to facilitate effective communication. We have reported that training 
and developing new and current staff to fill new roles and work in 
different ways will play a crucial part in the federal government's 
endeavors to meet its transformation challenges.[Footnote 9] Agencies 
will need to invest resources to ensure that employees have the 
information, skills, and competencies they need to work effectively in 
a rapidly changing and complex environment. 

Organizations found that training employees and managers on performance 
management skills, such as setting expectations, linking individual 
performance to organizational results, and effectively giving and 
receiving feedback, as well as placing an emphasis on communicating the 
content of the pay reforms in a simple and clear format, are needed to 
make market-based and more performance-oriented pay succeed. For 
example, FDIC emphasized the importance of training its managers on how 
to make the necessary distinctions in ratings and pay since it found 
that some managers have trouble making the distinctions and would 
prefer to give all employees the same pay increase. 

Virginia found that employees needed the information on its 
compensation reforms in as simple and clear a format as possible 
without using technical compensation terms or "HR" terminology. As a 
result, Virginia used its Employee Advisory Committee to help develop 
training and supporting materials on the compensation reform 
initiatives and communicate the information to the other employees. 
Virginia found that using the committee was very effective and allowed 
employees to better understand how the reforms would affect them 
directly. 

Regarding the frequency of the training, we found that the OPM pay for 
performance demonstration projects trained employees on the performance 
management system prior to implementation to make employees aware of 
the new approach, as well as periodically after implementation to 
refresh employee familiarity with the system. For example, the Civilian 
Acquisition Workforce Personnel Demonstration Project (AcqDemo) found 
that, in addition to training prior to implementation, it needed more 
in-depth and varied training in later years for current AcqDemo 
employees to refresh their proficiency in the system; for new 
participants to familiarize them with appraisal and payout processes; 
as well as for senior management, pay pool managers and members, and 
human resources personnel to give them greater detail on the process. 
The training prior to implementation and throughout the project was 
designed to help employees understand competencies and performance 
standards; develop performance plans; write self-appraisals; become 
familiar with how performance is evaluated and how pay increases and 
awards decisions are made; and know the roles and responsibilities of 
managers, supervisors, and employees in the appraisal and payout 
processes. 

Virginia defined a new role for its employees by holding them 
accountable for identifying the training they need to enhance the 
skills necessary to develop their careers. For example, Virginia 
developed career guides to inform employees on what they may personally 
need to do to develop, advance, or change their careers. The guides 
provide important occupational information for employees interested in 
developing their careers and improving opportunities for advancement in 
any work environment. Virginia found that an added benefit is that 
these career guides help employees understand that they have knowledge, 
skills, and abilities that cut across different occupations and are 
transferable across the commonwealth's government. 

6. Build consensus to gain ownership and acceptance for pay reforms. 
Involving employees and other stakeholders helps to improve overall 
confidence and belief in the fairness of the system, enhance their 
understanding of how the system works, and increase their understanding 
and ownership of organizational goals and objectives. Organizations 
have found that the inclusion of employees and their representatives 
needs to be meaningful, not just pro forma. 

At GAO, to obtain direct feedback from employees, we created the 
elected Employee Advisory Council (EAC) to serve as an advisory body to 
the Comptroller General and other senior executives on management and 
employee issues. Comprising employees who represent a cross-section of 
the agency, the EAC's participation is an important source of front-end 
input and feedback on our human capital and other major management 
initiatives. Specifically, EAC members convey the views and concerns of 
the groups they represent, while remaining sensitive to the collective 
best interest of all GAO employees; propose solutions to concerns 
raised by employees; provide input to and comment on GAO policies, 
procedures, plans, and practices; and help to communicate management's 
issues and concerns to employees. Similarly, FDIC found that in its 
experience it was better to have the union involved in the 
implementation of its pay reforms. When negotiating compensation for 
its bargaining unit employees with representatives of the National 
Treasury Employees Union, FDIC views them as true partners instead of 
following an "us versus them" approach. FDIC noted that both parties 
want to work together to reach an agreement in terms of compensation 
levels that will satisfy them. 

