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Report to Congressional Committees: 

June 2007: 

Avian Influenza: 

USDA Has Taken Important Steps to Prepare for Outbreaks, but Better 
Planning Could Improve Response: 

GAO-07-652: 

GAO Highlights: 

Highlights of GAO-07-652, a report to congressional committees 

Why GAO Did This Study: 

A highly pathogenic strain of avian influenza (AI) has spread to nearly 
60 countries over the past few years, killing millions of birds and 
more than 170 humans. Controlling the virus in poultry is key to 
reducing the risk of a human pandemic. The Department of Agriculture 
(USDA) is responsible for planning for AI outbreaks in poultry, with 
states’ assistance. The Department of Homeland Security (DHS) is 
responsible for coordinating the federal response for certain 
emergencies and developing policy documents that serve as a basis for 
national emergency planning. GAO described the steps USDA is taking to 
prepare for highly pathogenic AI and identified key challenges. GAO 
reviewed response plans, statutes, and regulations; visited poultry 
operations; interviewed federal, state, and industry officials in five 
states that experienced outbreaks; and reviewed 19 state plans. 

What GAO Found: 

USDA is taking important steps to prepare for highly pathogenic AI. For 
example, the department has established mechanisms to prevent infected 
poultry (see photo) and products from being imported and has developed 
several surveillance programs to detect AI. In addition, USDA is 
developing response plans specific to highly pathogenic AI and has 
begun conducting exercises to test these plans. Moreover, USDA is 
building a National Veterinary Stockpile to maintain critical supplies, 
including equipment to protect responders. Finally, USDA has launched 
various AI research projects, including one to explore why the virus 
causes disease and death in some domestic poultry and wild birds but 
not in others. 

While USDA has made important strides, incomplete planning at the 
federal and state levels, as well as several unresolved issues, could 
slow response. First, USDA is not planning for the lead coordinating 
role that DHS would assume if an outbreak among poultry occurred that 
is sufficient in scope to warrant various federal disaster 
declarations. GAO’s prior work has shown that roles and 
responsibilities must be clearly defined and understood to facilitate 
rapid and effective decision making. Moreover, USDA response plans do 
not identify the capabilities needed to carry out the critical tasks 
associated with an outbreak scenario—that is, the entities responsible 
for carrying them out, the resources needed, and the provider of those 
resources. Furthermore, some state plans lack important components that 
could facilitate rapid AI containment, which is problematic because 
states typically lead initial response efforts. Finally, there are 
several unresolved issues that, absent advance consideration, could 
hinder response. For example, controlling an outbreak among birds 
raised in backyards, such as for hobby, remains particularly difficult 
because federal and state officials generally do not know the numbers 
and locations of these birds. In addition, USDA has not estimated the 
amount of antiviral medication that it would need during an outbreak or 
resolved how to provide such supplies in a timely manner. According to 
federal guidance, poultry workers responding to an outbreak of highly 
pathogenic AI should take antiviral medication to protect them from 
infection. 

Figure: A Chicken Infected with Avian Influenza: 

[See PDF for Image] 

Source: USDA. 

[End of figure] 

What GAO Recommends: 

GAO recommends that USDA and DHS develop a memorandum of understanding 
to clarify their roles during certain emergencies, and USDA should take 
several steps to improve its planning and that of the states. USDA 
agreed with all recommendations except for the use of a memorandum of 
understanding to clarify roles. DHS agreed further clarification of 
roles is needed. 

[Hyperlink, http://www.gao.gov/cgi-bin/getrpt?GAO-07-652]. 

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact Daniel Bertoni at (202) 
512-3841 or bertonid@gao.gov. 

[End of section] 

Contents: 

Letter: 

Results in Brief: 

Background: 

USDA Is Implementing Important Measures to Help the Nation Prepare for 
Outbreaks of Highly Pathogenic Avian Influenza: 

Federal and State Response Plans Are Incomplete, and Several Issues Are 
Unresolved: 

Conclusions: 

Recommendations for Executive Action: 

Agency Comments and Our Evaluation: 

Appendixes: 

Appendix I: Scope and Methodology: 

Appendix II: Comments from the Department of Agriculture: 

GAO Comments: 

Appendix III: Comments from the Department of Homeland Security: 

Appendix IV: GAO Contact and Staff Acknowledgments: 

Tables: 

Table 1: States That Have Experienced Outbreaks of Avian Influenza in 
Commercial Poultry Since 2002: 

Table 2: Gaps Identified in State Plans: 

Figures: 

Figure 1: Common Types of Commercial Poultry Operations: 

Figure 2: Percentages of Poultry Types Produced in the United States, 
2005: 

Figure 3: Value of Poultry Products in the United States, 2005: 

Figure 4: How Disease Spreads Among Commercial Poultry: 

Figure 5: Identifying Capabilities Needed for Highly Pathogenic AI: 

Figure 6: Methods of Poultry Disposal: 

Abbreviations: 

AI: avian influenza: 

APHIS: Animal and Plant Health Inspection Service: 

DHS: Department of Homeland Security: 

USDA: Department of Agriculture: 

HHS: Department of Health and Human Services: 

June 11, 2007: 

Congressional Committees: 

A highly pathogenic strain of H5N1 avian influenza has, over the past 
few years, spread to nearly 60 countries, resulting in the death and 
destruction of millions of wild and domestic birds throughout Asia, 
Europe, Africa, and the Middle East. Serious concerns exist that it 
could reach North America at any time via migrating birds or smuggled 
imports of diseased birds and bird products. Although primarily an 
avian disease, this virus has also infected 291 humans--most of whom 
had close contact with infected poultry--and more than half of them 
have died.[Footnote 1] Health experts are concerned that should highly 
pathogenic H5N1 (or another subtype), to which humans have no immunity, 
develop the capacity to spread easily from person to person, a pandemic 
could occur. According to the World Health Organization, controlling 
the virus in poultry is the principal way to reduce opportunities for 
human infection and, therefore, reduce opportunities for a pandemic to 
emerge. 

Avian influenza (AI) viruses are classified as either "low pathogenic" 
or "highly pathogenic" based on their genetic features and the severity 
of the disease they cause in poultry. Most AI viruses are low 
pathogenic and usually result in mild or asymptomatic infections in 
birds. In the United States, these viruses are common in wild waterfowl 
and shorebirds. Highly pathogenic AI viruses are associated with high 
morbidity and mortality in poultry and are considered foreign animal 
diseases because they rarely occur in the United States. Despite the 
relative mildness of low pathogenic AI, some of these strains are 
worrisome because they have the potential to mutate into highly 
pathogenic AI. This happened most recently in 2004 in British Columbia, 
Canada, resulting in the death of 17 million birds. 

The Department of Agriculture (USDA) is responsible for acting to 
prevent, control, and eradicate foreign animal diseases in domestic 
livestock and poultry, in coordination with a number of other entities. 
For example, USDA typically partners with states and industry in 
eradicating such diseases, with the agency's level of involvement 
dependent upon states' preparedness and the size of the outbreak. If 
humans become infected, the Department of Health and Human Services 
(HHS) leads the federal medical response. In the event of an outbreak 
serious enough for the President to declare an emergency[Footnote 2] or 
major disaster[Footnote 3] or for the Secretary of Homeland Security to 
declare an Incident of National Significance,[Footnote 4] the Secretary 
of Homeland Security assumes responsibility for coordinating the 
federal response. In addition, the Department of Homeland Security 
(DHS) has been charged with developing policy documents that provide 
the foundation for emergency planning for all levels of government. 

A well-planned, coordinated emergency response is essential when 
dealing with highly pathogenic AI in order to mitigate financial losses 
to the $28 billion U.S. poultry industry. The United States is the 
world's largest producer and second largest exporter of poultry meat, 
accounting for nearly 35 percent of global trade valued at more than $2 
billion annually. Once certain strains of low pathogenic AI or any 
strain of highly pathogenic AI are found in domestic poultry in the 
United States, trading partners are notified, and exports of poultry 
and poultry products from within the affected area are halted. To 
control the spread of the disease and to ultimately resume trade, USDA, 
often with assistance from states and the poultry industry, typically 
destroys--depopulates--exposed and infected birds, including those 
raised in commercial operations and in backyards.[Footnote 5] USDA 
provides compensation to owners--indemnifies them--for losses incurred 
when USDA depopulates birds.[Footnote 6] 

USDA has had some experience working with states and the poultry 
industry to eradicate highly pathogenic AI. For example, USDA worked 
with Pennsylvania to control an outbreak of highly pathogenic AI in 
1983, leading to the depopulation of 17 million birds. However, the 
agency has never confronted the challenge of an AI strain with the 
unique characteristics of highly pathogenic H5N1: the unprecedented 
speed with which it has spread, its human health implications, and the 
extensive scrutiny it has received as a result of coverage in the world 
media. Moreover, the possibility exists that terrorists could introduce 
highly pathogenic AI at multiple locations, instilling fear in the 
public about the safety of the food supply and disrupting the economy. 

Given the intense global concern about highly pathogenic AI, we (1) 
described the steps USDA has taken to prepare for highly pathogenic AI 
in domestic poultry and (2) identified any challenges that could affect 
USDA's ability to prepare for highly pathogenic AI. A list of 
congressional committees that requested this report appears on the last 
page of this letter. 

To describe the steps USDA has taken to prepare for outbreaks of highly 
pathogenic AI in domestic poultry, we reviewed presidential directives 
and national emergency planning documents, relevant statutes and 
regulations, and USDA documents and programs related to AI. To identify 
any challenges that could affect USDA's ability to prepare for 
outbreaks of highly pathogenic AI, we conducted structured interviews 
with federal, state, and industry officials in California, Delaware, 
Maryland, Texas, and Virginia. We selected these states because they 
have experience responding to an outbreak of AI or another highly 
infectious avian disease in the past 5 years and because of their 
varying poultry demographics. We also interviewed USDA emergency 
management and industry officials, including those personnel 
specifically charged with helping states develop AI response plans, to 
identify strengths and weaknesses in state plans and to characterize 
their state's level of readiness for an outbreak. In addition, we 
performed our own review and assessment of 19 state plans to 
corroborate identified strengths and weaknesses from the interviews. 
Furthermore, we attended a USDA and state AI training exercise and 
visited live bird markets and numerous types of poultry operations. 
Finally, we interviewed DHS officials to discuss emergency planning and 
DHS' role in outbreaks of AI. Additional details about our scope and 
methodology are presented in appendix I. We conducted our review 
between May 2006 and June 2007 in accordance with generally accepted 
government auditing standards. 

Results in Brief: 

USDA is taking many important measures to help the nation prepare for 
outbreaks of highly pathogenic AI. For example, USDA has put mechanisms 
in place to prevent the importation of poultry and poultry products 
contaminated with highly pathogenic AI. It also has developed several 
surveillance programs to detect AI, including a long-standing voluntary 
program that systematically tests samples of birds from participating 
poultry operators' flocks for the virus. In addition, USDA is 
developing response plans specific to highly pathogenic AI, and the 
department has begun preliminary exercises with other federal agencies, 
states, and industry to test preparedness. Moreover, USDA has begun 
creating a National Veterinary Stockpile containing, among other 
things, personal protective equipment such as goggles and respirators 
to protect responders against foreign animal diseases. Furthermore, 
USDA recently expanded its indemnification regulations and has 
developed communication strategies to inform the public and instill 
confidence that USDA is taking steps to quickly address any potential 
AI outbreak. Finally, USDA has critical AI research under way. For 
example, it is conducting experiments to better understand how the 
virus causes disease and death in some domestic poultry and wild birds 
but not in others. 

While USDA has made important strides, incomplete planning at the 
federal and state levels, as well as several unresolved issues, could 
slow response and delay recovery from an outbreak. First, USDA is not 
planning for DHS to assume the lead coordinating role if an outbreak 
among poultry occurs that is sufficient in scope to warrant a 
presidential declaration of an emergency or major disaster, or a DHS 
declaration of an Incident of National Significance. USDA officials 
told us that DHS involvement would likely be unnecessary unless there 
are multiple outbreaks, an agroterrorism event is suspected, or the 
virus causes a human pandemic. Moreover, in the view of USDA officials, 
it is not clear that a presidential declaration of an emergency or 
major disaster would even apply to a highly pathogenic AI outbreak. 
However, the decision to involve DHS is not USDA's to make. It is the 
President who declares an emergency or major disaster when he 
determines that an outbreak is sufficient in scope to warrant federal 
assistance. Furthermore, DHS officials told us that it is possible that 
an Incident of National Significance would be declared by the Secretary 
of Homeland Security depending on the severity, magnitude, or 
complexity of the outbreak. In the event of a presidential declaration 
of an emergency or major disaster, or a declaration of an Incident of 
National Significance, the Secretary of Homeland Security assumes 
responsibility for directing the federal response. DHS officials told 
us they should be involved in planning for such an event. Our prior 
work has shown that roles and responsibilities for those responding to 
major incidents must be clearly defined and understood to facilitate 
rapid and effective decision making. Because this DHS/USDA coordination 
is absent from USDA planning, the federal response may be slowed as 
these agencies resolve their roles and responsibilities following the 
onset of a significant outbreak. Second, USDA response plans do not 
identify the capabilities needed to carry out the tasks associated with 
an outbreak scenario--that is, the entities responsible for carrying 
them out, the resources needed, and the source of those resources. 
Planning of this nature is essential for an effective emergency 
response. 

Furthermore, 14 of 19 state plans that we reviewed lack important 
components that could facilitate rapid containment of the virus. For 
example, some lack time frames for accomplishing response activities 
that would enable the states to determine the extent to which they were 
being successful in controlling the outbreak. USDA and state officials 
told us that state-level plans are incomplete for several reasons, 
including the lack of established federal criteria for what a response 
plan for highly pathogenic AI should include. In the absence of such 
criteria, USDA and state officials we interviewed told us they are 
relying, among other things, on experience from previous outbreaks. 
These planning gaps are particularly problematic because states 
typically lead initial response efforts, when rapid action is essential 
to limiting the spread of disease. 

Finally, several unresolved issues could affect response. For example, 
federal and state officials generally do not know the numbers and 
locations of backyard birds so controlling an outbreak among these 
birds remains particularly difficult. A recent California outbreak of 
exotic Newcastle disease--a highly infectious foreign animal disease in 
birds--illustrates this point. This virus originated in backyard flocks 
in California and spread to two neighboring states. Controlling the 
disease was impeded because responders had to go door-to-door to locate 
potentially infected birds. A second issue is that the disposal of 
carcasses and materials infected with AI may be more problematic than 
in the past. State officials told us that in light of highly pathogenic 
H5N1, operators of landfills have become reluctant to accept materials 
infected with even low pathogenic AI because of the perceived human 
health risk. Furthermore, USDA has not estimated the amount of 
antiviral medication that it would need in the event of an outbreak or 
resolved how to provide such supplies within the first 24 hours of an 
outbreak. According to federal guidance, workers responding to an 
outbreak of highly pathogenic AI should take antiviral medication daily 
at the site of an outbreak and each day for 7 days after leaving the 
site to protect them from infection. 

To increase the likelihood that an outbreak of highly pathogenic AI is 
rapidly contained so efforts can focus on recovery, we are making 
several recommendations. For example, we are recommending that the 
Secretaries of Agriculture and Homeland Security develop a memorandum 
of understanding that describes how USDA and DHS will work together in 
the event of a declared presidential emergency or major disaster, or an 
Incident of National Significance, and test the effectiveness of this 
coordination during exercises. In addition, we are recommending that 
the Secretary of Agriculture identify and test the capabilities 
necessary to respond to a probable outbreak scenario(s); develop 
standard criteria for the components of state response plans; focus 
additional work with states on how to overcome potential problems 
associated with unresolved issues; and address concerns about antiviral 
medication. 

In commenting on a draft of this report, USDA agreed with all but one 
of our recommendations. USDA stated that it does not believe a 
memorandum of understanding is the best vehicle for clarifying and 
defining the roles of USDA and DHS in the event of a declared 
presidential emergency or major disaster, or an Incident of National 
Significance. Nevertheless, USDA accepted the need to clarify the roles 
during such an event and further supported the need to test this 
coordination in formal exercises. DHS agreed that USDA and DHS roles 
need further clarification and suggested that a concept of operation 
plan could be used to define this relationship. DHS further supported 
the need to test this coordination through exercises. 

Background: 

In November 2005, the President of the United States released the 
Homeland Security Council's National Strategy for Pandemic Influenza to 
guide the country's overall effort to address the threat that highly 
pathogenic AI could create a human pandemic influenza. The strategy 
identified four lead agencies, each responsible for developing a plan 
to implement a component of the strategy: USDA is responsible for the 
veterinary response, HHS is responsible for the medical response, the 
Department of State is responsible for international activities, and 
DHS is responsible for overall domestic incident management and federal 
coordination. In May 2006, the Implementation Plan for the National 
Strategy for Pandemic Influenza was issued to describe how the strategy 
would be implemented. Specifically, this implementation plan describes 
more than 300 critical actions that the appropriate federal agencies 
must carry out to address the threat of pandemic influenza. The 
department has responsibility for nearly 100 of these critical 
actions.[Footnote 7] 

The U.S. poultry industry consists, in large part, of a relatively 
small number of large companies that own all aspects of the production 
process--from the hatchery to the processing facility. The most common 
types of poultry raised commercially are chickens for consumption 
(called broilers) and chickens that lay eggs (called layers), as well 
as turkeys (see fig. 1). Broilers represent 93 percent of poultry 
produced in the United States (see fig. 2) and almost three-quarters of 
poultry and poultry products by value sold to consumers (see fig. 3). 
There are also commercial birds that are genetic breeding stock whose 
main function is to produce offspring that facilitate mass production 
and are economical to raise. Commercial poultry operations typically 
raise tens of thousands of birds in confined poultry houses. Such 
operations can include multiple houses located close to each other. 
Because of the environment in which commercial birds are raised, if one 
bird becomes infected with highly pathogenic AI, hundreds of thousands 
of birds can be exposed and need to be depopulated. 

Figure 1: Common Types of Commercial Poultry Operations: 

[See PDF for image] - graphic text: 

Source; GAO. 

[End of figure] - graphic text: 

Figure 2: Percentages of Poultry Types Produced in the United States, 
2005: 

[See PDF for image] - graphic text: 

Source: GAO presentation of USDA data. 

[End of figure] - graphic text: 

Figure 3: Value of Poultry Products in the United States, 2005: 

[See PDF for image] - graphic text: 

Source: GAO presentation of USDA data. 

[End of figure] - graphic text: 

In addition to poultry raised commercially, numerous types of birds are 
raised in backyards, with flocks up to 1,000 birds. These "backyard" 
birds are typically chickens used for personal egg production and 
consumption; game fowl used for fighting; and game birds, such as quail 
and pheasant. These birds may run loose or be confined to a poultry 
house. In addition, there are birds in live bird markets--facilities 
that sell live poultry, which is often slaughtered on-site, to the 
general public--and some are sold at auctions and swap meets. 

When poultry become infected with AI, it may be spread by the movement 
of contaminated people and equipment to and from a site where the 
infected birds are located (see fig. 4). For example, a poultry worker 
enters one bird house containing birds infected with AI but does not 
disinfect boots or change clothing before entering another house, 
carrying the virus and causing the disease to spread. As a precaution, 
commercial producers often implement biosecurity measures. For example, 
the number of people entering a bird house is restricted, and these 
people must dress in special, sometimes disposable, clothing. Moreover, 
vehicles arriving at a farm are usually required to be disinfected upon 
entry and exit. The workers' boots and hands are also disinfected. For 
highly valuable birds, such as genetic breeding stock, biosecurity may 
be higher--for example, visitors may be required to shower before 
entering and leaving the facility. 

Figure 4: How Disease Spreads Among Commercial Poultry: 

[See PDF for image] - graphic text: 

Source: USDA and GAO. 

[End of figure] - graphic text: 

Despite biosecurity measures, outbreaks among commercial poultry have 
recently occurred (see table 1). For example, in 2002, Virginia 
experienced an outbreak of low pathogenic AI that resulted in the 
depopulation of nearly 5 million birds in order to control the 
disease.[Footnote 8] In 2003, Connecticut had an outbreak of low 
pathogenic AI that affected more than 3 million commercial laying 
hens.[Footnote 9] While low pathogenic AI is detected from time to time 
in domestic poultry, highly pathogenic AI is known to have occurred 
only three times in the United States: in 1924, 1983, and 2004. It is 
believed that all three of these highly pathogenic outbreaks originated 
in live bird markets. The Pennsylvania outbreak in 1983 began as a low 
pathogenic AI virus but mutated into a highly pathogenic strain, 
leading to the depopulation of 17 million birds. Although diagnostic 
testing confirmed that a virus in Texas in 2004 was technically highly 
pathogenic, the virus did not cause high mortality in the infected 
birds, as would be typical with highly pathogenic AI. 

Table 1: States That Have Experienced Outbreaks of Avian Influenza in 
Commercial Poultry Since 2002: 

State: Virginia/North Carolina/West Virginia; 
Avian disease: Low pathogenic AI; 
Year of outbreak: 2002; 
Origin: Unconfirmed; live bird market suspected; 
Number/type of birds depopulated: 4.7 million birds; 
Time taken to eradicate: 4 months. 

State: Connecticut; 
Avian disease: Low pathogenic AI; 
Year of outbreak: 2003; 
Origin: Unconfirmed; wildfowl suspected; 
Number/type of birds depopulated: 100,000 laying hens; millions more 
vaccinated; 
Time taken to eradicate: Over 1 year. 

State: Delaware/Maryland; 
Avian disease: Low pathogenic AI; 
Year of outbreak: 2004; 
Origin: Live bird market; 
Number/type of birds depopulated: More than 400,000 commercial 
broilers; 
Time taken to eradicate: 2 months. 

State: Texas; 
Avian disease: Highly pathogenic AI; 
Year of outbreak: 2004; 
Origin: Live bird market; 
Number/type of birds depopulated: 6,600 commercial broilers; 
Time taken to eradicate: Less than 2 months. 

State: West Virginia[A]; 
Avian disease: Low pathogenic AI suspected; 
Year of outbreak: 2007; 
Origin: Unknown at this time; 
Number/ type of birds depopulated: 25,000 turkeys; (unconfirmed); 
Time taken to eradicate: Unknown at this time. 

Source: GAO. 

[A] On March 31, 2007, USDA confirmed the presence of an H5N2 AI virus 
in turkeys located on a farm in West Virginia. USDA reported that this 
virus is consistent with low pathogenic strains of AI. The turkeys 
showed no signs of illness, and there was no mortality. USDA plans to 
run sequencing and pathogenicity tests to further identify the virus. 

[End of table] 

An outbreak of AI can have serious trade repercussions. The World 
Organization for Animal Health is an international animal health group 
with 167 member countries, including the United States. Members agree 
to notify the organization of outbreaks in domestic poultry of all 
highly pathogenic AI and some low pathogenic strains--those with H5 and 
H7 proteins--because they have the capacity to mutate into highly 
pathogenic AI.[Footnote 10] Consequently, when a country's poultry 
tests positive for "notifiable" AI, its international trading partners 
are likely to restrict trade with that country until the partners 
believe the virus is eradicated--an outcome that can take many months 
to achieve. For example, when a single farm in Texas was infected with 
highly pathogenic AI in 2004, more than 50 countries instituted 
complete or partial bans on U.S. poultry; Mexico has yet to lift its 
ban. Therefore, when a flock is infected with AI, the goal becomes 
controlling and eradicating the disease as rapidly as possible in order 
to prevent the spread of the disease and to regain the confidence of 
U.S. trading partners that any future imports will be disease free. 
This is accomplished by acting quickly in the affected area to, among 
other things: (1) quarantine susceptible animals; (2) implement 
biosecurity measures; (3) depopulate infected and exposed birds; (4) 
dispose of contaminated and potentially contaminated materials, 
including animal carcasses; and (5) clean and disinfect the infected 
premises. Once the disease is eradicated, USDA, states, and the poultry 
industry continue to test birds to monitor for AI. 

USDA derives its authority to carry out operations and measures to 
prevent, detect, control, and eradicate AI from the Animal Health 
Protection Act.[Footnote 11] The act authorizes the Secretary of 
Agriculture to hold, seize, treat, destroy, or dispose of any animal, 
vehicle, or object that can harbor the disease, or to restrict their 
movement in interstate commerce. The act also authorizes the Secretary 
to transfer funds from other USDA appropriations or available funds to 
manage an emergency in which a disease of livestock threatens any 
segment of agricultural production in the United States. In addition, 
the act authorizes the Secretary to declare an "extraordinary 
emergency" when it has been determined that a state's actions are 
inadequate to control or eradicate a livestock disease that threatens 
domestic livestock. Under this declaration, the Secretary's authority 
to regulate includes any animal, vehicle, or object that can harbor the 
disease in intrastate, as well as interstate commerce. 

Within USDA, a number of agencies have responsibility for protecting 
U.S. poultry from AI. The Animal and Plant Health Inspection Service 
(APHIS) operates the National Veterinary Services Laboratories, the 
only laboratory in the United States recognized by the World 
Organization for Animal Health to perform confirmatory testing for AI. 
Also, APHIS' Smuggling, Interdiction, and Trade Compliance unit 
conducts activities to prevent smuggled and prohibited agricultural 
goods from entering and being distributed throughout the country. In 
addition, the Agricultural Research Service conducts research on 
endemic and exotic poultry diseases, including highly pathogenic AI; 
the Food Safety and Inspection Service works to ensure that the 
nation's commercial supply of meat, poultry, and egg products is safe 
for human consumption; the Office of Communications coordinates public 
information from USDA program agencies. 

In the past few years, USDA's total obligations for AI preparedness 
efforts have increased from approximately $3.2 million in fiscal year 
2004 to $74.1 million in fiscal year 2006. In 2005, USDA received 
$91.35 million from the 2-year Emergency Supplemental Appropriation to 
Address Pandemic Influenza.[Footnote 12] The bulk of USDA's 
supplemental funding ($80.3 million) was allocated to APHIS, which in 
turn obligated $43 million for AI surveillance of domestic wildlife, 
commercial poultry, and live bird markets in fiscal year 2006.[Footnote 
13] In addition, USDA obligated portions of the remaining emergency 
supplemental funding to areas such as AI research and public 
communications. According to USDA officials, the department is 
requesting $82 million for fiscal year 2008 to support its ongoing AI 
programs. 

While USDA has for many years been responsible for protecting livestock 
and poultry from foreign animal diseases, it now does so under new 
authorities and has additional roles and responsibilities. Following 
the terrorist attacks of 2001, the Congress passed the Homeland 
Security Act of 2002,[Footnote 14] establishing DHS as the chief 
coordinating agency for efforts to protect the United States from 
terrorist acts and disasters, including those that affect the 
agriculture sector. As such, DHS undertook major policy initiatives to 
promote emergency preparedness, including developing the National 
Incident Management System, the National Response Plan, and the 
National Preparedness Goal. 

The National Incident Management System is intended to provide a 
consistent framework for incident management at all jurisdictional 
levels regardless of cause, size, or complexity of the situation and to 
define the roles and responsibilities of federal, state, and local 
governments during an emergency event. A key component of this system 
is the Incident Command System, designed to coordinate the 
communications, personnel, and procedures of different agencies and 
levels of government within a common organizational structure during an 
emergency. 

The National Response Plan is an all-hazards plan built on the template 
of the National Incident Management System. It established a single, 
comprehensive approach to domestic incident management to prevent, 
prepare for, respond to, and recover from terrorist attacks, major 
disasters, and other emergencies. The National Response Plan is stated 
to always be in effect. Under the National Response Plan, resources are 
grouped into Emergency Support Functions that would most likely be 
needed during a domestic incident. Under Emergency Support Function 
#11, which addresses the protection of agriculture, APHIS is 
responsible for implementing an integrated federal, state, tribal, and 
local response to an outbreak of a highly contagious or economically 
devastating animal disease, such as highly pathogenic AI. A fundamental 
principle of the National Response Plan is that incidents are first 
handled at the lowest possible level of government. If an incident 
overwhelms local and state capabilities, a state may request resources 
from other states through mutual aid agreements, or may request federal 
assistance. The Robert T. Stafford Disaster Relief and Emergency 
Assistance Act [Footnote 15] established the process for states to 
request supplemental resources from the federal government when state 
and local resources have been or will be overwhelmed. The President 
invokes a federal response under the Stafford Act by declaring an 
"emergency" or a "major disaster." 

