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United States Government Accountability Office: 
GAO: 

Testimony: 

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

For Release on Delivery: 
Expected at 10:30 a.m. EDT:
Tuesday, May 3, 2011: 

VA Health Care: 

Weaknesses in Policies and Oversight Governing Medical Equipment Pose 
Risks to Veterans' Safety: 

Statement of Randall B. Williamson:
Director, Health Care: 

GAO-11-591T: 

Chairman Miller, Ranking Member Filner, and Members of the Committee: 

I am pleased to be here today as you discuss patient safety incidents 
at Department of Veterans Affairs (VA) medical centers and potential 
strategies to address the underlying causes of those incidents. VA 
operates one of the largest integrated health care delivery systems in 
the United States, providing care to over 5.5 million veterans 
annually. Organized into 21 Veterans Integrated Service Networks 
(VISN), VA's health care system includes 153 VA medical centers (VAMC) 
nationwide that offer a variety of outpatient, residential, and 
inpatient services.[Footnote 1] In providing health care services to 
veterans, clinicians at VAMCs use reusable medical equipment (RME), 
which is designed to be reused for multiple patients and includes such 
equipment as endoscopes[Footnote 2] and some surgical and dental 
instruments. Because RME is used when providing care to multiple 
veterans, this equipment must be reprocessed--that is, cleaned and 
disinfected or sterilized--between uses. VA has established 
requirements for VAMCs to follow when reprocessing RME,[Footnote 3] 
which are designed, in part, to help ensure the safety of the veterans 
who receive care at VAMCs. 

My testimony today, based on our May 2011 report,[Footnote 4] which is 
being released today, examines issues related to veterans' safety, 
including (1) selected reprocessing requirements established in VA 
policies, based on their relevance to patient safety incidents and (2) 
VA's oversight of VAMCs' compliance with these selected requirements. 

To examine VA reprocessing requirements, we reviewed relevant VA 
policies and from these policies, we judgmentally selected the 
following two types of reprocessing requirements that we determined 
were relevant to patient safety incidents that were identified at 
certain VAMCs.[Footnote 5] 

Training requirements. To ensure that RME is reprocessed in accordance 
with manufacturers' guidelines, VA requires that each VAMC develop 
device-specific training for reprocessing RME. To develop this 
training, VA requires VAMCs to create device-specific standard 
operating procedures (SOP), which provide step-by-step instructions 
for reprocessing. VA also requires VAMCs to assess staff annually on 
their competence to reprocess RME in accordance with these SOPs. 

Operational requirements. To ensure that reprocessing activities are 
performed safely and that RME is reprocessed correctly, VA policies 
establish operational requirements for VAMCs, which include that VAMC 
staff must monitor sterilizers to ensure that they are functioning 
properly, use personal protective equipment when performing 
reprocessing activities, and segregate dirty and clean RME. 

After selecting these requirements for our review, we judgmentally 
selected six VAMCs from the following locations to visit: Albany, New 
York; Cheyenne, Wyoming; Detroit, Michigan; Miami, Florida; Palo Alto, 
California; and St. Louis, Missouri. These VAMCs represent different 
surgical complexity groups,[Footnote 6] sizes of veteran populations 
served, and geographic regions.[Footnote 7] At these six VAMCs, we 
examined the adequacy of the selected reprocessing requirements to 
help the facilities ensure the safety of veterans who received care at 
these facilities. To do this, we examined how the selected 
requirements were implemented and whether or to what extent these 
requirements directly or indirectly created a potential risk to 
veterans' safety. We reviewed applicable VAMC committee meeting 
minutes[Footnote 8] and other documentation on the implementation of 
these requirements. We also interviewed VAMC officials who were 
responsible for implementing the selected requirements to determine 
whether these requirements are adequate to help ensure veterans' 
safety. 

To examine VA's oversight of VAMCs' compliance with the selected 
reprocessing requirements, we reviewed VA's oversight of these 
requirements and evaluated whether this oversight provides VA with 
adequate information to identify and address noncompliance. As part of 
this review, we assessed VA's oversight in the context of federal 
standards for internal control for monitoring.[Footnote 9] The 
internal control for monitoring refers to an agency's ability to 
assure that ongoing review and supervision activities are conducted, 
with the scope and frequency depending on the assessment of risks; 
deficiencies are communicated to at least one higher level of 
management; and actions are taken in response to findings or 
recommendations within established timelines. We interviewed officials 
responsible for overseeing VAMCs' compliance with the requirements we 
selected for review from VA headquarters, VA's Office of Inspector 
General (OIG), and six VISNs that are responsible for overseeing 
compliance with the requirements we selected for review at the VAMCs 
we visited. In addition, we obtained and reviewed relevant documents 
regarding VA oversight, including internal reports, VAMCs' plans to 
correct problems identified through oversight activities, and policy 
memorandums. 