In designing its compensation reforms, Virginia involved stakeholders, 
such as representatives from Virginia's legislative and executive 
branches, as well as human resource representatives from private sector 
organizations. Virginia also formed an Employee Advisory Committee of 
nonsupervisory employees from diverse occupations, demographic groups, 
and geographic locations to help the commonwealth as a whole improve 
its compensation program, not just for their select interest groups. 
Further, to implement the compensation reforms, Virginia developed 
implementation teams--composed of human resource staff across the 
agencies--to help ensure the details of the compensation reforms were 
consistently communicated to all the employees across the commonwealth. 
The teams represented various priority areas, such as funding, 
compensation management, performance management, training, and 
communications. 

7. Monitor and refine the implementation of the pay system. High-
performing organizations understand they need to continuously review 
and revise their performance management systems to achieve results and 
accelerate change. These organizations continually review and revise 
their human capital management systems based on data-driven lessons 
learned and changing needs in the environment. We have reported that 
agencies seeking human capital reform should consider doing evaluations 
that are broadly modeled on the evaluation requirements of the OPM 
demonstration projects.[Footnote 10] Under the demonstration project 
authority, agencies must evaluate and periodically report on results, 
implementation of the demonstration project, cost and benefits, impacts 
on veterans and other equal employment opportunity groups, adherence to 
merit system principles, and the extent to which the lessons from the 
project can be applied governmentwide. Such an evaluation could 
facilitate congressional oversight; allow for any midcourse 
corrections; assist the agency in benchmarking its progress with other 
efforts; and provide for documenting best practices and sharing lessons 
learned with employees, stakeholders, other federal agencies, and the 
public. 

For example, at GAO, we recently saw the need to restructure part of 
our pay banding system to better reflect real differences in 
responsibilities and competencies as well as respective pay within the 
pay band for our senior analysts by creating two sub-band categories. 
To begin the process of this restructuring effort, GAO formed task 
teams to study and develop proposals, and engaged employees by holding 
town hall meetings, focus groups, meeting with employee 
representatives, and having a review and comment period for each phase 
of the restructuring. 

Organizations monitor their systems by listening to employees' and 
stakeholders' views--informally and formally--on the pay systems. FDIC 
found that listening to the "level of noise" among employees and 
stakeholders, such as the union, is essential in evaluating whether a 
new initiative is working or not. To track employee views, IBM sends 
out a pulse survey quarterly with only a few questions on the 
compensation program to a sample of its 300,000 employees. IBM believes 
it is doing well in implementing the program if over 70 percent of the 
employees' responses to these questions are "neutral" or "favorable." 
When consolidating its classification structure, Virginia made some 
revisions as a result of employee feedback so that employees could more 
easily see where they fit into the structure. Virginia plans to 
continually monitor the structure and identify needed refinements by 
soliciting employee feedback at least annually. 

Organizations also use other metrics as an indicator of the employees' 
acceptance of pay and performance management decisions to track the 
effectiveness of their pay systems. For example, IBM tracks its 
attrition rates to determine why employees are leaving and compares 
them to its competitors' attrition rates. Virginia tracks the number of 
employee grievances and works with managers to educate them on what the 
metrics mean and how they affect their agencies and employees. 

Monitoring the implementation of new pay systems is important because 
unintended consequences may arise. Organizations have found they should 
be open to refining their systems. For example, in order to spread the 
pay increases among as many employees as possible, FDIC found that 
managers tended not to award merit pay increases to top-performing 
employees when they were to be promoted in the career ladder and as a 
result, these high-performing employees were not getting the merit pay 
increases they deserved. FDIC recognized that this unintended 
consequence needed to be corrected in future iterations of the pay 
system and managers needed help in learning how to make the necessary 
distinctions in employees' contributions. 

While the need for refining the system is inevitable, organizations 
found that there is value in stabilizing the pay system for a period of 
time to let employees get accustomed to the new initiative and see how 
it works. For example, OCC plans to reassess its labor market pay 
differentials every 3 years rather than annually to provide continuity 
in implementing the system. This continuity benefits employees because 
they know how much their geographic differential will be for a period 
of time and benefits OCC because it makes managing the pay system more 
stable. 