Homeland Security Presidential Directive 8 required the Secretary of 
Homeland Security to coordinate the development of a national domestic 
all-hazards preparedness goal to establish measurable readiness 
priorities and targets that appropriately balance the potential threat 
and magnitude of terrorist attacks and major disasters with the 
resources required to prevent, respond to, and recover from them. The 
goal was to include standards for preparedness assessments and 
strategies and a system for assessing the nation's overall preparedness 
to respond to major events. To implement this directive, DHS developed 
the National Preparedness Goal using 15 emergency event 
scenarios[Footnote 16] whose purpose was to form the basis for 
identifying the capabilities needed to respond to a wide range of 
emergency events.[Footnote 17] One of the defined scenarios was an 
outbreak of a foreign animal disease. 

Finally, Homeland Security Presidential Directive 9 established a 
national policy to defend the agriculture and food system against 
terrorist attacks, major disasters, and other emergencies. 
Specifically, it directs the Secretary of Agriculture, in coordination 
with the Secretary of Homeland Security, and in consultation with the 
Secretary of Health and Human Services and the Administrator of the 
Environmental Protection Agency,[Footnote 18] to work with state and 
local governments and the private sector to develop a National 
Veterinary Stockpile containing sufficient amounts of animal vaccine, 
antiviral, or therapeutic products to appropriately respond to the most 
damaging animal diseases affecting human health and the economy within 
24 hours of an outbreak. 

USDA Is Implementing Important Measures to Help the Nation Prepare for 
Outbreaks of Highly Pathogenic Avian Influenza: 

USDA has taken important steps to prepare for highly pathogenic AI. For 
example, the department has put mechanisms in place to prevent the 
importation of infected poultry and poultry products. In addition, it 
has developed several surveillance programs to detect AI. Moreover, in 
the event outbreaks do occur, USDA is developing written response plans 
and has begun preliminary exercises to test aspects of these plans with 
federal, state, local, and industry partners. USDA has also begun 
creating a National Veterinary Stockpile to augment state and local 
resources during outbreaks. Finally, the department has recently 
expanded its indemnification coverage for AI, developed public service 
messages to provide accurate information during outbreaks, and has 
undertaken critical AI research. 

Import and Smuggling Control: 

Trade in live poultry and its products and the smuggling of birds and 
bird products have played a large role in the spread of highly 
pathogenic H5N1.[Footnote 19] To counteract these threats, USDA has 
mechanisms in place to prevent the importation of infected poultry and 
poultry products. For example, APHIS maintains trade restrictions on 
the importation of poultry and its products originating from regions 
where highly pathogenic AI has been detected. APHIS also requires that 
all live birds imported into the United States, with the exception of 
those from Canada, spend 30 days at a USDA quarantine facility where 
they are tested for AI. If found positive for the virus, the bird is 
destroyed. 

In addition, APHIS' Smuggling, Interdiction, and Trade Compliance unit 
has increased its monitoring for smuggled poultry and products through 
an antismuggling program in coordination with DHS.[Footnote 20] 
Specifically, during fiscal year 2006 and the first 2 months of 2007, 
it conducted a total of 54 special AI operations. For example, at the 
Port of Los Angeles/Long Beach, this unit conducted an operation that 
targeted poultry and associated products that were being brought into 
the United States for the Asian New Year, when Asian imports typically 
increase. A total of 15 cargo inspections were conducted, and 4,324 
kilograms of prohibited poultry products (including products from China 
and Japan, which were experiencing outbreaks of highly pathogenic H5N1 
at the time of this report) were discovered. USDA has recently hired 
more than 20 field officers and eight analysts that specialize in AI to 
enhance surveillance and target potential AI shipments. Furthermore, in 
the spring of 2007, USDA officials told us that it will launch a 
national public awareness campaign to raise awareness among importers, 
distributors, wholesalers, and other key stakeholders about the threat 
of AI in smuggled poultry. 

Surveillance: 

USDA has several surveillance programs intended to rapidly detect and 
prevent the spread of AI. These programs augment USDA's veterinary 
infrastructure--an infrastructure that provides the foundation for USDA 
foreign animal disease monitoring. For example, APHIS' long-standing 
voluntary program, the National Poultry Improvement Plan, tests 
participating commercial poultry flocks to ensure they are free from 
diseases, including AI. If flocks test negative for AI, USDA provides 
certification that the flock is free of the disease,[Footnote 21] 
thereby assisting with interstate and international trade, which 
provides an incentive for commercial industry participation. Forty- 
eight states participate in this program. In addition, APHIS' 
Biosecurity for the Birds program encourages, among other 
things,[Footnote 22] surveillance of backyard birds. APHIS works 
closely with state departments of agriculture, USDA's Cooperative 
Extension Service, and private veterinarians to make information 
available to backyard bird owners on the risks and signs of disease and 
good biosecurity practices. While this program does not include a 
testing component, APHIS offers the public a toll-free number to notify 
authorities when backyard birds become sick and die. USDA is also 
expanding its surveillance programs as required in the Implementation 
Plan for the National Strategy for Pandemic Influenza. For example, 
among other efforts, APHIS is working with the Department of the 
Interior,[Footnote 23] state wildlife agencies, and others to increase 
surveillance of wild birds in Alaska and the 48 continental states. 
Moreover, USDA is working with states and industry to conduct 
surveillance of birds at auctions, swap meets, flea markets, and public 
exhibitions. Furthermore, in 2002, USDA established the National Animal 
Health Laboratory Network as part of a national strategy to coordinate 
and link the testing capacities of the federal veterinary diagnostic 
laboratories with the extensive infrastructure of state and university 
capabilities. This network now includes 51 approved laboratories that 
partner to conduct enhanced AI surveillance efforts.[Footnote 24] 
Finally, APHIS recently formed the National Avian Influenza 
Surveillance System, designed to link existing AI surveillance data 
from USDA, other federal and state agencies, and industry. 

Response Plans: 

APHIS is currently drafting response plans for highly pathogenic 
AI.[Footnote 25] For example, its draft Summary of the National Highly 
Pathogenic Avian Influenza Response Plan describes the activities that 
are necessary to respond to an outbreak.[Footnote 26] In addition, USDA 
is working with the White House Homeland Security Council and other key 
federal agencies to produce an "interagency playbook"[Footnote 27] 
intended to clarify how primary federal responders would initially 
interact to respond to six scenarios: detection of highly pathogenic 
H5N1 (1) in wild birds, (2) in a commercial poultry flock, (3) in 
multiple commercial poultry flocks within the United States, (4) in a 
live bird market, (5) along a contiguous border, and (6) involving a 
single case of poultry-to-human infection. According to the interagency 
playbook, although USDA is the federal department primarily responsible 
for controlling the disease in poultry (or other livestock), it would 
work with other federal partners. For example, HHS would ensure that 
systems were in place to detect and monitor infection in humans. In 
addition, the Environmental Protection Agency would provide expertise 
on disinfecting and disposing of materials; the Department of 
Labor,[Footnote 28] in conjunction with HHS, would provide guidance on 
how to protect workers, including the use of personal protective 
equipment; and DHS would monitor outbreak and intelligence information 
to determine if an outbreak was bioterrorism-related. 

Exercising Response Plans: 

USDA has begun conducting preliminary tabletop exercises[Footnote 29] 
on aspects of response plans with other federal agencies, as well as 
states and private industry, to gain a greater understanding of 
preparedness for highly pathogenic AI. For example, APHIS conducted 
tabletop exercises with two large poultry producing states to help 
identify the type and level of personal protective equipment necessary 
to respond to an outbreak. Industry officials were also present at 
these exercises, since the selected scenarios identified outbreaks in 
commercial operations in both states. In addition, USDA's Food Safety 
Inspection Service conducted five tabletop exercises with state and 
local public health and emergency response officials to test the 
operability and efficacy of its response procedures against deliberate 
contamination of the food supply, as well as against an AI outbreak. 
Moreover, the Food Safety Inspection Service and APHIS conducted a 
joint tabletop exercise that simulated an outbreak of highly pathogenic 
H5N1 in commercial poultry, backyard flocks, live bird markets, and 
wild bird populations. Other participants included officials from DHS 
and HHS; officials from four states; representatives from the National 
Association of County and City Health Officials,[Footnote 30] the 
National Association of State Departments of Agriculture,[Footnote 31] 
and the Association of State and Territorial Health Officials[Footnote 
32]; representatives of consumer groups and industry officials; and 
representatives from the Canadian Food Inspection Agency. 

Moving forward, APHIS is contracting with the Center for Naval Analysis 
to develop and implement up to 60 additional tabletop exercises of 
state response plans in the coming year. Once these exercises are 
conducted, the agency intends to analyze the outcomes and identify 
areas that need further improvement. 

National Veterinary Stockpile: 

In coordination with DHS and others, APHIS has begun creating a 
National Veterinary Stockpile. This stockpile is intended to be the 
nation's repository of animal vaccines, personal protective equipment, 
and other critical veterinary products to respond to the most dangerous 
foreign animal diseases. The National Veterinary Stockpile's goal is to 
acquire countermeasures against the 10 animal diseases that pose the 
greatest threat, including highly pathogenic AI, within 5 years, and 
against an additional 7 of these diseases within 10 years.[Footnote 33] 
To accomplish this task, National Veterinary Stockpile officials have 
begun building an infrastructure to identify, acquire, store, maintain, 
manage, and deploy this critical inventory within 24 hours of a foreign 
animal disease outbreak, as required by the directive.[Footnote 34] The 
stockpile currently owns material sufficient to produce 140 million 
doses[Footnote 35] of H5 and H7 AI vaccine to protect older 
birds.[Footnote 36] According to USDA officials, the current inventory 
also includes 31 "push packs"--that is, ready-to-ship containers 
stocked with a variety of personal protective equipment and veterinary 
supplies, such as disinfectants; protective clothing (e.g., 
respirators, face masks, and protective body suits); and ancillary 
supplies (e.g., decontamination fluid for responders to clean their 
boots). Each push pack contains enough materials to support 10 outbreak 
responders for 10 days.[Footnote 37]According to USDA officials, the 
National Veterinary Stockpile successfully tested its capability to 
deploy its critical inventory by sending push packs to West Virginia 
for the suspected low pathogenic AI outbreak that occurred in March of 
2007. 

Indemnification: 

USDA recently decided to provide compensation for losses incurred as a 
result of low pathogenic strains of H5 and H7 because of their 
potential to mutate to highly pathogenic AI. Indemnification is 
provided, in part, to encourage the early reporting of outbreaks and 
participation in response efforts. For many years, USDA provided 
compensation for losses incurred when birds were destroyed because of 
AI only when they were infected with or exposed to a highly pathogenic 
strain.[Footnote 38]Under the new indemnity regulations for H5/H7 low 
pathogenic AI, large commercial poultry facilities must participate in 
USDA's National Poultry Improvement Plan's AI surveillance 
program,[Footnote 39] through a cooperating state agency, in order to 
be eligible to receive 100 percent indemnity for destroyed 
birds.[Footnote 40] Large commercial facilities that do not participate 
in the surveillance program may receive only 25 percent 
indemnity.[Footnote 41] These new regulations also explicitly allow 
greater flexibility than the regulations for highly pathogenic AI, 
which, for example, state that a USDA official must appraise the value 
of destroyed poultry.[Footnote 42] Under the new regulations, this 
requirement may be waived in order to expedite response to large 
outbreaks when USDA appraisers may be in short supply. Under these 
circumstances, USDA may allow USDA-authorized state appraisers, in 
addition to USDA appraisers, to conduct appraisals.[Footnote 43] In 
addition, USDA has included revised and very broad indemnity guidelines 
within its draft summary response plan to allow for a more flexible 
indemnification process during a highly pathogenic AI outbreak. 

Communications: 

USDA's Office of Communications has developed risk communication 
messages about highly pathogenic AI.[Footnote 44] According to USDA 
officials, the goal of these messages is to provide accurate, timely, 
and consistent information during an outbreak; minimize public panic 
and fear; and instill public confidence in the government's ability to 
respond to an outbreak. Specifically, USDA, in partnership with HHS, 
the Department of the Interior, and DHS, developed three scenarios for 
the detection of highly pathogenic AI in the United States: (1) a 
highly pathogenic AI detection in the United States other than H5N1, 
(2) highly pathogenic H5N1 in wild birds, and (3) highly pathogenic 
H5N1 in commercial poultry. Each of these scenarios contains a series 
of key questions and answers about animal health and guidance for the 
public, as well as a summary of the actions USDA would take. USDA has 
placed these messages, as well as key fact sheets on its Web site for 
public viewing. The agency has also developed public service 
announcements for television and radio and, according to USDA, these 
messages have reached 175 markets and have been broadcast over 1,100 
times. 

Research: 

USDA is concentrating its AI research efforts on areas it considers 
critical to prepare for outbreaks of highly pathogenic AI.[Footnote 45] 
For example, the Agricultural Research Service is testing currently 
available poultry AI vaccines to determine if they are protective 
against highly pathogenic H5N1; developing new vaccines to protect 
against AI viruses that can be efficiently administered to large number 
of birds at once, such as through aerosol; enhancing diagnostic 
tools[Footnote 46] to allow for rapid testing of wild bird samples; 
sequencing the genomes--a complete set of hereditary factors--of 1,000 
AI viruses in order to better understand the epidemiology, or causes, 
of the diseases; and conducting experiments in birds to better 
understand how the virus causes disease and death in some domestic 
poultry and wild birds but not in others. 

