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Report to the Chairman, Committee on Armed Services, House of 
Representatives:

March 2004:

NONPROLIFERATION:

Delays in Implementing the Chemical Weapons Convention Raise Concerns 
About Proliferation:

[Hyperlink, http://www.gao.gov/cgi-bin/getrpt?GAO-04-361]:

GAO Highlights:

Highlights of GAO-04-361, a report to the Chairman, Committee on Armed 
Services, House of Representatives 


Why GAO Did This Study:

The Chemical Weapons Convention (CWC) bans chemical weapons and 
requires their destruction by 2007, with possible extensions to 2012. 
The CWC also seeks to reduce the proliferation of these weapons by 
requiring member states to adopt comprehensive national laws to 
criminalize CWC-prohibited activities. The Organization for the 
Prohibition of Chemical Weapons (OPCW) monitors the destruction of 
chemical weapons and inspects declared commercial facilities in member 
states.

GAO was asked to review (1) member states’ efforts to meet key 
convention requirements, (2) OPCW’s efforts in conducting inspections 
to ensure compliance with the convention, and (3) Russia’s efforts to 
destroy its chemical weapons stockpile.

Agency Comments

The Departments of State and Defense commented that our report is not 
balanced because it does not provide more examples of successful CWC 
implementation. We believe the CWC has made important contributions to 
nonproliferation and further clarified this point in this report.
State and Defense also expressed concern that we included a policy 
option to condition future U.S. aid on development of a credible 
Russian chemical weapons destruction plan. However, we provide several 
policy options, including increasing aid to Russia. 

What GAO Found:

The CWC has helped reduce the risks from chemical weapons, but CWC 
member states are experiencing delays in meeting key convention
requirements as the CWC’s goals have proven more difficult to achieve 
than anticipated. For example, we estimate that Russia and the United 
States will not complete destruction of their chemical weapons 
stockpiles until after the convention’s deadline of 2012, if extended. 
Less than 40 percent of member states have adopted national laws to 
prosecute individuals that pursue CWC-prohibited activities. The 
Department of State also believes that China, Iran, Russia, and Sudan 
have not fully declared the extent of their chemical weapons programs.

The OPCW faces resource challenges in addressing the proliferation 
threat posed by commercial facilities and inspecting an increased 
number of military facilities that destroy possessor states’ chemical 
weapons. Although the OPCW has conducted nearly 1,600 inspections in 
58 member states since April 1997, more than half have been conducted 
at military facilities. About 36 percent of OPCW commercial 
inspections have taken place at facilities producing the most 
dangerous chemicals identified by the CWC. The OPCW recognizes that it 
must increase the number of inspections conducted at facilities that 
produce dual-use chemicals. Some of these facilities may pose a 
proliferation threat.
 
The lack of a credible Russian chemical weapons destruction plan has 
hindered and may further delay destruction efforts, leaving Russia’s 
vast chemical weapons arsenal vulnerable to theft or diversion. As of 
September 2003, Russia had one operational destruction facility and 
had destroyed 1.1 percent of its 40,000 metric tons of chemical 
weapons. Russia’s destruction efforts rely heavily on international 
assistance. Since 1993 international donors, including the United 
States, have obligated about $585 million for Russian destruction 
efforts while Russia has spent about $95 million. 

http://www.gao.gov/cgi-bin/getrpt?GAO-04-361>.

To view the full product, including the scope and methodology, click 
on the link above. For more information, contact Joseph Christoff, 
(202) 512-8979 or christoffj@gao.gov.

[End of section]

Contents:

Letter: 

Results in Brief: 

Background: 

Member States Are Experiencing Delays in Complying with Key CWC 
Requirements: 

OPCW Conducts Inspections, but Significant Challenges Remain: 

Russia Faces Significant Challenges in Destroying Its Chemical 
Weapons:

Observations: 

Agency Comments and Our Evaluation: 

Appendixes:

Appendix I: Scope and Methodology: 

Appendix II: Location, Number, and Type of Inspections Conducted by the 
OPCW (April 1997 - December 2002): 

Appendix III: International and Russian Funding for Chemical Weapons 
Destruction at Shchuch'ye: 

Appendix IV: Comments from the Department of State: 

GAO Comments: 

Appendix V: Comments from the Department of Defense: 

GAO Comments: 

Appendix VI: Comments from the Department of Commerce: 

Appendix VII: Comments from the Organization for the Prohibition of 
Chemical Weapons: 

GAO Comment: 

Appendix VIII: GAO Contact and Staff Acknowledgments: 

GAO Contact: 

Acknowledgments: 

Tables: 

Table 1: CWC Possessor States' Declared Stockpiles and Amount 
Destroyed: 

Table 2: OPCW Inspection Activity at Military Facilities: 

Table 3: OPCW Inspection Activity at Commercial Facilities: 

Table 4: Time Line for Destroying Russia's Chemical Weapons (as of 
December 2003): 

Figures:

Figure 1: Location of Russian Chemical Weapons Stockpiles: 

Figure 2: Location of U.S. Chemical Weapons Stockpiles: 

Figure 3: Chemical Weapons Destruction Facility at Shchuch'ye: 

Figure 4: Construction of the U.S. