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Testimony: 

Before the Subcommittee on Oversight and Investigations, Committee on 
Armed Services, House of Representatives: 

United States Government Accountability Office: 
GAO: 

For Release on Delivery: 
Expected at 1:00 p.m. EDT:
Wednesday, April 1, 2009: 

Contingency Contracting: 

DOD, State, and USAID Are Taking Actions to Track Contracts and 
Contractor Personnel in Iraq and Afghanistan: 

Statement of John P. Hutton, Director:
Acquisition and Sourcing Management: 

GAO-09-538T: 

GAO Highlights: 

Highlights of GAO-09-538T, a testimony before the Subcommittee on 
Oversight and Investigations, Committee on Armed Services, House of 
Representatives. 

Why GAO Did This Study: 

The Departments of Defense (DOD) and State (State) and the U.S. Agency 
for International Development (USAID) have relied extensively on 
contractors to support troops and civilian personnel and carry out 
reconstruction efforts in Iraq and Afghanistan. While recognizing the 
benefits of using contractors, GAO and others have noted the risks and 
challenges associated with relying on contractors. 

To help increase contractor oversight, the National Defense 
Authorization Act for Fiscal Year 2008 directed DOD, State, and USAID 
to sign a memorandum of understanding (MOU) on contracting in Iraq and 
Afghanistan that identified a database to track information on 
contractor personnel and contracts performed in the two countries. In 
their July 2008 MOU, the agencies designated the Synchronized Pre-
Deployment and Operational Tracker database (SPOT) as their system for 
tracking the required information. 

GAO’s testimony addresses how contractor personnel and contract 
information can aid agencies in managing contracts and the status of 
SPOT’s implementation. It is drawn from GAO’s ongoing and prior 
contingency contracting work. This work involved meeting with agency 
officials, including those in Iraq, and reviewing agency documents. GAO 
obtained agency views on previously unreported information, which the 
agencies generally agreed with. 

What GAO Found: 

GAO has reported extensively on the management and oversight challenges 
related to using contractors in contingency operations and the need for 
decision makers to have contract and contractor personnel information 
as a starting point to address these challenges. The lack of such 
information limits agency planning efforts, increases costs, and 
introduces unnecessary risk. For example, GAO previously determined 
that by not considering contractor resources when developing an 
assistance strategy for Afghanistan, USAID’s ability to make informed 
resource allocation decisions was impaired. Similarly, it was estimated 
in 2006 that DOD’s lack of visibility on what government support 
contractors were entitled to cost an extra $43 million in Iraq as the 
government provided them free meals and a food allowance. Many of GAO’s 
past recommendations focused on improving agency officials’ ability to 
obtain contract and contractor personnel information. While actions 
have been taken to address GAO’s recommendations, agency officials have 
noted that their ability to access information on contracts and 
contractor personnel still needs improvement and SPOT has the potential 
to bring information together so it can be used to better manage and 
oversee contractors. 

Although SPOT is capable of tracking contractor personnel and contracts 
as agreed to in the MOU, not all of the required information is being 
entered and the agencies continue to rely on other systems to obtain 
information on contractor personnel and contracts in Iraq and 
Afghanistan. DOD, State, and USAID now require their contractors in 
Iraq to enter personnel data into SPOT, but only DOD and State require 
their contractors to do so in Afghanistan. A critical factor in 
prompting the use of SPOT was DOD’s requirement that contractor 
personnel have SPOT-generated letters of authorization (LOA) to, among 
other things, enter Iraq or Afghanistan. However, not all personnel 
need SPOT-generated LOAs and are being entered into SPOT. USAID 
officials said that the lack of an LOA requirement for its contractors 
in Afghanistan is one reason they do not have to be entered into SPOT. 
Officials from the three agencies also acknowledged that data on Iraqi 
and Afghan nationals in SPOT are incomplete, which is in part because 
they typically do not need LOAs and are more difficult to track. 
Despite the agencies’ progress in implementing SPOT, they continue to 
rely on other systems to obtain information on contractor personnel and 
contracts in Iraq and Afghanistan. For example, DOD relies on a 
quarterly census of contractor personnel because it is regarded as more 
complete than SPOT whereas USAID relies entirely on ad hoc queries of 
its contractors. As the agencies consider how to use SPOT data to 
inform planning and management decisions, they have raised questions 
about what information needs to be in the system. For example, USAID 
officials have questioned the need to track information on contracts 
for which personnel do not need LOAs. 