Next Steps for Results-Oriented Pay and Human Capital Reform: 

In summary, there is widespread agreement that the basic approach to 
federal pay is broken and we need to move to a market-based and more 
performance-oriented approach. Doing so will be essential if we expect 
to maximize the performance within available resources and assure the 
accountability of the federal government for the benefit of the 
American people. While reasonable people can and will disagree about 
the merits of individual reform proposals, there is widespread 
recognition that pay increases are no longer an entitlement but should 
be based on employees' contributions to the organization's mission and 
goals. Experience shows that this shift to market-based and more 
performance-oriented pay must be part of a broader strategy of change 
management and performance improvement initiatives and cannot be simply 
overlaid on most organizations' existing performance management 
systems. Before implementing any pay reform, each executive branch 
agency should have demonstrated and OPM should have certified that the 
agency has in place the institutional infrastructure to help ensure 
that this reform is effectively and equally implemented. 

We need to move forward with human capital reforms. In the short term, 
such reforms could include select and targeted authorities, such as 
prohibiting guaranteed pay increases for persons who do not perform at 
acceptable levels; allowing agency heads to make a limited number of 
term appointments awarded noncompetitively; and rightsizing and 
restructuring that can place additional emphasis on factors such as 
knowledge, skills, and performance. As momentum continues to accelerate 
to make strategic human capital management the centerpiece of the 
government's overall management transformation effort, comprehensive 
reforms should be guided by a framework consisting of a common set of 
principles, criteria, and processes. 

Chairman Voinovich, Senator Akaka, and Members of the Subcommittee, 
this concludes my statement. I would be pleased to respond to any 
questions that you may have. 

Contact and Acknowledgments: 

For further information regarding this statement, please contact Lisa 
Shames, Acting Director, Strategic Issues, at (202) 512-6806 or 
[Hyperlink, shamesl@gao.gov]. Individuals making key contributions to 
this statement include Janice Latimer and Katherine H. Walker. 

[End of section] 

Appendix I: "Highlights" of Selected GAO Reports: 

GAO Highlights: 

Highlights of GAO-05-832SP: 

Why GAO Convened This Symposium: 

Critical to the success of the federal government’s transformation are 
its people—human capital. Yet the government has not transformed, in 
many cases, how it classifies, compensates, develops, and motivates its 
employees to achieve maximum results within available resources and 
existing authorities. One of the questions being addressed as the 
federal government transforms is how to update its compensation system 
to be more market based and performance oriented. 

To further the discussion of federal pay reform, GAO, the U.S. Office 
of Personnel Management, the U.S. Merit Systems Protection Board, the 
National Academy of Public Administration, and the Partnership for 
Public Service convened a symposium on March 9, 2005, to discuss 
organizations’ experiences with market-based and more performance-
oriented pay systems. Representatives from public, private, and 
nonprofit organizations made presentations on the successes and 
challenges they experienced in designing and managing their market-
based and more performance-oriented pay systems. A cross section of 
human capital stakeholders was invited to further explore these 
successes and challenges and engage in open discussion. While 
participants were asked to review the overall substance and context of 
the draft summary, GAO did not seek consensus on the key themes and 
supporting examples. 

What Participants Said: 

While implementing market-based and more performance-oriented pay 
systems is both doable and desirable, organizations’ experiences show 
that the shift to market-based and more performance-oriented pay must 
be part of a broader strategy of change management and performance 
improvement initiatives. GAO identified the following key themes that 
highlight the leadership and management strategies these organizations 
collectively considered in designing and managing market-based and more 
performance-oriented pay systems. 

1. Focus on a set of values and objectives to guide the pay system. 
Values represent an organization’s beliefs and boundaries and 
objectives articulate the strategy to implement the system. 

2. Examine the value of employees’ total compensation to remain 
competitive in the market. Organizations consider a mix of base pay 
plus other monetary incentives, benefits, and deferred compensation, 
such as retirement pay, as part of a competitive compensation system. 

3. Build in safeguards to enhance the transparency and ensure the 
fairness of pay decisions. Safeguards are the precondition to linking 
pay systems with employee knowledge, skills, and contributions to 
results. 

4. Devolve decision making on pay to appropriate levels. When devolving 
such decision making, overall core processes help ensure reasonable 
consistency in how the system is implemented. 