In addition, the Agricultural Research Service is collaborating with 
several other federal agencies on AI research. For example, it worked 
with USDA's Food Safety and Inspection Service to develop a test to 
determine the presence of highly pathogenic AI in poultry meat. It has 
also been working with the Environmental Protection Agency to research 
the ability of residual chlorine in drinking water to deactivate the 
highly pathogenic H5N1 virus. In addition, the Agricultural Research 
Service has been assisting HHS with the development of a vaccine for 
use during a human outbreak. 

USDA's AI research efforts also focus on swine. For example, the 
Agricultural Research Service is supporting DHS in determining how 
highly pathogenic H5N1 viruses transmit to poultry and mammalian 
models. This is important because, although highly pathogenic H5N1 is 
predominantly a disease in poultry and wild birds, dogs, cats, and 
swine have also become: 

infected.[Footnote 47] Swine are particularly worrisome because they 
can become infected with not only swine influenza viruses but also 
human and avian influenza viruses as well. The World Health 
Organization cautions that pigs could play a role in the potential 
emergence of a pandemic virus. 

Federal and State Response Plans Are Incomplete, and Several Issues Are 
Unresolved: 

Despite actions taken by USDA, incomplete plans and unresolved issues 
could slow outbreak response. Currently, USDA is not planning for the 
lead coordinating role that DHS would assume in certain outbreak 
emergencies. In addition, USDA's response plans do not identify the 
capabilities needed to carry out critical tasks for controlling highly 
pathogenic AI outbreaks. Furthermore, state plans are lacking key 
components for facilitating a rapid response. Finally, several 
unresolved issues could further delay response. 

USDA Has Not Planned for DHS' Lead Coordination Role: 

USDA is not planning for DHS to assume the lead coordinating role if an 
outbreak among poultry occurs that warrants a presidential declaration 
of an emergency or major disaster, or a DHS declaration of an Incident 
of National Significance. USDA officials told us that DHS will not 
likely be needed to perform this coordinating role unless there are 
multiple outbreaks, an agroterrorism event is suspected, or the virus 
causes a human pandemic. However, USDA's draft interagency playbook 
includes a scenario involving multiple outbreaks without addressing 
this DHS coordinating role. USDA officials also cite years of 
experience eradicating foreign animal diseases as the reason for not 
needing DHS involvement. Moreover, some officials told us that many 
within the agency are concerned that DHS officials at the operational 
level of response would not limit DHS involvement to that detailed in 
the National Response Plan but would instead take over the veterinary 
response as well. Our prior work[Footnote 48] has shown that roles and 
responsibilities at all levels of government must be clearly defined, 
effectively communicated, and well understood to facilitate rapid and 
effective decision making during an emergency. If this is not the case, 
problems such as those that plagued response during past disasters 
could result. 

Although USDA believes the need for DHS coordination is unlikely, the 
decision to involve DHS is not USDA's to make. Specifically, a 
presidential declaration of an emergency or major disaster is made by 
the President of the United States at the request of state governors 
via the Stafford Act, and such declarations require the Secretary of 
Homeland Security to assume responsibility for directing the federal 
response. State officials told us that their governors would consider 
making such a request. For example, in 2000, a presidential declaration 
of emergency was declared for the West Nile virus outbreak in New York 
state.[Footnote 49] DHS lawyers are in the process of determining the 
applicability of a declaration to an outbreak of highly pathogenic AI; 
therefore, this possibility should not be disregarded. 

Moreover, the Secretary of Homeland Security has the discretion to 
declare an Incident of National Significance. The National Response 
Plan states that the Secretary of Homeland Security, in consultation 
with other departments and agencies, and the White House, as 
appropriate, may make such a declaration on the basis of criteria noted 
in Homeland Security Presidential Directive 5,[Footnote 50] including 
in the event of a presidential declaration under the Stafford Act. 
However, the Secretary is not limited to these criteria and may 
consider other factors when making this decision. The determining 
factor is whether the incident is of such severity, magnitude, or 
complexity that it requires the Secretary of Homeland Security to 
manage the federal response. DHS officials told us that if highly 
pathogenic H5N1 arrived in the United States, the Secretary of Homeland 
Security would, in consultation with the White House and cabinet 
members, consider declaring an Incident of National Significance if its 
impact warranted one. DHS officials further noted that the economic 
impact to the agriculture industry would be huge if the virus spread 
across multiple states, making it imperative to prevent this from 
happening. DHS officials told us that they hope that USDA will have the 
ability to contain the disease if an outbreak occurs. Nevertheless, DHS 
officials told us that this does not obviate the need to plan for such 
an event. Moreover, past experience has demonstrated that, despite USDA 
efforts, quickly controlling a disease has not always been possible. 
The exotic Newcastle disease outbreak that originated in California in 
2002 is a case in point: it spread to two neighboring states over the 
course of a year despite vigorous USDA and state efforts.[Footnote 51] 

USDA Has Not Identified Response Capabilities for Highly Pathogenic AI: 

DHS and state officials have expressed concern that USDA's plans for 
highly pathogenic AI do not identify the capabilities needed to carry 
out the tasks associated with an outbreak scenario--that is, the 
entities responsible for carrying out the tasks, the specific resources 
needed, and the source of those resources (as described in fig. 5). 
Although USDA's draft summary response plan identifies various tasks, 
such as mass depopulation, it does not address the capabilities needed 
to carry out the tasks under a particular scenario. 

Figure 5: Identifying Capabilities Needed for Highly Pathogenic AI: 

[See PDF for image] - graphic text: 

Source: GAO. 

[End of figure] - graphic text: 

While we recognize that identifying capabilities is complex because it 
involves input from all responding entities and the capabilities 
required will change according to the outbreak scenario, it is 
important to provide a benchmark for planning purposes, particularly in 
the face of uncertainty. Moreover, Homeland Security Presidential 
Directive 8 calls for a national preparedness goal that uses 
capabilities-based planning. According to DHS, such planning helps 
determine how prepared we are as a nation, how prepared we need to be, 
and how to prioritize efforts to effectively respond to an 
emergency.[Footnote 52] 

In response to this directive, USDA has, with assistance from other 
federal agencies and entities, begun identifying capabilities in 
advance for an outbreak of foot-and-mouth disease. Although some of the 
capabilities associated with foot-and-mouth disease could translate to 
responding to an outbreak of highly pathogenic AI, there are 
differences between addressing disease outbreaks in livestock and in 
poultry. In addition, unlike foot-and-mouth disease, highly pathogenic 
AI can infect humans, so capabilities must be identified in advance for 
protecting human health. USDA has also started planning for various 
scenarios with its draft interagency playbook. However, this playbook 
does not identify the capabilities for the various tasks, and it 
excludes key players, including state and industry officials. Moreover, 
USDA officials told us that the playbook was never intended to be 
shared with states. 

According to DHS officials, once capabilities are identified, they 
should be incorporated into a response plan that can be used to track 
progress. Such a plan--known as a concept of operation plan--is central 
to emergency management. The plan should list the critical tasks for 
responding to the selected outbreak scenario and, for each task, the 
responsible entities and the location of resources needed. In addition, 
the plan should specify time frames and completion status for each 
critical task. DHS officials told us that a plan of this nature is 
essential to identify gaps in capabilities. As we reported in 
2006,[Footnote 53] emergency preparedness and response should be 
characterized by measurable goals and effective efforts to identify key 
gaps between those goals and current capabilities, with a clear plan 
for closing those gaps. However, a plan alone is not sufficient to 
ensure effective response. Conducting exercises is critical for 
developing skills and identifying what works well and what needs 
further improvement. 

Incomplete State Plans Could Slow Response: 

USDA officials told us, and our own review corroborated, that some 
state plans for addressing outbreaks of highly pathogenic AI are 
lacking important components that could facilitate rapid containment of 
the virus (see table 2). Our review of 19 state plans[Footnote 54] 
found that 5 plans at least partially addressed all of the AI planning 
components that we identified as important in managing an AI outbreak. 
However, 14 plans did not address one or more critical planning 
components. The states reviewed account for 51 percent of total U.S. 
poultry production and 7 of the top 10 poultry producing 
states.[Footnote 55] 

Table 2: Gaps Identified in State Plans: 

Planning component: Incident Command System; 
Number of plans we reviewed that did not address component: 7 of 19. 

Planning component: Time frames; 
Number of plans we reviewed that did not address component: 4 of 19. 

Planning component: Depopulation; 
Number of plans we reviewed that did not address component: 4 of 19. 

Planning component: Disposal; 
Number of plans we reviewed that did not address component: 2 of 19. 

Planning component: Response among backyard birds; 
Number of plans we reviewed that did not address component: 3 of 19. 

Planning component: Biosecurity; 
Number of plans we reviewed that did not address component: 1 of 19. 

Planning component: Public communications; 
Number of plans we reviewed that did not address component: 4 of 19. 

Planning component: Public health; 
Number of plans we reviewed that did not address component: 5 of 19. 

Source: GAO. 

[End of table] 

The following discussion details some of the gaps we identified: 

* Incident Command System. The Incident Command System is critical to 
ensure that responses to any type of incident are effectively managed, 
yet 7 of the 19 state plans we reviewed--including 3 of the top 10 
poultry producing states--had no discussions about incident command or 
its importance in AI response. Moreover, all levels of government are 
required to adopt the Incident Command System into their response 
plans. 

* Time frames. To help contain an outbreak, USDA recommends several 
critical actions for the affected state in the early stages of 
response, such as initiating laboratory confirmation procedures and 
issuing quarantine notices; however, 4 of the 19 plans had no 
discussions about initial critical actions. Incident Command System 
training documents[Footnote 56] and USDA's highly pathogenic AI 
response plan,[Footnote 57] respectively, recommend establishing 
immediate response priorities and creating a detailed plan for the 
first 24 hours of response to an incident. 

* Depopulation. Four of the 19 plans did not address depopulation. 
Depopulating birds is the fundamental strategy USDA and states employ 
for controlling outbreaks, as identified in USDA's highly pathogenic AI 
response plan. 

* Disposal. Two of the 19 plans did not address the disposal of AI 
infected poultry and materials. USDA's highly pathogenic AI response 
plan states that effective disposal is a key component of highly 
pathogenic AI response and includes issues such as disposal options and 
the biosecure transportation of infected materials. 

* Response among backyard birds. Three of the 19 plans did not include 
a discussion about response activities for backyard birds. USDA 
officials told us that the development of some state plans was heavily 
influenced by the poultry industry, which may be the reason this 
response component was omitted. This is troublesome because an outbreak 
must be contained among backyard birds, as well as in commercial 
operations. In addition, a recent USDA survey estimates that about 40 
percent of backyard birds are located within 1 mile of at least four 
commercial poultry facilities.[Footnote 58] This close proximity could 
allow the virus, if not quickly contained, to spread from backyard 
birds to commercial operations--as has occurred in previous poultry 
disease outbreaks. 

* Biosecurity. We found that one state plan had no discussion about 
biosecurity. USDA recommends implementing biosecurity measures to keep 
flocks free from disease during an outbreak.[Footnote 59] In addition, 
our site visits to commercial and backyard facilities found varying 
levels of biosecurity--from very stringent to very lax. Further, a 
recent USDA survey found that backyard bird owners do not always 
implement basic biosecurity measures. For example, 89 percent do not 
require visitors to wash their hands before handling birds, and only 40 
percent require hand washing after handling birds. 

* Public communications. Four of 19 state plans did not address public 
communications. Federal and state officials told us that clear public 
communications are essential during an outbreak to manage the media, 
avoid public confusion, and disseminate a clear public health message. 
In addition, the required Incident Command System calls for a Joint 
Information Center and a Public Information Officer (who is responsible 
for media outreach) to ensure clear and accurate public information, 
none of which were mentioned in these four plans. 

* Public health. Five of the 19 plans did not address the role of 
local, state, or federal public health authorities during an outbreak. 
USDA's draft summary plan recommends that public health authorities 
initiate appropriate health measures (e.g., identify those potentially 
exposed and in need of antiviral medication) and help ensure accurate 
public communications. 

USDA and state officials told us there are several reasons why planning 
at the state level is not more complete. First, although USDA officials 
review state response plans, the agency does not have the authority to 
do more than offer comments and recommendations. It is up to the state 
to make any changes that USDA recommends. Second, USDA and state 
officials told us that there are no established federal criteria for 
what a state response plan for highly pathogenic AI should include, 
which has made developing and assessing the plans more difficult. In 
the absence of such criteria, USDA and state officials we interviewed 
told us they are relying on experience from past outbreaks or applying 
criteria from other programs. Third, state officials said that state 
emergency planning resources are limited. Despite recognizing the need 
for such planning, officials said they do not have the resources and 
staff to devote to such a planning effort. Similarly, these same 
officials told us that because APHIS officials who assist in planning 
cover several states simultaneously, their resources are also spread 
too thin to meet each state's AI planning needs. State officials told 
us that because of these resource limitations and other considerations, 
some states have formed cooperatives in order to pool limited planning 
resources and work together regionally to integrate AI and other 
foreign animal disease emergency planning. 

Unresolved Issues Could Delay Response: 

We have identified several unresolved issues that, if not addressed, 
could hinder response efforts. Moreover, some could pose a particular 
challenge for states that have never encountered an outbreak. These 
unresolved issues are as follows: 

* The location and number of backyard birds. According to USDA, state, 
and industry officials from all five states that we visited, containing 
an outbreak among backyard birds remains a challenge because their 
numbers and location are still unknown. For example, a 2002 outbreak of 
exotic Newcastle disease in California took almost a year to contain 
because the disease spread as responders spent valuable time trying to 
locate potentially infected birds in urban areas. State and USDA 
officials told us they were surprised by and unprepared for the large 
number of backyard birds that existed in such areas. This difficulty 
was exacerbated by the heavy automobile traffic, slowing responders' 
ability to reach each potential bird owner's home. Further complicating 
matters, many of these birds were expensive game fowl bred for illegal 
cockfighting and, as a result, owners sometimes moved the birds into 
hiding to avoid authorities and prevent the birds from being 
depopulated. This contributed to the spread of the disease. 

While the numbers and locations of backyard birds within the state may 
never be definitively known, state officials told us there are steps 
that can be taken to help mitigate this problem. California formed a 
group of state and USDA officials whose goal is to minimize the risk of 
disease spread through local outreach and education. In addition, the 
group performs regular testing and voluntary surveillance of backyard 
premises, live bird markets, feed stores, pet stores, auction yards, 
and swap meets. 