We conducted this performance audit from March 2010 to May 2011 in 
accordance with generally accepted government auditing standards. 
Those standards require that we plan and perform the audit to obtain 
sufficient, appropriate evidence to provide a reasonable basis for our 
findings and conclusions based on our audit objectives. We believe 
that the evidence obtained provides a reasonable basis for our 
findings and conclusions based on our audit objectives. 

In summary, we found that the VA reprocessing requirements we selected 
for review are inadequate to help ensure the safety of veterans who 
receive care at VAMCs. Although VA requires VAMCs to develop device- 
specific training for staff on how to correctly reprocess RME, it has 
not specified the types of RME for which this training is required. 
Furthermore, VA has provided conflicting guidance to VAMCs on how to 
develop device-specific training on reprocessing RME.[Footnote 10] 
This lack of clarity may have contributed to delays in developing the 
required training. Without appropriate training on reprocessing, VAMC 
staff may not be reprocessing RME correctly, which poses potential 
risks to veterans' safety. VA headquarters officials told us that VA 
has plans to develop training for certain RME, but VA lacks a timeline 
for developing this training. 

We also found that despite changes to improve VA's oversight of VAMCs' 
compliance with selected reprocessing requirements, weaknesses still 
exist. These weaknesses render VA unable to systematically identify 
and address noncompliance with the requirements, which poses potential 
risks to the safety of veterans. Although VA headquarters receives 
information from the VISNs on any noncompliance they identify, as well 
as VAMCs' corrective action plans to address this noncompliance, VA 
headquarters does not analyze this information to inform its 
oversight. According to VA headquarters officials, VA intends to 
develop a plan for analyzing this information to systematically 
identify areas of noncompliance that occur frequently, pose high risks 
to veterans' safety, or have not been addressed across all VAMCs. 

To address the inadequacies we identified in selected VA reprocessing 
requirements, GAO recommends that VA develop and implement an approach 
for providing standardized training for reprocessing all critical and 
semi-critical RME to VAMCs and hold VAMCs accountable for implementing 
this training. To address the weaknesses in VA's oversight of VAMCs' 
compliance with selected requirements, GAO recommends that VA use 
information on noncompliance identified by the VISNs and information 
on VAMCs' corrective action plans to identify areas of noncompliance 
across all 153 VAMCs and take action to improve compliance in those 
areas. 

Selected VA Reprocessing Requirements Are Inadequate to Help Ensure 
Veterans' Safety: 

We found that the VA reprocessing requirements we selected for review 
are inadequate to help ensure veterans' safety. 

Lack of specificity about types of RME that require device-specific 
training. The VA reprocessing requirements we reviewed do not specify 
the types of RME for which VAMCs must develop device-specific 
training. This inadequacy has caused confusion among VAMCs and 
contributed to inconsistent implementation of training for 
reprocessing. While VA headquarters officials told us that the 
training requirement is intended to apply to RME classified as 
critical--such as surgical instruments--and semi-critical--such as 
certain endoscopes,[Footnote 11] officials from five of the six VAMCs 
we visited told us that they were unclear about the RME for which they 
were required to develop device-specific training. 

Officials at one VAMC we visited told us that they did not develop all 
of the required reprocessing training for critical RME--such as 
surgical instruments--because they did not understand that they were 
required to do so. Officials at another VAMC we visited also told us 
that they had begun to develop device-specific training for 
reprocessing non-critical RME, such as wheelchairs, even though they 
had not yet fully completed device-specific training for more critical 
RME. Because these two VAMCs had not developed the appropriate device- 
specific training for reprocessing critical and semi-critical RME, 
staff at these VAMCs may not have been reprocessing all RME properly, 
which potentially put the safety of veterans receiving care at these 
facilities at risk. 