5. Provide training on leadership, management, and interpersonal skills 
to facilitate effective communication. Such skills as setting 
expectations, linking individual performance to organizational results, 
and giving and receiving feedback need renewed emphasis to make such 
systems succeed. 

6. Build consensus to gain ownership and acceptance for pay reforms. 
Employee and stakeholder involvement needs to be meaningful and not pro 
forma. 

7. Monitor and refine the implementation of the pay system. While 
changes are usually inevitable, listening to employee views and using 
metrics helps identify and correct problems over time. 

These organizations found that the key challenge with implementing 
market-based and more performance-oriented pay is changing the culture. 
To begin to make this change, organizations need to build up their 
basic management capacity at every level of the organization. 
Transitioning to these pay systems is a huge undertaking and will 
require constant monitoring and refining in order to implement and 
sustain the reforms. 

www.gao.gov/cgi-bin/getrpt?GAO-05-832SP. 

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact J. Christopher Mihm at 
(202) 512-6806 or mihmj@gao.gov. 

[End of section] 

GAO Highlights: 

Highlights of GAO-04-83, a report to congressional requesters: 

Why GAO Did This Study: 

There is a growing understanding that the federal government needs to 
fundamentally rethink its current approach to pay and to better link 
pay to individual and organizational performance. Federal agencies 
have been experimenting with pay for performance through the Office of 
Personnel Management’s (OPM) personnel demonstration projects. 

GAO identified the approaches that selected personnel demonstration 
projects have taken to implement their pay for performance systems. 
These projects include: the Navy Demonstration Project at China Lake 
(China Lake), the National Institute of Standards and Technology 
(NIST), the Department of Commerce (DOC), the Naval Research 
Laboratory (NRL), the Naval Sea Systems Command Warfare Centers 
(NAVSEA) at Dahlgren and Newport, and the Civilian Acquisition 
Workforce Personnel Demonstration Project (AcqDemo). We selected these 
demonstration projects based on factors such as status of the project 
and makeup of employee groups covered. 

We provided drafts of this report to officials in the Department of 
Defense (DOD) and DOC for their review and comment. DOD provided 
written comments concurring with our report. DOC provided minor 
technical clarifications and updated information. We provided a draft 
of the report to the Director of OPM for her information. 

What GAO Found: 

The demonstration projects took a variety of approaches to designing 
and implementing their pay for performance systems to meet the unique 
needs of their cultures and organizational structures, as shown in the 
table below. 

Demonstration Project Approaches to Implementing Pay for Performance: 

Using competencies to evaluate employee performance: 

High-performing organizations use validated core competencies as a key 
part of evaluating individual contributions to organizational results. 
To this end, AcqDemo and NRL use core competencies for all positions. 
Other demonstration projects, such as NIST, DOC, and China Lake, use 
competencies based on the individual employee’s position. 

Translating employee performance ratings into pay increases and 
awards: 

Some projects, such as China Lake and NAVSEA’s Newport division, 
established predetermined pay increases, awards, or both depending on 
a given performance rating, while others, such as DOC and NIST, 
delegated the flexibility to individual pay pools to determine how 
ratings would translate into performance pay increases, awards, or 
both. The demonstration projects made some distinctions among 
employees’ performance. 

Considering current salary in making performance-based pay decisions: 

Several of the demonstration projects, such as AcqDemo and NRL, 
consider an employee’s current salary when making performance pay 
increases and award decisions to make a better match between an 
employee’s compensation and contribution to the organization. 

Managing costs of the pay for performance system: 

According to officials, salaries, training, and automation and data 
systems were the major cost drivers of implementing their pay for 
performance systems. The demonstration projects used a number of 
approaches to manage the costs. 

Providing information to employees about the results of performance 
appraisal and pay decisions: 

To ensure fairness and safeguard against abuse, performance-based pay 
programs should have adequate safeguards, including reasonable 
transparency in connection with the results of the performance 
management process. To this end, several of the demonstration projects 
publish information, such as the average performance rating, 
performance pay increase, and award. 

Source: GAO. 