Other states that have experienced outbreaks are similarly concerned 
because when an outbreak occurs, typical response involves conducting 
an epidemiological investigation--a careful tracking of all animals, 
people, and equipment that are within a certain distance of the 
infected premises. Because it is not known where backyard bird owners 
are located, epidemiological teams must go door-to-door to survey 
surrounding residences. To help overcome this tracking problem, 
Delaware and Maryland--both with dense commercial poultry operations-- 
have introduced mandatory registration for all poultry owners, 
including those with backyard flocks. Further, some state officials, 
such as those in Texas, are working with USDA to do extensive outreach 
to game fowl owners. A recent USDA survey shows that game fowl 
represent the third largest population of birds raised in backyard 
environments. Texas officials told us that game fowl are particularly 
prevalent in the state because of its proximity to Mexico, Louisiana, 
and New Mexico. Cockfighting is legal in Louisiana and had been legal 
in New Mexico until March of 2007. Consequently, state officials are 
trying to locate these bird owners to brief them about the importance 
of reporting birds that die or appear diseased with highly pathogenic 
AI. Officials have also briefed these owners on the risks highly 
pathogenic AI poses to game fowl handlers.[Footnote 60] 

* Diagnostic laboratory response. Officials from all five states we 
visited cautioned that diagnostic laboratory capacity could be quickly 
overwhelmed during an outbreak. In particular, the large number of 
samples that would need to be tested and the limited number of 
laboratory personnel available remain problematic. These tests are 
necessary to identify the extent of the disease spread, as well as to 
track the success of eradication efforts and prove to trading partners 
that poultry products are safe for export. Laboratory officials told us 
that within days of an outbreak--sometimes even hours--their diagnostic 
laboratories were running at capacity, with exhausted employees working 
overtime, usually for several months, to meet the testing needs during 
the outbreak. To accommodate the increased volume of samples, 
laboratory officials in two states told us they relied on support from 
USDA's National Veterinary Services Laboratories or neighboring 
laboratories. However, these same laboratory officials told us that 
while USDA was very generous with its support, they are concerned that 
the agency may not be able to provide such support in the event of 
multiple outbreaks. Officials in another state overcame this problem by 
accepting volunteers from various agencies to run samples but noted 
that, because these volunteers were unskilled in laboratory procedures, 
valuable time was lost in training them. 

Another problem encountered during past outbreaks was transporting 
samples to the laboratory in a timely manner, especially in large 
states. For example, in one state, the laboratory running the 
diagnostic AI tests was located 3 hours from the site of the outbreak. 
Laboratory officials told us it was resource-intensive for personnel to 
drive 3 hours each way to collect samples. Moreover, because samples 
were collected and delivered to the laboratory at the end of the day, a 
bottleneck developed, requiring laboratory technicians to work overtime 
to complete tests. The laboratory has since put in place a "pony 
express" system, in which samples will be delivered to and collected 
from a drop-off point midway between the infected premises and the 
laboratory. Laboratory officials in California that dealt with these 
challenges throughout the yearlong exotic Newcastle disease outbreak 
advocate developing an advance emergency response plan specifically for 
diagnostic laboratory operations that covers, for example, rotating 
work schedules for laboratory workers, protocols for receiving samples, 
and an Incident Command System specific to a laboratory setting to 
facilitate emergency response. 

* Depopulation. Mass depopulation of infected birds is a continuing 
challenge because of the number of workers needed to depopulate a 
commercial poultry house, the time required to do so, and the risk to 
human health as a result of workers' direct exposure to the virus. 
State and industry officials estimate that it takes 20 to 30 workers to 
depopulate a single commercial broiler house using a common method of 
mass depopulation, carbon dioxide gas. Because of the large number of 
birds involved--tens of thousands in a commercial broiler house--this 
process can take several hours. This method, therefore, puts workers' 
health at risk by exposing them for prolonged periods of time to 
potentially high concentrations of the virus within a confined space. 

Recently, USDA conditionally approved the use of a new water-based foam 
method for mass depopulation that requires only two or three workers to 
administer, thereby minimizing the number of workers exposed to the 
virus. Despite the availability of this new method, there are still two 
issues of concern related to its use. First, USDA's approval of this 
method is conditional. For example, it cannot be used to depopulate 
many types of poultry, such as ducks, geese, and quail, because the 
necessary testing to prove that the birds are not suffering during the 
depopulation process has yet to be conducted. USDA officials told us 
that they have begun working with the University of Delaware and the 
North Carolina Department of Agriculture and Consumer Services to 
investigate the effects of using foam to depopulate these populations. 
Second, this method cannot be applied in all environments, such as in 
houses where birds are raised in cages, which is the most challenging 
commercial environment to depopulate. USDA, state, and industry 
officials told us that depopulating layers raised in cages is a 
particularly time-consuming process because a commercial layer house 
can contain hundreds of thousands of birds, and each bird must be 
removed from its cage before it can be killed. 

* Disposal. State officials told us that disposal remains a problem for 
three reasons. First, although there are several disposal options--such 
as burial on-site or in a landfill, and incineration (see fig. 6)--the 
feasibility of each option is largely dependent on environmental 
conditions within that state. For example, officials in one state told 
us that while burial is allowed under state law, the existence of 
shallow bedrock in some parts of the state renders that option 
physically impossible. 

Figure 6: Methods of Poultry Disposal: 

[See PDF for image] - graphic text: 

Source: Virginia Department of Environmental Quality. 

[End of figure] - graphic text: 

Second, disposal requires coordination among various state agencies, 
including animal health, environment, and transportation to identify 
acceptable locations and methods. For example, during one state 
outbreak, response stood still for several weeks while the state animal 
health agency negotiated with the state environmental quality agency on 
permissible disposal sites. Animal health officials in the state told 
us that they had customarily used on-site burial for disposal, but that 
during the outbreak, the environmental agency prohibited that option 
because residents worried about water contamination. For nearly a 
month, the animal health agency worked to identify major municipal 
landfills that would accept the birds and establish protocols for 
transporting the carcasses there. During this time, they could not 
dispose of any birds, and 40 more flocks became infected, overwhelming 
state and industry resources. 

Third, given the heightened public awareness and concerns about highly 
pathogenic H5N1, disposal options may be limited. Officials in one 
state told us that landfill owners who once accepted AI-infected 
poultry and material are now refusing to accept poultry carcasses 
infected with either low pathogenic or highly pathogenic AI because of 
public fears about the human health risks.[Footnote 61] Officials in 
another state are beginning to experience the same problem. State and 
USDA officials told us that on-site composting is a preferred method 
because it kills the virus without moving the infected material off the 
infected premises. But this option is not always available because, for 
example, some poultry houses are too small to accommodate the equipment 
needed to compost. State and industry officials also told us that 
ensuring the infected materials are completely composted requires 
careful attention and maintenance. Failure to dispose of infected 
carcasses in a timely manner increases the risk of disease spread and 
allows the virus to remain in the environment. 

* Movement of birds through the mail. DHS and some state officials 
remain concerned that birds shipped through the mail or on commercial 
airlines do not all have health certificates to ensure they are free 
from disease. As a result, birds infected with highly pathogenic AI 
could be delivered to unsuspecting owners, causing the disease to 
spread long distances to once healthy flocks. For example, poultry are 
often moved through the U.S. Postal Service for distribution and 
breeding purposes. Most states require that birds brought into the 
state be health-certified via USDA's National Poultry Improvement 
Plan[Footnote 62] or accompanied by a veterinary health certificate 
issued in the state of origin. However, concerned state officials told 
us that the U.S. Postal Service does not always check for the state- 
required documentation, and they are concerned that many birds are 
entering states undocumented, illegally, and potentially diseased. In 
2003, agriculture officials in North Carolina tracked shipments of 
birds at three postal facilities for 9 days. Of the 5,113 birds 
entering the state via the U.S. Postal Service, 72 percent, or 3,127 
birds did not have the necessary health documentation certifying they 
were free from disease. In addition, birds without health certification 
were collocated in the same room as birds with health clearances, 
possibly spreading disease from infected to certified healthy birds. 

DHS and state officials told us that this problem could affect 
commercial airlines as well. Birds are transported on commercial 
aircraft, but, according to state officials, airlines do not 
consistently check for health certification. In light of this concern, 
state officials in North Carolina interviewed airline representatives 
and found that airline policies for accepting birds varied widely. 
While some airlines required health documentation, others did not. 
These officials told us they do not know the extent of this problem 
because they were restricted from entering airline cargo holding areas. 

* Personal protective equipment. State and industry officials who have 
used personal protective equipment in past outbreaks caution that, 
although necessary, equipment to protect workers remains problematic 
and, under various conditions, could encumber and delay response. In 
2006, the Department of Labor's Occupational Safety and Health 
Administration released updated guidance for protecting poultry workers 
in the event of a suspected or confirmed AI outbreak at a poultry 
facility.[Footnote 63] Specifically, it recommends that animal health 
responders wear protective clothing, such as an impermeable apron or 
surgical gown with long, cuffed sleeves; disposable protective shoe 
covers or rubber or polyurethane boots that can be cleaned and 
disinfected; safety goggles to protect the mucous membranes of the 
eyes; and, at a minimum, disposable, particulate respirators (e.g., 
N95). Responders who cannot wear a disposable, particulate respirator, 
because of facial hair or other limitations, should wear a loose- 
fitting (i.e., helmeted or hooded) powered air purifying respirator 
equipped with high-efficiency filters. 

State officials told us that in poultry houses that have been sealed to 
prevent the virus from spreading, temperatures can become extreme in 
hot weather, slowing down responders wearing this type of equipment. In 
addition, state officials told us goggles can become fogged, making it 
impossible to see. Moreover, the minimum required disposable 
particulate respirator is difficult to breathe through, yet it is 
commonly used because of its low cost.[Footnote 64] For these reasons, 
workers have, at times, removed the protective equipment while carrying 
out their duties.[Footnote 65] Furthermore, officials told us it is 
difficult and dangerous for responders to attempt to climb ladders to 
reach birds in cages several stories high wearing heavy boots, thick 
gloves, and hooded respirators. 

Finally, federal, state, and industry officials told us that 
respirators pose other challenges. Specifically, the Occupational 
Safety and Health Administration's standards require that respirators 
be used in the context of a complete respiratory protection program. 
This program involves, among other things, selecting an appropriate 
respirator, conducting medical evaluations to determine an employee's 
ability to use a respirator, providing training, and checking to ensure 
that respirators fit properly. To be effective, tight-fitting 
respirators must have a proper sealing surface on the wearer's face. 
USDA officials told us that, although they are diligently working to 
medically evaluate and fit responders with respirators at this time, it 
is expected that some of this will still need to occur at the time of 
an outbreak, slowing down the response process. Another concern 
involves the use of powered air purifying respirators. Some state 
officials told us they are expensive and impractical.[Footnote 66] It 
takes many hours to depopulate a house, but the batteries to operate 
this kind of respirator last only for specified periods of time, 
potentially delaying response.[Footnote 67] These respirators are also 
heavy. One state official told us that, as an alternative, the state 
department of agriculture is planning to use a full-face respirator for 
a variety of reasons. A full-face respirator is lighter and less 
expensive[Footnote 68] than a powered respirator and, because it does 
not require batteries, there is no time limit for use. Also, it has an 
advantage over goggles because it is less prone to fogging. According 
to Occupational Safety and Health Administration guidelines, all 
respirators have pros and cons. 

* Antiviral medication. USDA has not estimated the amount of antiviral 
medication that it would need in the event of an outbreak of highly 
pathogenic AI or resolved how to provide such supplies within the first 
24 hours of an outbreak. According to Occupational Safety and Health 
Administration guidelines, poultry workers responding to an outbreak of 
highly pathogenic AI should take antiviral medication daily while 
working at the site of an outbreak and each day for 7 days after 
leaving the site. Further, the National Veterinary Stockpile is 
required to contain sufficient amount of antiviral medication to 
respond to the most damaging animal diseases that affect human health 
and the economy, and it must be capable of deployment within 24 hours 
of an outbreak.[Footnote 69] 

Despite these requirements, stockpile officials have not estimated how 
much antiviral medication would be needed during a particular outbreak 
scenario. In addition, the National Veterinary Stockpile has not yet 
obtained any antiviral medication for highly pathogenic AI. Stockpile 
officials cite several reasons for this. First, since the National 
Veterinary Stockpile is responsible for many animal diseases, not just 
highly pathogenic AI, it faces competing priorities. According to these 
officials, the first priority is to build the infrastructure to 
acquire, maintain, and deliver veterinary supplies for critical animal 
diseases, including highly pathogenic AI. Second, although this 
infrastructure could be used to deliver antiviral medication for highly 
pathogenic AI, stockpile officials told us that, to prevent duplication 
of efforts and limit costs,[Footnote 70] the best strategy would be to 
gain access to HHS' Strategic National Stockpile of 16 million doses of 
the same antiviral.[Footnote 71] Presidential Directive 9 emphasizes 
that the National Veterinary Stockpile should leverage, where 
appropriate, the mechanisms and infrastructure that have been developed 
for the management, storage, and distribution of the Strategic National 
Stockpile. However, HHS officials told National Veterinary Stockpile 
officials that the antiviral medication in the Strategic National 
Stockpile is reserved for use during a human pandemic and is not to be 
used to protect responders to an outbreak of AI among poultry. Third, 
as an alternative, National Veterinary Stockpile officials told us they 
are in the process of contracting with a manufacturer of antiviral 
medication to provide, within 24 hours of an outbreak, antiviral 
medication for 3,000 responders for 6 weeks.[Footnote 72] However, 
according to stockpile officials, this contract is not yet in place. 