Conflicting guidance on the development of RME reprocessing training. 
While VA requires VAMCs to develop device-specific training on 
reprocessing RME, VA headquarters officials provided VAMCs with 
conflicting guidance on how they should develop this training. For 
example, officials at three VAMCs we visited told us that certain VA 
headquarters or VISN officials stated that this device-specific 
training should very closely match manufacturer guidelines--in one 
case verbatim--while other VA headquarters or VISN officials stated 
that this training should be written in a way that could be easily 
understood by the personnel responsible for reprocessing RME. This 
distinction is important, since VAMC officials told us that some of 
the staff responsible for reprocessing RME may have difficulty 
following the more technical manufacturers' guidelines.[Footnote 12] 
In part because of VA's conflicting guidance, VAMC officials told us 
that they had difficulty developing the required device-specific 
training and had to rewrite the training materials multiple times for 
RME at their facilities. Officials at five of the six VAMCs also told 
us that developing the device-specific training for reprocessing RME 
was both time consuming and resource intensive. 

VA's lack of specificity and conflicting guidance regarding its 
requirement to develop device-specific training for reprocessing RME 
may have contributed to delays in developing this training at several 
of the VAMCs we visited. Officials from three of the six VAMCs told us 
that they had not completed the development of device-specific 
training for RME since VA established the training requirement in July 
2009. As of October 2010, 15 months after VA issued the policy 
containing this requirement, officials at one of the VAMCs we visited 
told us that device-specific training on reprocessing had not been 
developed for about 80 percent of the critical and semi-critical RME 
in use at their facility. 

VA headquarters officials told us that they are aware of the lack of 
specificity and conflicting guidance provided to VAMCs regarding the 
development of training for reprocessing RME and were also aware of 
inefficiencies resulting from each VAMC developing its own training 
for reprocessing types of RME that are used in multiple VAMCs. In 
response, VA headquarters officials told us that they have made 
available to all VAMCs a database of standardized device-specific 
training developed by RME manufacturers for approximately 1,000 types 
of RME and plan to require VAMCs to implement this training by June 
2011. The officials also told us that VA headquarters is planning to 
develop device-specific training available to all VAMCs for certain 
critical and semi-critical RME for which RME manufacturers have not 
developed this training, such as dental instruments. However, as of 
February 2011, VA headquarters had not completed the development of 
device-specific training for these RME and has not established plans 
or corresponding timelines for doing so. 

Despite Changes Intended to Improve VA's Oversight of VAMCs' 
Compliance with Selected Reprocessing Requirements, Weaknesses 
Continue to Exist: 

We found that VA recently made changes to its oversight of VAMCs' 
compliance with selected reprocessing requirements; however, this 
oversight continues to have weaknesses. Beginning in fiscal year 2011, 
VA headquarters directed VISNs to make three changes intended to 
improve its oversight of these reprocessing requirements at VAMCs. 
[Footnote 13] 

* VA headquarters recently required VISNs to increase the frequency of 
site visits to VAMCs--from one to three unannounced site visits per 
year--as a way to more quickly identify and address areas of 
noncompliance with selected VA reprocessing requirements. 

* VA headquarters also recently required VISNs to begin using a 
standardized assessment tool to guide their oversight activities. 
[Footnote 14] According to VA headquarters officials, requiring VISNs 
to use this assessment tool will enable the VISNs to collect 
consistent information on VAMCs' compliance with VA's reprocessing 
requirements. Before VA established this requirement, the six VISNs 
that oversee the VAMCs we visited often used different assessment 
tools to guide their oversight activities. As a result, they reviewed 
and collected different types of information on VAMCs' compliance with 
these requirements. 

* VISNs are now required to report to VA headquarters information from 
their site visits. Specifically, following each unannounced site visit 
to a VAMC, VISNs are required to provide VA headquarters with 
information on the facility's noncompliance with VA's reprocessing 
requirements and VAMCs' corrective action plans to address areas of 
noncompliance. Prior to fiscal year 2011, VISNs were generally not 
required to report this information to VA headquarters.[Footnote 15] 

Despite the recent changes, VA's oversight of its reprocessing 
requirements, including those we selected for review, has weaknesses 
in the context of the federal internal control for monitoring. 
Consistent with the internal control for monitoring, we would expect 
VA to analyze this information to assess the risk of noncompliance and 
ensure that noncompliance is addressed. However, VA headquarters does 
not analyze information to identify the extent of noncompliance across 
all VAMCs, including noncompliance that occurs frequently or poses 
high risks to veterans' safety. As a result, VA headquarters has not 
identified the extent of noncompliance across VAMCs with, for example, 
VA's operational reprocessing requirement that staff use personal 
protective equipment when performing reprocessing activities, which is 
key to ensuring that clean RME are not contaminated by coming into 
contact with soiled hands or clothing. Three of the six VAMCs we 
visited had instances of noncompliance with this requirement. 
Similarly, because VA headquarters does not analyze information from 
VAMCs' corrective action plans to address noncompliance with VA 
reprocessing requirements, it is unable to confirm, for example, 
whether VAMCs have addressed noncompliance with its operational 
reprocessing requirement to separate clean and dirty RME. Two of the 
six VAMCs we visited had not resolved noncompliance with this 
requirement and, as a result, are unable to ensure that clean RME does 
not become contaminated by coming into contact with dirty RME. 