[End of table] 

GAO strongly supports the need to expand pay for performance in the 
federal government. How it is done, when it is done, and the basis on 
which it is done can make all the difference in whether such efforts 
are successful. High-performing organizations continuously review and 
revise their performance management systems. These demonstration 
projects show an understanding that how to better link pay to 
performance is very much a work in progress at the federal level. 
Additional work is needed to strengthen efforts to ensure that 
performance management systems are tools to help them manage on a day-
to-day basis. In particular, there are opportunities to use 
organizationwide competencies to evaluate employee performance that 
reinforce behaviors and actions that support the organization's 
mission, translate employee performance so that managers make 
meaningful distinctions between top and poor performers with objective 
and fact-based information, and provide information to employees about 
the results of the performance appraisals and pay decisions to ensure 
reasonable transparency and appropriate accountability mechanisms are 
in place. 

www.gao.gov/cgi-bin/getrpt?GAO-04-83. 

To view the full product, including the scope and methodology, click 
on the link above. For more information, contact J. Christopher Mihm 
at (202) 512-6806 or mihmj@gao.gov. 

[End of section] 

GAO Highlights: 

Highlights of GAO-05-69SP: 

Why GAO Convened This Forum: 

There is widespread agreement that the federal government faces a range 
of challenges in the 21st century that it must confront to enhance 
performance, ensure accountability, and position the nation for the 
future. Federal agencies will need the most effective human capital 
systems to address these challenges and succeed in their transformation 
efforts during a period of likely sustained budget constraints. 

More progress in addressing human capital challenges was made in the 
last 3 years than in the last 20, and significant changes in how the 
federal workforce is managed are underway. 

On April 14, 2004, GAO and the National Commission on the Public 
Service Implementation Initiative hosted a forum with selected 
executive branch officials, key stakeholders, and other experts to 
help advance the discussion concerning how governmentwide human 
capital reform should proceed. 

What Participants Said: 

Forum participants discussed (1) Should there be a governmentwide 
framework for human capital reform? and (2) If yes, what should a 
governmentwide framework include? 

There was widespread recognition that a “one size fits all” approach to 
human capital management is not appropriate for the challenges and 
demands government faces. However, there was equally broad agreement 
that there should be a governmentwide framework to guide human capital 
reform built on a set of beliefs that entail fundamental principles and 
boundaries that include criteria and processes that establish the 
checks and limitations when agencies seek and implement their 
authorities. While there were divergent views among the participants, 
there was general agreement that the following served as a starting 
point for further discussion in developing a governmentwide framework 
to advance needed human capital reform. 

Principles: 
* Merit principles that balance organizational mission, goals, and 
performance objectives with individual rights and responsibilities;
* Ability to organize, bargain collectively, and participate through 
labor organizations;
* Certain prohibited personnel practices;
* Guaranteed due process that is fair, fast, and final. 

Criteria: 
* Demonstrated business case or readiness for use of targeted 
authorities;
* An integrated approach to results-oriented strategic planning and 
human capital planning and management;
* Adequate resources for planning, implementation, training, and 
evaluation;
* A modern, effective, credible, and integrated performance management 
system that includes adequate safeguards to ensure equity and prevent 
discrimination. 

Processes: 
* Prescribing regulations in consultation or jointly with the Office 
of Personnel Management;
* Establishing appeals processes in consultation with the Merit 
Systems Protection Board;
* Involving employees and stakeholders in the design and implementation 
of new human capital systems;
* Phasing in implementation of new human capital systems;
* Committing to transparency, reporting, and evaluation;
* Establishing a communications strategy;
* Assuring adequate training; 

www.gao.gov/cgi-bin/getrpt?GAO-05-69SP 

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact J. Christopher Mihm at 
(202) 512-6806 or mihmj@gao.gov. 

[End of section] 

GAO Highlights: 

Highlights of GAO-03-488, a report to congressional requesters 

Why GAO Did This Study: 

The federal government is in a period of profound transition and faces 
an array of challenges and opportunities to enhance performance, ensure 
accountability, and position the nation for the future. High-performing 
organizations have found that to successfully transform themselves, 
they must often fundamentally change their cultures so that they are 
more results-oriented, customer-focused, and collaborative in nature. 
To foster such cultures, these organizations recognize that an 
effective performance management system can be a strategic tool to 
drive internal change and achieve desired results. 

Based on previously issued reports on public sector organizations’ 
approaches to reinforce individual accountability for results, GAO 
identified key practices that federal agencies can consider as they 
develop modern, effective, and credible performance management systems. 