View [hyperlink, http://www.gao.gov/products/GAO-09-538T] for key 
components. For more information, contact John P. Hutton at (202) 512-
4841 or huttonj@gao.gov. 

[End of section] 

Mr. Chairman and Members of the Subcommittee: 

Thank you for inviting me here today to discuss ongoing efforts by the 
Department of Defense (DOD), the Department of State (State), and the 
U.S. Agency for International Development (USAID) to implement their 
memorandum of understanding (MOU) regarding contracting in Iraq and 
Afghanistan. As you know, DOD, State, and USAID have relied extensively 
on contractors to support troops and civilian personnel and to oversee 
and carry out reconstruction efforts. Contractor personnel in the two 
countries have provided a range of services for the three agencies, 
such as interpretation, security, weapon systems maintenance, 
intelligence analysis, facility operations support, advice to Iraqi and 
Afghan ministries, and road and infrastructure construction. The use of 
contractors in contingency operations is not new, but the number of 
contractors and the work they are performing in Iraq and Afghanistan 
represent an increased reliance on contractors to carry out agency 
missions. While recognizing the benefits of using contractors, such as 
increased flexibility, we and others have noted the risks associated 
with the increased reliance on contractors and the challenges that 
federal agencies have in managing and overseeing their growing numbers. 
To help increase contractor oversight, the National Defense 
Authorization Act for Fiscal Year 2008 (NDAA FY2008) established a 
requirement for DOD, State, and USAID to sign a MOU regarding matters 
related to contracting in Iraq and Afghanistan, including the use of 
common databases that will provide the three agencies and Congress with 
information on contractor personnel and contracts in Iraq or 
Afghanistan.[Footnote 1] The NDAA FY2008 also directed that we annually 
report on DOD, State, and USAID contractor personnel and contracts in 
Iraq and Afghanistan each year through 2010.[Footnote 2] 

My statement today will focus on how information on contracts and 
contractor personnel can assist agencies in managing and overseeing 
their use of contractors and the status of DOD, State, and USAID's 
implementation of the database that collects statutorily required 
information on contractor personnel and contracts in Iraq and 
Afghanistan. This statement is drawn from our ongoing and prior work 
related to contracting in contingency operations, including Iraq and 
Afghanistan. As part of our ongoing work, we met with DOD, State, and 
USAID headquarters officials, as well as those in Iraq, regarding their 
current and planned use of the database and reviewed pertinent agency 
documents. For work not previously reported, we obtained views from 
DOD, State, and USAID on our findings, which the agencies generally 
agreed with, and incorporated technical comments where appropriate. 
Both our ongoing and prior performance audits were conducted in 
accordance with generally accepted government auditing standards. Those 
standards require that we plan and perform the audits to obtain 
sufficient, appropriate evidence to provide a reasonable basis for our 
findings and conclusions based on our audit objectives. We believe that 
the evidence obtained provides a reasonable basis for our findings and 
conclusions based on our audit objectives. 

Background: 

Section 861 of the NDAA FY2008 directed the Secretary of Defense, the 
Secretary of State and the USAID Administrator to sign an MOU related 
to contracting in Iraq or Afghanistan. The law specified a number of 
matters to be covered in the MOU, including the identification of each 
agency's roles and responsibilities for matters relating to contracting 
in Iraq or Afghanistan, responsibility for establishing procedures for 
the movement of contractor personnel in Iraq or Afghanistan, 
responsibility for collecting and referring information related to 
violations of the Uniform Code of Military Justice (UCMJ) or the 
Military Extraterritorial Jurisdiction Act (MEJA), and identifying 
common databases that will serve as repositories of information on 
contract and contractor personnel in Iraq or Afghanistan. The NDAA 
FY2008 requires the databases to track, at a minimum, 

* for each contract:[Footnote 3] 

- a brief description, 

- its total value, and: 

- whether it was awarded competitively, and: 

* for contractor personnel[Footnote 4] working under contracts in Iraq 
or Afghanistan, 

- total number employed, 

- total number of personnel performing security functions,[Footnote 5] 
and: 

- total number of personnel who have been killed or wounded. 