Although the National Veterinary Stockpile does not yet have antiviral 
medication on hand, another unit within APHIS--the Safety, Health, and 
Employee Wellness Branch--currently has 34,800 doses and has been 
working to secure more. In fact, the branch recently entered into an 
agreement with HHS' Federal Occupational Health agency to, among other 
things, provide medical professionals at the site of an outbreak who 
would supply and distribute antiviral medication to responders, as well 
as monitor their health.[Footnote 73] However, the agreement does not 
specify how many doses will be provided or when they will be delivered. 
According to branch officials, delivery can be guaranteed only if APHIS 
purchases a set amount of antiviral medication in advance of an 
outbreak. Given the current situation, Federal Occupational Health will 
supply whatever amount of antiviral medication it has in stock at the 
time of an outbreak, which may or may not be sufficient, and then 
pursue additional doses. In the meantime, according to branch 
officials, the branch will provide responders the 34,800 doses it 
currently has on hand. However, this supply is set to expire at the end 
of 2007, and the branch has no funds to replace it. Branch officials 
told us they are working to extend the shelf life of the antiviral 
medication, but this process can take up to 6 months.[Footnote 74] 

Conclusions: 

The rapid spread of highly pathogenic H5N1 has heightened worldwide 
awareness of the potential damage AI can inflict on the poultry 
industry and the serious implications it has for human health. 
Considerable effort is being made by USDA and other federal agencies, 
the states, and the poultry industry to ensure a swift and effective 
response to highly pathogenic AI. While much has been accomplished 
already, opportunities remain to identify and close gaps and to address 
shortcomings in the preparations that have been made thus far. 

First, unless USDA and DHS work diligently together to ensure roles and 
responsibilities are clearly defined, effectively communicated, and 
well understood in advance of a significant outbreak, delay could occur 
at the federal level as the two agencies attempt to work out their 
relationship during a time of crisis. Second, unless USDA identifies 
capabilities for a defined outbreak scenario, creates a response plan 
based on this information with the appropriate performance measures, 
and then tests this plan, USDA and its response partners will not be 
well-informed on their level of readiness. Third, until USDA develops a 
standard set of criteria that state response plans should contain, 
state-level plans will continue to have shortcomings that could impede 
efforts to contain future outbreaks. Fourth, unless USDA provides 
additional assistance to states to address unresolved issues, USDA and 
the states will face real-time challenges as an outbreak unfolds; a 
potentially devastating scenario. Similarly, until USDA resolves 
uncertainties regarding antiviral medication, the health risks 
associated with highly pathogenic AI may prevent or delay responders 
from carrying out their duties within a critical and limited window of 
opportunity. 

Recommendations for Executive Action: 

To address challenges that limit the nation's ability to quickly and 
effectively respond to highly pathogenic AI, we recommend that the 
Secretaries of Agriculture and Homeland Security develop a memorandum 
of understanding that describes how USDA and DHS will work together in 
the event of a declared presidential emergency or major disaster, or an 
Incident of National Significance, and test the effectiveness of this 
coordination during exercises. 

In addition, we recommend that the Secretary of Agriculture take the 
following seven actions: 

* In consultation with other federal agencies, states, and the poultry 
industry, (1) identify the capabilities necessary to respond to a 
probable scenario(s) for an outbreak of highly pathogenic AI; (2) use 
this information to develop a response plan that identifies the 
critical tasks for responding to the selected outbreak scenario and, 
for each task, identifies the responsible entities, the location of 
resources needed, time frames, and completion status; and (3) test 
these capabilities in ongoing exercises to identify gaps and ways to 
overcome those gaps. 

* Develop standard criteria for the components of state response plans 
for highly pathogenic AI, enabling states to develop more complete 
plans and enabling USDA officials to more effectively review them. 

* Focus additional work with states on how to overcome potential 
problems associated with unresolved issues, such as the difficulty in 
locating backyard birds and disposing of carcasses and materials. 

* Determine (1) the amount of antiviral medication that USDA would need 
in order to protect animal health responders, given various highly 
pathogenic AI scenarios, and (2) how to obtain and provide supplies 
within 24 hours of an outbreak. 

Agency Comments and Our Evaluation: 

We provided a draft of this report to USDA and DHS for their review and 
comment. Also, both departments provided technical comments that we 
incorporated as appropriate. 

USDA agreed with all but one of our recommendations. USDA stated that 
it does not believe a memorandum of understanding is the best vehicle 
for clarifying and defining the roles of DHS and USDA in the event of a 
declared presidential emergency or major disaster, or an Incident of 
National Significance. Nevertheless, USDA accepted the need to clarify 
roles during such an event and further supported the need to test this 
coordination in formal exercises. USDA also stated that it will work 
with DHS, states, and other agencies to identify the best interagency 
mechanism to accomplish this planning. GAO believes that written 
clarification is important and that a memorandum of understanding is an 
appropriate mechanism to accomplish this goal. In fact, the National 
Response Plan anticipates the use of such documents to further clarify 
agency roles. 

USDA also stated that the report is a comprehensive look at USDA's 
efforts to prepare for highly pathogenic AI. However, the department 
noted that the report does not highlight several critical components of 
successful foreign animal disease planning, such as USDA's robust 
veterinary infrastructure and the National Animal Health Laboratory 
Network. GAO recognizes that USDA has important preparations in place 
to respond to foreign animal diseases in general that are also relevant 
for AI. However, it is not possible to include all planning measures. 
Our report focuses on USDA preparations for highly pathogenic AI 
specifically. USDA's written comments and our evaluation appear in 
appendix II. 

DHS agreed that further coordination between USDA and DHS is needed in 
the event of a declared presidential emergency or major disaster, or an 
Incident of National Significance. In addition, the department 
supported the need to test the effectiveness of this coordination 
through exercises. DHS also suggested that coordination could occur 
through an interagency concept of operation plan. DHS' written comments 
appear in appendix III. 

As we agreed with your offices, unless you publicly announce the 
contents of this report earlier, we plan no further distribution of it 
until 15 days from the date of this report. At that time, we will send 
copies of this report to the appropriate congressional committees, the 
Secretaries of Agriculture and Homeland Security, and other interested 
parties. We will also make copies available upon request. In addition, 
the report will be available at no charge on the GAO Web site at 
[Hyperlink, http://www.gao.gov]. 

If you or your staff has any comments or questions about this report, 
please contact me at (202) 512-3841 or bertonid@gao.gov. Contact points 
for our Offices of Congressional Relations and Public Affairs may be 
found on the last page of this report. GAO staff who made key 
contributions to this report are listed in appendix IV. 

Signed by: 

Daniel Bertoni: 
Director, Natural Resources and Environment: 

List of Committees: 

The Honorable Tom Harkin: 
Chairman: 
The Honorable Saxby Chambliss: 
Ranking Member: 
Committee on Agriculture, Nutrition and Forestry: 
United States Senate: 

The Honorable Joseph Lieberman: 
Chairman:
The Honorable Susan M. Collins: 
Ranking Member: 
Committee on Homeland Security and Government Affairs: 
United States Senate: 

The Honorable Edward M. Kennedy: 
Chairman: 
Committee on Health, Education, Labor, and Pensions: 
United States Senate: 

The Honorable Arlen Specter: 
Ranking Member: 
Subcommittee on Labor, Health and Human Services, Education, and 
Related Agencies: 
Committee on Appropriations: 
United States Senate: 

The Honorable Daniel K. Akaka: 
Chairman:
Subcommittee on Oversight of Government Management, the Federal 
Workforce, and the District of Columbia: 
Committee on Homeland Security and Governmental Affairs: 
United States Senate: 

The Honorable Richard Burr: 
Ranking Member: 
Subcommittee on Retirement and Aging: 
Committee on Health, Education, Labor and Pensions: 
United States Senate: 

[End of section] 

Appendix I: Scope and Methodology: 

To describe the steps that the Department of Agriculture (USDA) has 
taken to prepare for outbreaks of highly pathogenic avian influenza 
(AI) in domestic poultry, we reviewed statutes, regulations, 
directives, and national planning documents that broadly define USDA's 
role in an animal health or other national emergency. Specifically, we 
reviewed the Animal Health Protection Act; the Stafford Act; 
regulations for indemnification applicable to highly pathogenic AI, 
Part 53 of Title 9 of the Code of Federal Regulations, and those for 
low pathogenic AI, Part 56 of Title 9 of the Code of Federal 
Regulations; Homeland Security Presidential Directives 5, 8, and 9, 
which respectively address management of domestic incidents, national 
preparedness, and the defense of agriculture and food; the National 
Response Plan with revisions issued in May 2006; and recently developed 
presidential documents, including the National Strategy for Pandemic 
Influenza and the Implementation Plan for the National Strategy for 
Pandemic Influenza. We also reviewed USDD's National Poultry 
Improvement Plan, documents in the National Animal Health Emergency 
Management System, as well as those being drafted for highly pathogenic 
AI specifically. Furthermore, we interviewed USDA officials from the 
Animal Plant Health Inspection Service (APHIS), the Agricultural 
Research Service, the Food Safety and Inspection Service, as well as 
officials from the offices of the Executive Secretariat, 
Communications, Budget and Program Analysis, and General Counsel. We 
also interviewed Department of Homeland Security (DHS) officials from 
the Office of the Chief Medical Officer, the Federal Emergency 
Management Agency, and the Preparedness Directorate. Moreover, we 
interviewed officials from the National Association of State 
Departments of Agriculture, the American Veterinary Medical 
Association, the National Turkey Foundation, the National Chicken 
Council, the U.S. Poultry and Egg Association, and the Food and Water 
Watch. We also attended a Highly Pathogenic Avian Influenza Workshop 
that was jointly sponsored by the U.S. Poultry and Egg Association and 
USDA, with attendees from academia, the poultry industry, state 
governments, and the federal government. Finally, we attended a 3-day 
AI tabletop exercise involving representatives from USDA, industry, and 
the state of Georgia. 

To identify any challenges that could affect USDA's ability to protect 
domestic poultry from highly pathogenic AI, in addition to the 
activities described above for objective one, we conducted structured 
interviews in person and via telephone with officials from five states 
that have experienced and responded to an outbreak of AI or a 
comparable highly infectious avian disease in the past 5 years. These 
states also represent varying poultry demographics. Specifically, we 
interviewed state animal health and APHIS officials; poultry industry 
representatives; and animal health diagnostic laboratory personnel in 
California, Delaware, Maryland, Texas, and Virginia. We also visited 
several commercial and one backyard poultry operation, as well as live 
bird markets that kept animals indoors in cages, as well as those 
markets with animals housed in outdoor pens. We also interviewed avian 
health specialists whom we selected for their technical expertise on 
avian health and emergency avian disease response. In particular, we 
sought to obtain their comments on the virology and epidemiology of 
highly pathogenic AI, including H5N1, as well as current research in 
mass poultry depopulation and disposal methods. 

To better understand challenges associated with planning at the state 
level, we interviewed the officials noted above as well as, at the 
recommendation of DHS, officials from the North Carolina Department of 
Agriculture and Consumer Services and officials representing 21 states 
from the Multi-State Partnership for Security in Agriculture and the 
Southern Agriculture and Animal Disaster Response Alliance. We also 
conducted structured interviews with APHIS' Regional Directors and Area 
Emergency Coordinators who are responsible for working directly with 
the states. Among other things, we asked the Area Emergency 
Coordinators, who are specifically charged with helping states develop 
AI response plans, to identify strengths and weaknesses in their state 
plans and to characterize their state's level of readiness for an 
outbreak.[Footnote 75] We also performed our own review and assessment 
of 19 state plans to corroborate identified strengths and weaknesses 
from the interviews. Although we requested that USDA's coordinators 
provide us with AI plans from the 44 states with which they work, they 
provided us with the 19 plans they had available. 

Finally, within GAO, we coordinated our review with GAO teams examining 
the role of federal agencies involved in pandemic influenza 
preparedness, including DHS, the Department of Health and Human 
Services, the Department of State, and the Department of Defense. 

We conducted our review from May 2006 to June 2007 in accordance with 
generally accepted government auditing standards. 

[End of section] 

Appendix II: Comments from the Department of Agriculture: 

USDA: 
United States Department of Agriculture: 
Office of the Secretary: 
Washington, D.C. 20250: 

May 21 2007: 

Mr. Daniel Bertoni: 
Director: 
Natural Resources and Environment: 
United States Government Accountability Office: 
441 G Street, NW: 
Washington, DC 20548: 

Dear Mr. Bertoni: 

The Department of Agriculture (USDA) has reviewed the U.S. Government 
Accountability Office's (GAO) draft report, "Avian Influenza: USDA Has 
Taken Important Steps to Prepare for Outbreaks, but Better Planning 
Could Improve Response" (07-652). We are appreciative that the GAO 
found that USDA has taken many important and vital steps to prepare for 
the possibility of a highly pathogenic avian influenza (HPAI) outbreak. 
USDA has devoted significant resources to this effort and has taken the 
lead on many important initiatives. The report is a comprehensive look 
at our HPAI efforts, but it does not take into account several aspects 
that we believe are critical components of successful foreign animal 
disease planning efforts that are the result of our extensive 
experience with animal disease eradication over the course of many 
decades. 

USDA has a robust veterinary infrastructure and key relationships with 
its emergency management response partners in place to deal with many 
types and kinds of animal health events, including foreign animal 
diseases such as HPAI. USDA recognizes the importance of the combined 
resources of State, local, and tribal entities, along with support from 
Department of Homeland Security (DHS) and other Federal agencies, to 
help us respond effectively to disease outbreaks. This ongoing 
collaboration and partnership between USDA and its State veterinary 
counterparts will be the foundation for disease response. Further, USDA 
is the lead or co-lead on 57 of the action items and a support agency 
on another 41 action items listed in the National Strategy for Pandemic 
Influenza (NSPI) Implementation Plan, giving USDA responsibility in 
nearly 100 action items. 

USDA believes the GAO did not emphasize one of the most important 
aspects of avian influenza (AI) surveillance-the veterinary 
infrastructure that is the foundation of USDA's foreign animal disease 
monitoring. Appropriate procedures are embedded in USDA policies and 
requirements to protect the industry and minimize losses due to 
international and interstate restrictions. The first precaution 
concerns USDA "front line" defense. When a veterinary foreign animal 
disease diagnostician is deployed to investigate a possible situation, 
that diagnostician has authority from the State to act immediately upon 
his or her findings. The surveillance also provides an indication 
whether the import restrictions that safeguard U.S. agriculture and 
natural resources are effective in preventing the disease from entering 
the United States. 