What GAO Found: 

Public sector organizations both in the United States and abroad have 
implemented a selected, generally consistent set of key practices for 
effective performance management that collectively create a clear 
linkage—“line of sight”—between individual performance and 
organizational success. These key practices include the following:
1. Align individual performance expectations with organizational goals. 
An explicit alignment helps individuals see the connection between 
their daily activities and organizational goals.
2. Connect performance expectations to crosscutting goals. Placing an 
emphasis on collaboration, interaction, and teamwork across 
organizational boundaries helps strengthen accountability for results. 
3. Provide and routinely use performance information to track 
organizational priorities. Individuals use performance information to 
manage during the year, identify performance gaps, and pinpoint 
improvement opportunities.
4. Require follow-up actions to address organizational priorities. 
By requiring and tracking follow-up actions on performance gaps, 
organizations underscore the importance of holding individuals 
accountable for making progress on their priorities.
5. Use competencies to provide a fuller assessment of performance. 
Competencies define the skills and supporting behaviors that 
individuals need to effectively contribute to organizational results. 
6. Link pay to individual and organizational performance. Pay, 
incentive, and reward systems that link employee knowledge, skills, and 
contributions to organizational results are based on valid, reliable, 
and transparent performance management systems with adequate 
safeguards.
7. Make meaningful distinctions in performance. Effective performance 
management systems strive to provide candid and constructive feedback 
and the necessary objective information and documentation to reward top 
performers and deal with poor performers.
8. Involve employees and stakeholders to gain ownership of performance 
management systems. Early and direct involvement helps increase 
employees’ and stakeholders’ understanding and ownership of the system 
and belief in its fairness.
9. Maintain continuity during transitions. Because cultural 
transformations take time, performance management systems reinforce 
accountability for change management and other organizational goals. 

www.gao.gov/cgi-bin/getrpt?GAO-03-488. 

To view the full report, including the scope and methodology, click on 
the link above. For more information, contact J. Christopher Mihm at 
(202) 512-6806 or mihmj@gao.gov. 

[End of section] 

GAO Highlights: 

Highlights of GAO-05-798, a report to congressional committees: 

Why GAO Did This Study: 

Over the years, the Department of Defense’s (DOD) military compensation 
system has become an increasingly complex and piecemeal accretion of 
pays, allowances, benefits, and special tax preferences. DOD leaders 
have expressed concern that rising compensation costs may not be 
sustainable in the future and could crowd out other important 
investments needed to recapitalize equipment and infrastructure. Given 
the looming fiscal challenges facing the nation in the 21st century, 
GAO believes it is time for a baseline review of all federal programs 
to ensure that they are efficiently meeting their objectives. Under the 
Comptroller General’s authority, GAO (1) assessed whether DOD’s 
approach to compensation provides adequate transparency over costs; (2) 
identified recent trends in active duty compensation, and how costs 
have been allocated to cash and benefits; and (3) reviewed how active 
duty servicemembers perceive their compensation and whether DOD has 
effectively explained the value of the military compensation package to 
its members. 

What GAO Found: 

DOD’s historical piecemeal approach to military compensation has 
resulted in a lack of transparency that creates an inability to (1) 
identify the total cost of military compensation to the U.S. government 
and (2) assess the allocation of total compensation investments to cash 
and benefits. No single source exists to show the total cost of 
military compensation, and tallying the full cost requires synthesizing 
about a dozen information sources from four federal departments and the 
Office of Management and Budget. Without adequate transparency, 
decision makers do not have a true picture of what it costs to 
compensate servicemembers. They also lack sufficient information to 
identify long-term trends, determine how best to allocate available 
resources to ensure the optimum return on compensation investments, and 
better assess the efficiency and effectiveness of DOD’s current 
compensation system in meeting recruiting and retention goals. To 
address this and other major business transformation challenges in a 
more strategic and integrated fashion, GAO recently recommended the 
creation of a chief management official at DOD. 