DOD, State, and USAID signed the MOU in July 2008.[Footnote 6] Under 
the MOU, the three agencies agreed that DOD's Synchronized Pre- 
Deployment and Operational Tracker database (SPOT) will be the system 
of record for required contract and contractor personnel information. 
SPOT is a Web-based system that was initially designed by DOD. The MOU 
specified that SPOT will include information on DOD, State, and USAID 
contracts with more than 14 days of performance in Iraq or Afghanistan 
or valued at more than $100,000 as well as information on the personnel 
working under those contracts. The NDAA FY2008, however, did not 
specify a minimum dollar value threshold regarding which contracts 
should appear in the database. 

As agreed to in the MOU, DOD is responsible for all maintenance and 
upgrades to SPOT.[Footnote 7] The agencies further agreed to negotiate 
funding arrangements for any agency-unique requirements that only 
benefit one agency and for specialized training requirements. Each 
agency is responsible for ensuring that data elements related to 
contractor personnel, such as the number of personnel employed on 
contracts in Iraq or Afghanistan, are entered into SPOT and for 
requiring its contractors to input that information accurately. Other 
data elements related to the contract, such as its value and whether it 
was awarded competitively, are to be imported into SPOT from the 
Federal Procurement Data System - Next Generation (FPDS-NG), which is 
the federal government's current system for tracking information on 
contracting actions. 

Information on Contracts and Contractor Personnel Can Help Address 
Contract Management and Oversight Challenges: 

Given DOD, State, and USAID's extensive reliance on contractors to 
support and carry out their missions in Iraq and Afghanistan, the need 
for accurate and complete information on contracts and contractor 
personnel to inform decisions and oversee contractors is critical. We 
have reported extensively on the management and oversight challenges 
related to the use of contractors in support of contingency operations 
and the need for decision makers to have accurate, complete, and timely 
information as a starting point for addressing those challenges. 
Although much of our prior work has focused on DOD, the lessons learned 
can be applied to other agencies relying on contractors to help carry 
out their missions. The agencies' lack of complete and accurate 
information on contractors supporting contingency operations inhibits 
officials and commanders from developing a complete picture of the 
extent to which they rely on contractors, the tasks contractors are 
performing, and the government's spending on contractors. These 
limitations may inhibit planning, increase costs, and introduce 
unnecessary risk, as illustrated in the following examples: 

* Limited visibility over contractors obscures the extent to which 
agencies rely on contractors to support operations and help carry out 
missions. In our 2006 review of DOD contractors supporting deployed 
forces, we reported that a battalion commander in Iraq was unable to 
determine the number of contractor-provided interpreters available to 
support his unit.[Footnote 8] Such a lack of visibility can create 
challenges for planning and carrying out missions. Further, knowledge 
of who is on their installation, including contractor personnel, helps 
commanders make informed decisions regarding force protection and 
account for all individuals in the event of hostile action. 

* Without incorporating information on contractors into planning 
efforts, agencies risk making uninformed programmatic decisions. As we 
noted in our 2004 and 2005 reviews of Afghanistan reconstruction 
efforts, when developing its interim development assistance strategy, 
USAID did not incorporate information on the contractor resources 
required to implement the strategy and the means to measure program 
progress.[Footnote 9] Such information was contained in numerous 
project and contract documents rather than in a comprehensive strategy. 
We determined that the lack of a comprehensive strategy or adequate 
financial data impaired USAID's ability to make informed decisions on 
resource allocations as it developed the interim strategy. 