VA headquarters officials told us that VA plans to address the 
weaknesses we identified in its oversight of VAMCs' compliance with 
reprocessing requirements. Specifically, VA headquarters officials 
told us that they intend to develop a systematic approach to analyze 
oversight information to identify areas of noncompliance across all 
VAMCs, including those that occur frequently, pose high risks to 
veterans' safety, or have not been addressed in a timely manner. 
[Footnote 16] While VA has established a timeline for completing these 
changes, certain VA headquarters officials told us that they are 
unsure whether this timeline is realistic due to possible delays 
resulting from VA's ongoing organizational realignment, which had not 
been completed as of April 6, 2011.[Footnote 17] 

In conclusion, weaknesses exist in VA's policies for reprocessing RME 
that create potential safety risks to veterans. VA's lack of 
specificity and conflicting guidance for developing device-specific 
training for reprocessing RME has led to confusion among VAMCs about 
which types of RME require device-specific training and how VAMCs 
should develop that training. This confusion has contributed to some 
VAMCs not developing training for their staff for some critical and 
semi-critical RME. 

Moreover, weaknesses in oversight of VAMCs' compliance with the 
selected reprocessing requirements do not allow VA to identify and 
address areas of noncompliance across VAMCs, including those that 
occur frequently, pose high risks to veterans' safety, or have not 
been addressed by VAMCs. Correcting inadequate policies and providing 
effective oversight of reprocessing requirements consistent with the 
federal standards for internal control is essential for VA to prevent 
potentially harmful incidents from occurring. 

To help ensure veterans' safety through VA's reprocessing 
requirements, we are making two recommendations in our report. We 
recommend that the Secretary of Veterans Affairs direct the Under 
Secretary for Health to take the following actions: 

* Develop and implement an approach for providing standardized 
training for reprocessing all critical and semi-critical RME to VAMCs. 
Additionally, hold VAMCs accountable for implementing device-specific 
training for all of these RME. 

* Use the information on noncompliance identified by the VISNs and 
information on VAMCs' corrective action plans to identify areas of 
noncompliance across all 153 VAMCs, including those that occur 
frequently, pose high risks to veterans' safety, or have not been 
addressed, and take action to improve compliance in those areas. 

In responding to a draft of the report from which this testimony is 
based, VA concurred with these recommendations. 

Chairman Miller, Ranking Member Filner, this concludes my prepared 
statement. I would be happy to respond to any questions you or other 
Members of the Committee may have. 

Contacts and Acknowledgments: 

For further information about this testimony, please contact Randall 
B. Williamson at (202) 512-7114 or williamsonr@gao.gov. Contact points 
for our Offices of Congressional Relations and Public Affairs may be 
found on the last page of this testimony. Individuals who made key 
contributions to this testimony include Mary Ann Curran, Assistant 
Director; Kye Briesath; Krister Friday; Melanie Krause; Lisa Motley; 
and Michael Zose. 

[End of section] 

Footnotes: 

[1] The management of VAMCs is decentralized to 21 VISNs. 

[2] An endoscope is a device with a light attached that is used to 
look inside a body cavity or organ. 

[3] VA Handbook 7176, Supply, Processing, and Distribution (SPD) 
Operational Requirements (Aug. 16, 2002); VHA Directive 2009-004, Use 
and Reprocessing of Reusable Medical Equipment (RME) in Veterans 
Health Administration Facilities (Feb. 9, 2009); and VHA Directive 
2009-031, Improving Safety in the Use of Reusable Medical Equipment 
Through Standardization of Organizational Structure and Reprocessing 
Requirements (June 26, 2009). 

[4] See GAO, VA Health Care: Weaknesses in Policies and Oversight 
Governing Medical Supplies and Equipment Pose Risks to Veterans' 
Safety, [hyperlink, http://www.gao.gov/products/GAO-11-391] 
(Washington, D.C.: May 2011). 