USDA accepts the need identified in the Recommendation for Executive 
Action to develop additional clarity and definition around the 
coordination roles of DHS and USDA in the event of a declared 
presidential emergency or major disaster, or an incident of national 
significance. USDA supports the idea of testing this coordination by 
using planned, formal exercises and by engaging interagency 
participation during smaller incidents. However, the Department 
believes a memorandum of understanding (MOU) is not the best vehicle to 
accomplish this task. USDA will work with DHS, States, and other 
agencies to identify the best interagency mechanism to accomplish this 
within the context of the National Response Plan (NRP). 

In addition, USDA and DHS continue to come together to articulate how 
the two organizations will work together in the event of a foreign 
animal disease through the Foreign Animal Disease Threat Subcommittee 
and General Coordinating Council and its associated Sector Specific 
Council. USDA and DHS are in agreement on the core principles of the 
National Incident Management System and the Incident Command System. 
All emergencies are dealt with as local incidents, and Federal support 
is brought in when State and local resources are not adequate to 
address the emergency. 

USDA concurs with the additional Recommendations for the Secretary of 
Agriculture, but believes the GAO Report failed to properly recognize 
important planning and preparation for AI. In 2002, the USDA Homeland 
Security Office established the National Animal Health Laboratory 
Network (NAHLN) as part of a national strategy to coordinate and link 
the testing capacities of the Federal veterinary diagnostic 
laboratories with the extensive infrastructure of State and university 
capabilities. The USDA's National Veterinary Services Laboratories 
serve as a national reference laboratory and provide training and 
proficiency tests to 51 approved NAHLN laboratories who partner to 
conduct enhanced AI surveillance efforts. 

Funds have been used to double the testing capacity of NAHLN 
laboratories by distributing high-throughput equipment to 31 NAHLN 
laboratories located in the highest risk States. A NAHLN Activation 
Plan is currently being finalized. This Activation Plan sets the stage 
to move NAHLN to a state of readiness by outlining commitments to 
perform diagnostic tests up to the capacity of the laboratory as 
required by Federal and State officials to provide diagnostic services 
during a disease event. This is but one example of USDA's efforts to 
define a common operating picture and to define response capabilities. 

The GAO characterizes USDA's response efforts as being in the draft 
stage, particularly regarding the Summary of the National Highly 
Pathogenic Avian Influenza Response Plan and the Interagency Playbook 
for Domestic Response to a Detection of Highly Pathogenic Avian 
Influenza H5N1 in Birds (also known as the Interagency Playbook). Each 
of these documents has undergone intense development and scrutiny, and 
is ready to be used as a basis for the activities that USDA would 
undertake in the event of an HPAI outbreak. The National Highly 
Pathogenic Avian Influenza Preparedness and Response Plan was designed 
to be a resource for State and local entities as they considered how to 
plan for a potential HPAI outbreak. It has been invaluable to USDA as 
we continue to talk with States and industry representatives regarding 
their plans for potential HPAI occurrences. 

Likewise, USDA has worked extensively with the White House Homeland 
Security Council and with other Federal departments and agencies, 
including DHS, to develop the Interagency Playbook. This document was 
not intended to document Federal, State, and local interaction and 
collaboration in responding to the detection of H5N1 HPAI in birds. Its 
intent, from the beginning, was to outline how Federal departments and 
agencies would work collaboratively to respond to such an event. This 
document will continue to evolve as we develop the roles that each 
organization will play in the event of an HPAI outbreak in birds. 

USDA established the National Veterinary Stockpile (NVS) in 2004 in 
response to the call for such an asset in Homeland Security 
Presidential Directive 9. The NVS has established a steering committee 
that provides recommendations regarding the most serious disease 
threats facing our Nation. These recommendations form the basis for the 
priorities the NVS has used to acquire countermeasures. HPAI was deemed 
a high priority for acquisition of veterinary countermeasures, so a 
great deal of effort and time has been spent setting up the logistics 
and acquiring appropriate capabilities to fight HPAI should it be found 
in the United States. The capability of the NVS to respond to AI was 
tested in March 2007 when turkeys in West Virginia were found infected 
with low pathogenic avian influenza (LPAI). USDA used the NVS to 
provide needed equipment to the site within 25 hours of the call for 
activation. 

The GAO has indicated that USDA response plans do not identify the 
capabilities needed to carry out the tasks associated with an outbreak 
scenario, including specifying the entities responsible for carrying 
them out, the resources needed, and the source of these resources. The 
GAO is also concerned that USDA does not have a response plan that will 
help USDA track progress and establish a concept of operation. USDA has 
several resources in place to fill the gaps the GAO identified-the 
National Animal Health Emergency Management System guidelines that 
provide a foundation for coordinated national, regional, State, and 
local activities in an emergency situation, and the AI Response 
Coordination Team Concept of Operations document. 

USDA has focused on the review and approval of the State plans as a 
method to control LPAI, some forms of which could otherwise become the 
more serious HPAI. Many States also have HPAI response plans. USDA 
agrees with the GAO's assessment regarding the need to more closely 
review HPAI plans and ensure that they prescribe an appropriate 
response should there be an HPAI outbreak. The new H5/H7 LPAI 
regulation requires States to develop Initial State and Response 
Containment Plans for H5/H7 LPAI and authorizes USDA's Animal and Plant 
Health Inspection Service (APHIS) to review and approve those plans. 

The GAO raised concerns that Federal and State officials do not know 
the numbers and locations of backyard birds, which would make disease 
control difficult. USDA shares the concerns raised by State officials 
and by the GAO. Backyard flocks do pose risks, but USDA believes that 
to collect and maintain information on backyard flocks would be 
prohibitively expensive and rapidly outdated. Efforts to do so may be 
better managed at the State level as evidenced by examples described by 
the GAO in the States of Delaware and Maryland, although it may be more 
difficult to achieve in larger States. The challenges of locating 
backyard flocks led USDA to begin its "Biosecurity for Birds" campaign- 
to reach an audience that might otherwise be missed in our traditional 
outreach to States and industry partners and to encourage testing of 
sick birds. USDA has also begun limited active observational 
surveillance of backyard poultry in some States under HPAI Supplemental 
Funding cooperative agreements. Through these agreements, USDA provided 
$11.4 million to States in fiscal year 2006 to address issues related 
to HPAI surveillance and response. 

USDA continues its work to identify better methods of mass 
depopulation, including methods for other types of poultry and egg 
laying operations. Water based foam was used successfully in the mass 
depopulation of turkeys in West Virginia in March 2007. The 
depopulation of thousands of very large birds was completed in a more 
timely fashion and with fewer resources, including personnel, than 
would have been possible with more traditional technology. Regarding 
disposal, USDA agrees that disposal options are limited by the 
environmental conditions within a particular State. USDA has been 
working with its State counterparts to encourage the development of a 
carcass disposal plan within each State, and has encouraged State 
veterinary officials to collaborate with State environmental agencies 
to assess and determine the options available, and to develop plans in 
the event that carcass disposal becomes necessary. 

The GAO indicates that DHS and State officials remained concerned that 
birds shipped through the mail or on commercial airlines do not all 
have health certificates to ensure they are free from disease, and that 
this might be a potential pathway for the spread of HPAI to 
unsuspecting owners. In December 2005, USDA conducted a study titled, 
"Assessment of the Risk of Transmission of H5N1 Avian Influenza via 
Adult Chickens and Adult Fowl Transported Domestically in the U.S. by 
the U.S. Postal Service (LISPS)." The study concluded that should H5N1 
be present in chicken or fowl in the United States, some risk may be 
posed by such movements. Following this risk assessment, USDA contacted 
the LISPS to determine how we could best work together in implementing 
National Poultry Improvement Plan labeling requirements for AI 
certification of poultry moving interstate. USDA will continue to work 
with the LISPS in resolving this issue. 

Another concern raised is that USDA has not estimated the amount of 
antiviral medication that it would need in the event of an outbreak or 
resolved how to provide such supplies within the first 24 hours of an 
outbreak. USDA has estimated the amount of antiviral medication that 
would be needed, based on our experience with exotic Newcastle disease, 
and the total number of individuals who responded during the lifetime 
of the event (3,000). The NVS has systems in place that will provide 24-
hour delivery of antiviral medications for 3,000 responders for 6 
weeks. The NVS has made considerable progress towards ensuring 
responders will have the antiviral they need to deal with an HPAI 
outbreak. The NVS has confirmed that the manufacturer has sufficient 
commercial supplies available to support responders. The NVS has 
capitalized on contracts held by the Strategic National Stockpile to 
obtain antiviral at a cost effective price. The NVS has coordinated 
deployment planning to ship antiviral supplies held by APHIS to the 
site of an outbreak within 24 hours, thereby providing adequate 
supplies until additional stock arrives from the manufacturer. And 
lastly, the NVS has worked with agency partners and the Department of 
Defense to extend the shelf life of its current antiviral supplies. 

In summary, USDA is committed to keeping HPAI from becoming established 
in the U.S. poultry population by fully using our scientific expertise 
on AI viruses and our real world experience in planning for and 
responding to incursions of significant animal diseases into the United 
States. 

Sincerely, 

Signed by: 

Mike Johanns: 
Secretary: 

The following are GAO's comments on the Department of Agriculture's 
letter dated May 21, 2007. 

GAO Comments: 

1. USDA commented that our report does not take into account several 
critical components of successful foreign animal disease planning 
efforts. GAO recognizes that USDA has important preparations in place 
to respond to foreign animal diseases in general that are also relevant 
for AI. For example, USDA calls attention to its veterinary 
infrastructure and its National Animal Health Laboratory Network. We 
agree that these are important for responding to multiple types of 
disease outbreaks. However, it is not possible to include all planning 
measures. The focus of our report is on steps USDA has taken to prepare 
for highly pathogenic AI specifically. 

2. We modified our report to include a statement about the importance 
of veterinary infrastructure to AI surveillance. 

3. The National Response Plan anticipates the use of interagency 
agreements, such as memorandums of understanding, to further clarify 
agency roles. The intent of the recommendation is to further formalize 
how the two departments will coordinate during such an event. 

4. We modified our report to include a statement about USDA's National 
Animal Health Laboratory Network. 

5. During the course of our work, USDA officials specifically requested 
that we refer to these reports as "drafts." In addition, the summary AI 
response plan is published on USDA's Web site as a draft document. 
Nevertheless, we modified our report to state that these documents 
would be used in the event of an outbreak. 

6. Our report acknowledges that USDA has a preliminary estimate 
regarding the amount of antiviral medication needed based on the exotic 
Newcastle disease outbreak. However, as our report also states, this 
number does not reflect a calculated estimate of those exposed to the 
virus in need of medication. Furthermore, our report acknowledges that 
National Veterinary Stockpile officials are in the process of 
contracting with a manufacturer of antiviral medication to provide, 
within 24 hours of an outbreak, antiviral medication for 3,000 
responders for 6 weeks. However, as our report also states, this 
contract to supply antiviral medication is not yet in place. 

[End of section] 

Appendix III: Comments from the Department of Homeland Security: 

U.S. Department of Homeland Security: 
Washington, DC 20528: 

May 16, 2007: 

Mr. Daniel Bertoni: 
Director: 
National Resources and Environment: 
U.S. Government Accountability Office: 
441 G Street, NW: 
Washington, DC 20548: 

Dear Mr. Bertoni: 

Thank you for the opportunity to review and comment on the Government 
Accountability Office's (GAO's) draft report GAO-07-652 entitled AVIAN 
FLU:: USDA Has Taken Important Steps to Prepare for Outbreaks, but 
Better Planning Could Improve Response. 

We concur with the recommendation that further coordination between the 
Department of Homeland Security (DHS) and the Department of Agriculture 
(USDA) is needed in the event of a declared presidential emergency or 
major disaster, or an Incident of National Significance. We support the 
need for additional clarification for how DHS, USDA, the Department of 
Health and Human Services (HHS), and other agencies will coordinate 
during incidents as listed in the report. DHS also supports the need to 
test this coordination through exercises and during incidents such as 
the current food contamination event. DHS understands that GAO is not 
de-emphasizing the role of the National Response Plan (NRP) by 
recommending a Memorandum of Understanding as the mechanism for 
furthering coordination between the departments. However, DHS suggests 
coordination could occur through an interagency Concept of Operations 
(CONOPs) that would specify how the NRP would be used. 

Thank you again for the opportunity to comment on this draft report and 
we look forward to working with you on future homeland security issues. 

Sincerely, 

Signed by: 

Steven J. Pecinovsky: 
Director: 
Departmental GAO/OIG Liaison Office: 

www.dhs.gov: 

[End of section] 

Appendix IV: GAO Contact and Staff Acknowledgments: 

GAO Contact: 

Daniel Bertoni, (202) 512-3841, or b [Hyperlink, bertonid@gao.gov] 
ertonid@gao.gov: 

Staff Acknowledgments: 

In addition to the individual named above, Charles Adams, Assistant 
Director; Kevin Bray; Nancy Crothers; Mary Denigan-Macauley; Jeff 
Jensen; Christopher Lyons; Terry Richardson; and Margaret Vo made key 
contributions to this report. 

Don Cowan, Joyce Evans, Lynn Musser, Katherine Raheb, Jeremy Sebest, 
Daniel Semick, and Cynthia Taylor also made contributions. 

(360700): 

FOOTNOTES 

[1] These numbers are based on statistics reported by the World Health 
Organization as of April 11, 2007. 

[2] The Robert T. Stafford Disaster Relief and Emergency Assistance 
Act, Pub. L. No. 93-288, 88 Stat. 143 (1974) (codified as amended at 42 
U.S.C. §§ 5121 et seq.), defines an emergency as "any occasion or 
instance for which, in the determination of the President, Federal 
assistance is needed to supplement State and local efforts and 
capabilities to save lives and to protect property and public health 
and safety, or to lessen or avert the threat of a catastrophe in any 
part of the United States." 42 U.S.C. §5122(1). 