* A lack of accurate financial information on contracts impedes 
agencies' ability to create realistic budgets. As we reported in July 
2005,[Footnote 10] despite the significant role played by private 
security providers in enabling Iraqi reconstruction efforts, neither 
State, DOD, nor USAID had complete data on the costs associated with 
using private security providers. As a result, agency officials 
acknowledged that security costs had diverted planned reconstruction 
resources and led to a reduction in scope or cancellation of certain 
reconstruction projects, including a USAID power generation-related 
contract in which the agency cut $15 million from two projects to cover 
security costs at another. 

* Lack of insight into the contract services being performed increases 
the risk of paying for duplicative services. In the Balkans, where 
billions of dollars were spent for contractor support, we found in 2002 
[Footnote 11] that DOD did not have an overview of all contracts 
awarded in support operations. Until an overview of all contractor 
activity was obtained, no one in DOD knew what the contractors had been 
contracted to do and whether there was duplication of effort among the 
contracts that had been awarded. 

* Costs can increase due to a lack of visibility over where contractors 
are deployed and what government support they are entitled to. In our 
December 2006 review of DOD's use of contractors in Iraq, an Army 
official estimated that about $43 million was lost each year to free 
meals provided to contractor employees at deployed locations who also 
received a per diem food allowance.[Footnote 12] Similarly, when senior 
military leaders began to develop a base consolidation plan, they were 
unable to determine how many contractors were deployed and ran the risk 
of over-or underbuilding the consolidated bases. 

Many of the recommendations from our prior work on contractors 
supporting contingency operations focused on increasing agencies' 
ability to track contracts and contractor personnel so that decision 
makers--whether out in the field or at headquarters--can have a clearer 
understanding of the extent to which they rely on contractors, improve 
planning, and better account for costs. While actions have been taken 
to address our recommendations, DOD, State, and USAID officials have 
noted in their recent meetings with us that their ability to access 
information on contracts and contractor personnel to inform decisions 
still needs improvement. Specifically, information related to contracts 
and the personnel working on them in Iraq and Afghanistan may reside 
solely with the contractors, be stored in a variety of data systems, or 
may exist only in paper form in scattered geographical regions. These 
officials indicated that the implementation of the MOU and specifically 
the use of SPOT have the potential to bring some of this dispersed 
information together so that it can be used to better manage and 
oversee contractors. 

Agencies Have Made Progress in Implementing their Database to Track 
Contractor Personnel and Contracts: 

DOD, State, and USAID have made progress in implementing SPOT as agreed 
upon in the MOU, but not all contractor personnel and contracts are 
being entered into the system. The three agencies now require their 
contractors to enter personnel data into SPOT, although the 
requirements are not applied uniformly across the agencies or in both 
Iraq and Afghanistan. Similarly, SPOT has the capability to track 
contract information, but there are differing views as to which 
contracts should be tracked. As a result, the agencies continue to rely 
on alternative sources for this information and have not yet begun to 
incorporate SPOT data into their decision making. 

Contractor Personnel: 

Since signing the MOU, DOD, State, and USAID have taken actions to have 
contractor personnel information entered into SPOT. Specifically, all 
three agencies now require their contractors in Iraq to enter personnel 
data into SPOT, but only DOD and State require their contractors to do 
so in Afghanistan. While the MOU established the requirement for the 
agencies to track their contractor personnel in SPOT, officials from 
all three agencies explained that a separate DOD order issued in August 
2008 was a critical factor in prompting the agencies and their 
contractors to begin entering personnel information into SPOT, 
particularly for Iraq. This order requires DOD contractor personnel to 
have letters of authorization (LOA)[Footnote 13] generated in SPOT so 
that they can, among other things, enter Iraq or Afghanistan, receive 
military identification cards, travel on U.S. military aircraft, or, 
for security contractors, receive approval to carry weapons. Though 
DOD's order does not apply directly to non-DOD contractors, State and 
USAID also began taking steps to have their contractor personnel 
entered into SPOT and to issue them SPOT-generated LOAs to facilitate 
their entry into the country and access to U.S. installations. As a 
result of the LOA requirement, officials with all three agencies have 
expressed confidence that most, if not almost all, contractor personnel 
needing LOAs have been entered into SPOT. 