[5] We reviewed applicable VA policies, including VHA Directive 2009- 
031, Improving Safety in the Use of Reusable Medical Equipment Through 
Standardization of Organizational Structure and Reprocessing 
Requirements; VHA Directive 2009-004, Use and Reprocessing of Reusable 
Medical Equipment (RME) in Veterans Health Administration Facilities; 
and VA Handbook 7176, Supply, Processing, and Distribution (SPD) 
Operational Requirements. 

[6] VA assigns each VAMC a complexity score between 1 and 3, with 
level 1 being the most complex, using a facility complexity model. 
That model uses multiple variables to measure facility complexity 
arrayed along four categories, namely patient population served, 
clinical services offered, education and research complexity, and 
administrative complexity. 

[7] Each of the six VAMCs we visited is located within a different 
VISN. 

[8] We reviewed minutes from the following committees: commodity 
standards, equipment, medical executive, infection control, and RME. 

[9] See GAO, Standards for Internal Control in the Federal Government, 
[hyperlink, http://www.gao.gov/products/GAO/AIMD-00-21.3.1] 
(Washington, D.C.: November 1999) and GAO, Internal Control Management 
and Evaluation Tool, [hyperlink, 
http://www.gao.gov/products/GAO-01-1008G] (Washington, D.C.: August 
2001). 

[10] According to VA headquarters officials, certain RME are difficult 
to reprocess because they need to be fully disassembled in order to be 
reprocessed correctly, so developing device-specific training for 
reprocessing these items is important to help ensure veterans' safety. 

[11] RME is generally categorized into critical, semi-critical, or non-
critical items based on the degree of risk for infection involved in 
use of the item. Critical items, such as surgical instruments, are 
those that enter sterile tissue or the vascular system and require 
sterilization because they confer a high risk of infection. Semi- 
critical items, such as certain endoscopes, are those that contact 
mucous membranes or non-intact skin and minimally require high-level 
disinfection. Non-critical items, such as wheelchairs, are those that 
come into contact with intact skin and may be cleaned with low-level 
disinfectants. 

[12] VA officials stated that manufacturer guidelines for reprocessing 
RME may be technically complex and may include steps that staff at 
VAMCs are unable to follow. For example, these officials stated that 
guidelines from RME manufacturers may require the use of a specific 
disinfectant that is not available in the United States. The Food and 
Drug Administration has responsibility for overseeing RME, including 
the guidelines written by manufacturers for reprocessing these items. 

[13] VA headquarters generally delegates responsibility for this 
oversight to the VISNs. In addition to oversight conducted by the 
VISNs, some entities within VA headquarters conduct oversight of 
VAMCs' compliance with VA reprocessing requirements, including those 
we selected for review. Specifically, VA's OIG and Sterile Processing 
Department conduct site visits to investigate allegations of VAMC 
noncompliance with VA reprocessing requirements. In addition, since 
around 2005, VA's System-wide Ongoing Assessment and Review Strategy 
has included reviews of the selected VA reprocessing requirements as 
part of broader reviews of VAMC compliance with VA policies in 
preparation for external accreditation reviews approximately every 3 
years. In 2010, VA's OIG also conducted reviews of the selected VA 
reprocessing requirements as part of broader ongoing reviews of VAMC 
compliance with VA policies. 

[14] VA headquarters officials told us that they may refine this 
assessment tool over time. 

[15] While VISNs were not generally required to report to VA 
headquarters information on VAMCs' noncompliance with VA's 
reprocessing requirements, VISNs were required to report to VA 
headquarters information about noncompliance that may have resulted in 
harm to veterans. VA headquarters officials told us that following a 
review of that information and collection of additional information as 
needed, a panel of experts would determine whether the noncompliance 
identified in the reviews resulted in risks to veterans' safety and, 
if so, whether veterans should be notified. See VHA Directive 2008-
002, Disclosure of Adverse Events to Patients (Washington, D.C.: Jan. 
18, 2008). 

[16] VA headquarters officials also told us that a temporary staff 
member was assigned in March 2011 to begin reviewing some information 
from VISNs' oversight activities. Specifically, that staff member will 
be responsible for reviewing whether VAMCs have developed the required 
device-specific training for reprocessing RME and the extent to which 
VAMCs are utilizing flash sterilization, a sterilization technique 
that should be used only in limited circumstances. 

[17] As part of this realignment, VA headquarters is establishing a 
new position within the Office of the Deputy Under Secretary for 
Health for Operations and Management, which will be responsible for 
overseeing certain departments, including VA headquarters' Sterile 
Processing Department. 

[End of section] 

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