Transparency over military compensation is critical because costs to 
provide compensation are substantial and rising, with over half of the 
costs allocated to noncash and deferred benefits. In fiscal year 2004, 
it cost the federal government about $112,000, on average, to provide 
annual compensation to active duty enlisted and officer personnel. 
Adjusted for inflation, the total cost of providing active duty 
compensation increased about 29 percent from fiscal year 2000 to fiscal 
year 2004, from about $123 to $158 billion. During this time, health 
care was one of the major cost drivers, increasing 69 percent to about 
$23 billion in fiscal year 2004. In addition, military compensation is 
weighted more toward benefits compared with other government and 
private sector civilian compensation systems. Furthermore, less than 
one in five service members will serve 20 years of active duty service 
to become eligible for retirement benefits. Increasing compensation 
costs make the need to address the appropriateness and reasonableness 
of the compensation mix and the long-term affordability and 
sustainability of the system more urgent. 

DOD survey results and analysis of GAO focus groups and survey data 
have shown that servicemembers are dissatisfied and harbor 
misperceptions about their pay and benefits in part because DOD does 
not effectively educate them about the competitiveness of their total 
compensation packages. About 80 percent of the 400 servicemembers that 
GAO surveyed believed they would earn more as civilians; in contrast, a 
2002 study showed that servicemembers generally earn more cash 
compensation alone than 70 percent of like-educated civilians. 
Servicemembers also expressed confusion over aspects of their 
compensation, like retirement, and many complained that benefits were 
eroding despite recent efforts by Congress and DOD to enhance pay and 
benefits. By not systematically educating servicemembers about the 
value of their total compensation, DOD is essentially allowing a 
culture of dissatisfaction and misunderstanding to perpetuate. 

What GAO Recommends: 

GAO is making a number of recommendations to improve the transparency, 
reasonableness, appropriateness, affordability, and sustainability of 
the military compensation system. DOD generally concurred with GAO’s 
recommendations. 

www.gao.gov/cgi-bin/getrpt?GAO-05-798. 

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact Derek Stewart at (202) 
512-5559 or stewartd@gao.gov. 

[End of section] 

(450447): 

FOOTNOTES 

[1] GAO, 21st Century Challenges: Reexamining the Base of the Federal 
Government, GAO-05-325SP (Washington, D.C. February 2005). 

[2] GAO, Human Capital: Selected Agencies' Statutory Authorities Could 
Offer Options in Developing a Framework for Governmentwide Reform, GAO-
05-398R (Washington, D.C. Apr. 21, 2005). 

[3] For more information on DHS's and DOD's human capital authorities, 
see GAO, Human Capital: Preliminary Observations on Final Department of 
Homeland Security Human Capital Regulations, GAO-05-320T (Washington, 
D.C. Feb. 10, 2005) and GAO, Human Capital: Preliminary Observations on 
Proposed DOD National Security Personnel System Regulations, GAO-05-
432T (Washington, D.C. Mar. 15, 2005). 

[4] The organizations included the Federal Deposit Insurance 
Corporation, Office of the Comptroller of the Currency, Commonwealth of 
Virginia, IBM Corporation, and American Red Cross. For more 
information, see GAO, Human Capital: Symposium on Designing and 
Managing Market-Based and More Performance-Oriented Pay Systems, GAO-05-
832SP (Washington, D.C. July 27, 2005). 

[5] GAO, Human Capital: Implementing Pay for Performance at Selected 
Personnel Demonstration Projects, GAO-04-83 (Washington, D.C. Jan. 23, 
2004). 

[6] For more information on our review of OPM's demonstration projects 
and other GAO human capital reports, see app. I. 

[7] GAO and the National Commission on the Public Service 
Implementation Initiative, Highlights of a Forum: Human Capital: 
Principles, Criteria, and Processes for Governmentwide Federal Human 
Capital Reform, GAO-05-69SP (Washington, D.C. Dec. 1, 2004). 

[8] GAO, Military Personnel: DOD Needs to Improve the Transparency and 
Reassess the Reasonableness, Appropriateness, Affordability, and 
Sustainability of Its Military Compensation System, GAO-05-798 
(Washington, D.C. July 19, 2005). 

[9] GAO, Human Capital: A Guide for Assessing Strategic Training and 
Development Efforts in the Federal Government, GAO-04-546G (Washington, 
D.C. March 2004). 

[10] GAO-05-69SP.