The agencies acknowledge that despite their progress not all contractor 
personnel are being tracked in SPOT. This is particularly true for 
contractor personnel who do not need LOAs and for Iraqi and Afghan 
local nationals working under U.S. government contracts. USAID 
officials stated that one reason they do not yet require contractors in 
Afghanistan to use SPOT is that they do not need LOAs since they 
generally do not take U.S. military transport or access U.S. 
facilities. One USAID official, citing the burden of fulfilling such a 
requirement for the agency, questioned the value of requiring USAID 
contractors in Afghanistan to use SPOT absent the need for a SPOT- 
generated LOA. In addition, Iraqi and Afghan contractor personnel 
typically do not need LOAs. As a result, there is little incentive for 
the agencies or contractor firms to ensure that information on local 
nationals is entered into SPOT. For example, a State contracting 
officer informed us that Iraqis working on his contracts are not in 
SPOT because they do not need LOAs. DOD officials further explained 
that information on local nationals in SPOT is incomplete, in part, 
because the number of Afghan and Iraqi nationals working under 
contracts tends to fluctuate and local firms do not always keep precise 
track of the individuals working on their projects. Also, USAID has 
held off entering Iraqi nationals into SPOT because of concerns that 
doing so could pose a threat to their safety should the database be 
compromised. DOD officials informed us that they are currently 
developing a classified version of SPOT, which could help address this 
concern. 

SPOT was upgraded in January to fulfill the NDAA FY2008 requirement to 
track contractor personnel who have been killed or wounded. Using a 
field in SPOT, contractors are able to indicate whether an individual 
has been killed, is wounded, or is missing. According to DOD officials, 
depending on the extent to which contractors record casualty 
information in SPOT, all three agencies may be able to centrally and 
systematically obtain such information, something they previously were 
unable to do. 

Contracts: 

With respect to the three agencies' contracts performed in Iraq and 
Afghanistan, DOD upgraded SPOT in January 2009 so that it can now 
record information on each contact's value, the extent of competition, 
and descriptions of the services provided. While the MOU specifies that 
the information is to be imported from FPDS-NG, the competition and 
description fields are not currently linked to FPDS-NG and that 
information must be entered manually.[Footnote 14] While information on 
contracts is now being entered into SPOT, there are differing views as 
to which contracts need to be entered into the database. The agencies 
agreed in the MOU to track contracts in Iraq or Afghanistan that have a 
period of performance of more than 14 days or a total value of $100,000 
or more. According to DOD officials, they would now like to increase 
this value to $250,000. However, DOD currently requires contracts with 
more than 30 days of performance or a total value over $25,000 to be 
entered into SPOT. Yet in practice, DOD contracting officers have said 
that contracts for which personnel need LOAs are entered into the 
database even if they do not meet the thresholds. Similarly, the USAID 
point of contact for SPOT's implementation said that the agency does 
not believe it needs to enter those contracts for which personnel do 
not need LOAs, even if the contracts meet the thresholds identified in 
the MOU. These varying interpretations stem, in part, from differing 
views on the agencies' need to collect and use data on certain 
contracts. However, DOD officials informed us that when the agencies 
established the MOU requirements, they did not conduct any analyses of 
what an appropriate threshold should be given the potential costs and 
benefits of obtaining and using such information. 