[3] The Stafford Act defines a major disaster as "any natural 
catastrophe (including any hurricane, tornado, storm, high water, 
winddriven water, tidal wave, tsunami, earthquake, volcanic eruption, 
landslide, mudslide, snowstorm or drought), or, regardless of cause, 
any fire, flood, or explosion, in any part of the United States, which 
in the determination of the President causes damage of sufficient 
severity and magnitude to warrant major disaster assistance under [the 
Act] to supplement the efforts and available resources of States, local 
governments, and disaster relief organizations in alleviating the 
damage, loss, hardship, or suffering caused thereby." 42 U.S.C. 
§5122(2). 

[4] According to the National Response Plan, an Incident of National 
Significance is "an actual or potential high-impact event that requires 
a coordinated and effective response by an appropriate combination of 
Federal, State, local, tribal, nongovernmental, and/or private-sector 
entities in order to save lives and minimize damage, and provide the 
basis for long-term community recovery and mitigation activities." 

[5] Backyard birds are those raised, for example, for cockfighting or 
personal consumption. 

[6] In addition, USDA may, under certain circumstances, indemnify 
owners when states and industry depopulate birds. 

[7] According to USDA, the department is responsible for leading 57 of 
these critical actions and supporting 41 more. 

[8] Poultry in North Carolina and West Virginia were also affected. 

[9] In this instance, vaccines were used in conjunction with 
depopulation to control the outbreak. 

[10] The World Organization for Animal Health defines notifiable AI as 
an infection of poultry caused by any influenza A virus of the H5 or H7 
subtypes or by any AI virus with an intravenous pathogenicity index 
greater than 1.2, or with at least 75 percent mortality. 

[11] 7 U.S.C. §§ 8301-8321. 

[12] Pub. L. No. 109-148, div. B, tit. II, 119 Stat. 2782 (2005). 

[13] The $80.3 million allocated to APHIS consisted of $71.5 million 
from the 2-year emergency supplemental and, according to USDA 
officials, $8.8 million from supplemental funds appropriated to the 
Office of the Secretary. 

[14] Homeland Security Act of 2002, Pub. L. No. 107-296, 116 Stat. 
2135. 

[15] Pub. L. No. 93-288, 88 Stat. 143 (1974) (codified as amended at 42 
U.S.C. §§ 5121 et seq.) 

[16] The 15 scenarios are (1) improvised nuclear device attack, (2) 
aerosol anthrax attack, (3) pandemic influenza, (4) biological attack 
with plague, (5) chemical attack with blister agent, (6) chemical 
attack with toxic chemical agent, (7) chemical attack with nerve agent, 
(8) chemical attack resulting in chlorine tank explosion, (9) major 
earthquake, (10) major hurricane, (11) radiological attack with 
dispersal device, (12) improvised explosive device attack, (13) 
biological attack with food contamination, (14) biological attack with 
foreign animal disease, and (15) cyber attack. 

[17] Capabilities--the ability to carry out specific tasks under 
particular conditions with desired results--are built upon the 
appropriate combination of people, skills, processes, and assets. 

[18] The mission of the Environmental Protection Agency is to protect 
human health and the environment. 

[19] Report of the Second FAO/OIE Regional Meeting on Avian Influenza 
Control in Asia, in collaboration with: Government of Viet Nam 
(Ministry of Agriculture and Rural Development) and World Health 
Organization, February 23-25, 2005. 

[20] Coordination with DHS is necessary because the Homeland Security 
Act of 2002, Pub. L. No. 107-296, 116 Stat. 2135, transferred most of 
USDA's responsibility for conducting agricultural import inspections to 
DHS. (See GAO, Homeland Security: Much Is Being Done to Protect 
Agriculture from a Terrorist Attack, but Important Challenges Remain, 
GAO-05-214 (Washington D.C.: Mar. 8, 2005). 

[21] The certification USDA provides indicates that breeder flocks are 
"AI clean" and that production flocks are "AI monitored." 

[22] For example, this educational program also encourages good 
biosecurity practices among backyard bird owners. 

[23] The Department of Interior is responsible for managing healthy 
wildlife populations. 

[24] For more information on the National Animal Health Laboratory 
Network, see GAO, Homeland Security: Much Is Being Done to Protect 
Agriculture from a Terrorist Attack, but Important Challenges Remain, 
GAO-05-214 (Washington D.C.: Mar. 8, 2005). 

[25] According to USDA, these draft AI documents have undergone intense 
development and would be used as a basis for activities that the 
department would undertake in the event of an outbreak of highly 
pathogenic AI. 

[26] This plan summarizes APHIS' National Highly Pathogenic Avian 
Influenza Preparedness and Response Plan, which the agency describes as 
a strategic plan for rapidly detecting and responding to highly 
pathogenic AI. The summary and the original plan are based on APHIS' 
National Animal Health Emergency Management System, which provides 
guidance on mitigating, preparing for, responding to, and recovering 
from major animal health emergencies. Among other things, the system 
contains guidance for responding to highly contagious foreign animal 
diseases and uses foot-and-mouth disease as its example. 

[27] The playbook is entitled the Interagency Playbook for Domestic 
Response to a Detection of Highly Pathogenic Avian Influenza H5N1 in 
Birds. 

[28] Within the Department of Labor, the Occupational Safety and Health 
Administration assures the safety and health of America's employees. 

[29] A tabletop exercise is a group discussion guided by a scenario- 
based, simulated disaster. 

[30] The National Association of County and City Health Officials is 
the national organization representing local health departments. 

[31] The National Association of State Departments of Agriculture's 
mission is to represent the state departments of agriculture in the 
development, implementation, and communication of sound public policy 
and programs that support and promote the American agricultural 
industry, while protecting consumers and the environment. 

[32] The Association of State and Territorial Health Officials is a 
national nonprofit organization representing the state and territorial 
public health agencies of the United States, the U.S. territories, and 
the District of Columbia. 

[33] The 17 critical animal diseases were selected based on the 
following factors: whether or not the disease-causing organism is 
highly contagious; the extent of its ability to rapidly spread and 
infect many species; the extent of its ability to cause disease in 
humans; and its economic impact both domestically and on trade. 

[34] Homeland Security Presidential Directive 9, at § 18. 

[35] This exceeds the target in the Implementation Plan for the 
National Strategy for Pandemic Influenza. 

[36] Stockpile officials evaluated the feasibility of acquiring ready- 
to-use vaccine(s); costs of purchasing them; and other life-cycle 
costs, such as storage, expiration, replacement, and disposal. As a 
result, the National Veterinary Stockpile has adopted a strategy of 
maintaining a limited supply of vaccine on hand but has purchased 
guaranteed access to larger amounts. For example, the stockpile also 
has access to 500 million doses of vaccine to protect younger chickens 
1 to 7 days old. The stockpile has guaranteed access to 25 million 
doses within 24 hours, with the remainder to follow, if necessary. 

[37] This acquisition of push packs was based, in part, on available 
funds, rather than a calculation based on outbreak scenarios. The 
National Veterinary Stockpile is in the process of acquiring additional 
personal protective equipment (enough to support 1,500 responders 
changing five times per day for 40 days). 

[38] Foot-and-Mouth Disease, Pleuropneumonia, Rinderpest, and Certain 
Other Communicable Diseases of Livestock or Poultry, 9 C.F.R. pt. 53. 
Indemnification has been provided under these regulations when the 
affected states had entered into cooperative agreements with USDA. 
Although these regulations do not generally provide indemnity for low 
pathogenic strains, on two occasions, USDA did so by amending the 
regulations. 

[39] In addition, the states in which the facilities participate must 
conduct passive surveillance and have an initial state response and 
containment plan. 

[40] For commercial poultry, a participating flock or slaughter plant 
is required to participate in the active surveillance program only if 
they are larger than a certain size standard. For table-egg layer 
flocks, the standard is 75,000 birds. For meat-type chicken slaughter 
plants, the standard is slaughtering 200,000 meat-type chickens in an 
operating week, while for meat-type turkey slaughter plants, the 
standard is slaughtering 2 million meat-type turkeys in a 12-month 
period. 

[41] Backyard birds are eligible for 100 percent indemnification 
without participating in the National Poultry Improvement Plan 
surveillance program because, according to USDA officials, 
participation would be too burdensome; it is more important that there 
be an incentive for these owners to report sick birds. 

[42] 9 C.F.R. § 53.3. 

[43] Officials at USDA's Office of General Counsel told us that the 
Secretary of Agriculture, under the authority of the Animal Health 
Protection Act, also retains this flexibility for indemnification 
procedures for highly pathogenic AI. Under the Animal Health Protection 
Act, the Secretary may authorize the destruction or disposal of certain 
animals he has reason to believe may carry, have carried, have been 
affected, or have been exposed to an animal disease. 7 U.S.C. § 
8306(a), (b). The Secretary is further authorized to compensate the 
owner for any animals that he requires to be destroyed. 7 U.S.C. § 
8306(d). 

[44] These messages were created in response to the Implementation Plan 
for the National Strategy for Pandemic Influenza, which identified 
their development as a critical action item. 

[45] Many of these items are tasks identified in the Implementation 
Plan for the National Strategy of Pandemic Influenza. 

[46] These are reverse transcription polymerase chain reaction 
diagnostic tests. 

[47] According to the Food and Agriculture Organization of the United 
Nations, all carnivores could become infected through eating infected 
poultry or infected wild birds. 

[48] GAO, Catastrophic Disasters: Enhanced Leadership, Capabilities, 
and Accountability Controls Will Improve the Effectiveness of the 
Nation's Preparedness, Response, and Recovery System, GAO-06-618 
(Washington, D.C.: Sept. 6, 2006). 

[49] West Nile virus is usually spread by the bite of an infected 
mosquito. Mosquitoes become infected when they feed on infected birds. 
Infected mosquitoes can then spread the virus to humans and other 
animals. The presidential declaration of emergency declared for West 
Nile virus authorized funding so that local governments could be 
reimbursed for the cost of fighting the disease. 

[50] The criteria set out in Homeland Security Presidential Directive 5 
are (1) a federal department or agency acting under its own authority 
has requested the assistance of the Secretary of Homeland Security; (2) 
the resources of state and local authorities are overwhelmed and 
federal assistance has been requested by the appropriate state and 
local authorities, for example, under the Stafford Act; (3) more than 
one federal department or agency has become substantially involved in 
responding to an incident; or (4) the Secretary of Homeland Security 
has been directed by the President to assume responsibility for 
managing a domestic incident. 

[51] This highly contagious and fatal poultry disease cost the states 
and federal government more than $170 million to eradicate, and it cost 
an unknown number of bird owners their livelihoods and, in some cases, 
their pets. 

[52] On December 17, 2003, the President issued Homeland Security 
Presidential Directive 8 to establish policies to strengthen the 
preparedness of the United States to prevent and respond to threatened 
or actual domestic terrorist attacks, major disasters, and other 
emergencies by requiring national domestic all-hazards preparedness 
"Goal." The Goal utilizes a capabilities-based planning approach. 

[53] GAO, Emergency Preparedness and Response: Some Issues and 
Challenges Associated with Major Emergency Incidents, GAO-06- 467T 
(Washington D.C.: Feb. 23, 2006). 

[54] USDA officials responsible for helping states develop response 
plans provided us with 19 plans, which the states made available to 
them during the course of our review. 

[55] These numbers are based on USDA's 2002 Census of Agriculture. 

[56] "Incident Command System Review Materials" from the Federal 
Emergency Management Agency's ICS Resource Center Contents Web site, 
http://training.fema.gov/EMIWeb/IS/ICSResource/index.htm. 

[57] The response plan we refer to is APHIS' National Highly Pathogenic 
Avian Influenza Response Plan. 

[58] Poultry '04 Part I: Reference of Health and Management of 
Backyard/Small Production Flocks in the United States, 2004; USDA, 
August 2005. 

[59] For specifics, see USDA's National Animal Health Emergency 
Management System. 

[60] State officials familiar with cockfighting told us that handlers 
resuscitate down birds in the middle of a fight by using their mouth to 
clear congestion in the beak. According to the Occupational Safety and 
Health Administration, exposure of the conjunctival membranes of the 
eyes and/or nasal mucosa to secretions from AI infected birds is the 
predominant route of transmission of these viruses to humans. 

[61] State officials told us that the general public does not 
understand the difference between low and highly pathogenic AI. 

[62] States generally require USDA's National Poultry Improvement Plan 
certification for salmonella, pullorum, and typhoid. 

[63] The guidance takes into consideration HHS' Centers for Disease 
Control and Prevention Interim Guidance for Protection of Persons 
Involved in U.S. Avian Influenza Outbreak Disease Control and 
Eradication Activities. The recommendations are based on precautions 
that are considered best practices for protecting individuals involved 
in the response to an AI outbreak. 

[64] The disposable particulate respirator costs about $1 each, 
depending on the model. 

[65] According to updated guidance from the Occupational Safety and 
Health Administration for protecting employees from AI viruses, in the 
event of an outbreak, a safety and medical adviser should be identified 
to ensure compliance with procedures. However, according to USDA 
officials, these advisers need not be at the site of the outbreak. 

[66] Powered air purifying respirators cost about $1,500 each, but 
price can vary depending on model and type of batteries used. 

[67] The length of time depends on the battery. 

[68] A full-face respirator costs about $130 each, but the price can 
vary depending on the model. 

[69] Homeland Security Presidential Directive 9 § 18(a). 

[70] According to DHS and National Veterinary Stockpile officials we 
interviewed, the stockpile is underfunded. 

[71] The Strategic National Stockpile's goal is to have 26 million 
doses of antiviral medication on hand by the end of 2006 and a total of 
50 million by the end of 2008. 

[72] National Veterinary Stockpile officials told us that this number 
reflects, in part, the total number of individuals involved during the 
height of the exotic Newcastle disease outbreak in California in 2002. 
It does not reflect a calculated estimate of those exposed to the virus 
and in need of antiviral medication. 

[73] Branch officials told us they selected Federal Occupational Health 
for this purpose because it has frequently worked with DHS' Federal 
Emergency Management Agency to ensure worker protection during 
emergencies. 

[74] Branch officials told us that the process they are using is 
similar to HHS' process called the Shelf Life Extension Program. 

[75] At the time of our review, there were 16 Area Emergency 
Coordinators representing 44 states. 

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