Continued Reliance on Other Systems: 

Although their use of SPOT has increased, the database is not yet the 
agencies' primary means of obtaining data on contractor personnel or 
contracts in Iraq and Afghanistan. DOD continues to rely on its 
quarterly census[Footnote 15] of contractor personnel to obtain 
information on the number of U.S., third country, and local nationals 
working in Iraq and Afghanistan and the contractor personnel performing 
security functions. According to DOD officials in Iraq, the census 
provides more complete information. They stated that this is 
particularly the case for local nationals working on DOD contracts, 
which is of special interest to commanders in Iraq for tracking the 
progress of economic development efforts. Although State reported that 
most of its contractor personnel are entered into SPOT, it continues to 
conduct ad hoc inquiries of contractors to obtain a more complete view 
of contractor personnel in the two countries. USAID officials informed 
us that they rely entirely on ad hoc inquiries of its contractors to 
determine how many personnel are working under each contract in Iraq 
and Afghanistan. In responding to our recent requests for contract 
data, the three agencies continue to rely on a combination of FPDS-NG, 
agency-specific databases, and manually compiled lists as opposed to 
using SPOT. 

As they rely on other sources of information, the agencies have not 
used SPOT data to inform planning or management decisions with limited 
exceptions. Officials from both State and USAID told us that they were 
uncertain of the extent of their access to SPOT to obtain data and 
generate reports that could inform decisions. State officials were able 
to provide us with a list of contractor personnel entered into SPOT, 
but they said that any special data requests beyond that would need to 
be submitted to the SPOT Help Desk and approved by DOD. Similarly, the 
USAID official responsible for SPOT told us the agency has a great deal 
to learn about using the system, and only after receiving assistance 
from the SPOT Help Desk could he figure out how to obtain a SPOT- 
generated report of USAID's contractor personnel. Further USAID 
officials indicated that they have not yet determined how they can use 
data from SPOT to inform various planning and management efforts. In 
contrast, DOD is currently using SPOT to monitor contractor personnel 
movements into and within Iraq and Afghanistan. Despite limited use 
thus far, DOD and State have expressed plans to expand the use of SPOT 
for a number of planning and management purposes. For example, DOD 
would like to use SPOT to identify contractor personnel who eat at or 
receive medical services from U.S. military facilities so that they can 
be billed for any unauthorized use of these services. In addition, DOD 
officials stated that other agencies, including the Departments of 
Energy and the Treasury, have expressed an interest in using SPOT to 
track their contractor personnel, while State has indicated a desire to 
expand SPOT's use to countries other than Iraq and Afghanistan. 

Concluding Observations: 

The use of contractors in contingency operations is not new, but the 
number of contractors and the work they are performing in Iraq and 
Afghanistan represent an increased reliance on contractors to carry out 
agency missions. By designating SPOT as their database to track 
information on contracts and contractor personnel, DOD, State, and 
USAID are not only addressing a statutory requirement, but when fully 
implemented, they also have an opportunity to use this information to 
help address some longstanding contract management challenges. Using 
such information can provide decision makers with a clearer 
understanding of the extent they rely on contractors, improve planning, 
and better account for costs. However, at this time, agencies have 
varying views on the level of detail and types of information to be 
captured by the database and the usefulness of such data to better plan 
for and oversee the use of contractors. It is important that DOD, 
State, and USAID continue to work together to develop and implement a 
database that is flexible enough to be applicable across agencies while 
still providing detailed information to better manage and oversee 
contractors. 

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

GAO Contacts and acknowledgement: 

For further information about this statement, please contact John P. 
Hutton (202) 512-4841 or huttonj@gao.gov. Contact points for our 
Offices of Congressional Relations and Public Affairs may be found on 
the last page of this statement. Individuals who made key contributions 
to this statement include Johana R. Ayers, E. Brandon Booth, 
Christopher Kunitz, Alise Nacson, and Karen Thornton. 

[End of section] 

Footnotes: 

[1] Pub. L. No. 110-181, § 861, as amended. 

[2] For our first report issued under this mandate (Pub. L. No. 110- 
181, § 863) see GAO, Contingency Contracting: DOD, State, and USAID 
Contracts and Contractor Personnel in Iraq and Afghanistan, [hyperlink, 
http://www.gao.gov/products/GAO-09-19] (Washington, D.C.: Oct. 1, 
2008). Work on our second report under the mandate is currently 
ongoing. 

[3] Section 864 of the NDAA FY2008 defines a "contract in Iraq or 
Afghanistan" as "a contract with the Department of Defense, the 
Department of State, or the United States Agency for International 
Development, a subcontract at any tier issued under such a contract, or 
a task order or delivery order at any tier issued under such a contract 
(including a contract, subcontract, or task order or delivery order 
issued by another Government agency for the Department of Defense, the 
Department of State, or the United States Agency for International 
Development) if the contract, subcontract, or task order or delivery 
order involves work performed in Iraq or Afghanistan for a period 
longer than 14 days." 

[4] The Duncan Hunter National Defense Authorization Act for Fiscal 
Year 2009 (NDAA FY2009) (Pub. L. No. 110-417, §854) amended section 864 
of the NDAA FY2008 to add a definition of "contractor personnel" as 
"any person performing work under contract for the Department of 
Defense, the Department of State, or the United States Agency for 
International Development, in Iraq or Afghanistan, including 
individuals and subcontractors at any tier." 

[5] Section 864 of the NDAA FY2008 defines private security functions 
as the "guarding of personnel, facilities or property of a Federal 
agency, the contractor or subcontractor, or a third party" and "any 
other activity for which personnel are required to carry weapons in the 
performance of their duties" under a U.S. government contract in an 
area of combat operations. 

[6] The NDAA FY2009 amended section 861 of the NDAA FY2008 by 
specifying additional matters to be included in the MOU regarding UCMJ 
and MEJA offenses and requiring the agencies to modify their MOU to 
address these additional matters by February 11, 2009. However, 
according to officials with the three agencies, the required 
modifications to the MOU are still pending final approval 

[7] DOD, as the system owner, currently pays all development and 
maintenance costs for SPOT. However, DOD officials we spoke with said 
that they are exploring options for having the agencies that use SPOT 
pay for some of the maintenance costs. 

[8] GAO, Military Operations: High-Level DOD Action Needed to Address 
Long-standing Problems with Management and Oversight of Contractors 
Supporting Deployed Forces, [hyperlink, 
http://www.gao.gov/products/GAO-07-145] (Washington, D.C.: Dec. 18, 
2006). 

[9] GAO, Afghanistan Reconstruction: Deteriorating Security and Limited 
Resources Have Impeded Progress; Improvements in U.S. Strategy Needed, 
[hyperlink, http://www.gao.gov/products/GAO-04-403] (Washington, D.C.: 
June 2, 2004) and Afghanistan Reconstruction: Despite Some Progress, 
Deteriorating Security and Other Obstacles Continue to Threaten 
Achievement of U.S. Goals, [hyperlink, 
http://www.gao.gov/products/GAO-05-742] (Washington, D.C.: July 28, 
2005). 

[10] GAO, Rebuilding Iraq: Actions Needed to Improve Use of Private 
Security Providers, [hyperlink, http://www.gao.gov/products/GAO-05-737] 
(Washington, D.C.: July 28, 2005). 

[11] GAO, Defense Budget: Need to Strengthen Guidance and Oversight of 
Contingency Operations Costs, [hyperlink, 
http://www.gao.gov/products/GAO-02-450] (Washington, D.C.: May 21, 
2002). 

[12] [hyperlink, http://www.gao.gov/products/GAO-07-145]. 

[13] An LOA is a document issued by a government contracting officer or 
designee that authorizes contractor personnel to travel to, from, and 
within a designated area; and to identify any additional 
authorizations, privileges, or government support the contractor is 
entitled to under the contract. 

[14] According to DOD officials, data on contract obligations can be 
uploaded into SPOT based on reports provided from FPDS-NG. There are 
plans to have a direct link between SPOT and FPDS-NG in 2011. 

[15] DOD's Central Command (CENTCOM), which is responsible for 
overseeing U.S. military operations in Iraq and Afghanistan, initiated 
its quarterly census of contractor personnel in June 2007 as an interim 
measure until SPOT is fully implemented. The census relies on 
contractor firms to self-report their personnel data to DOD components, 
which then aggregate the data and report them to CENTCOM at the end of 
each quarter. 

[End of section] 

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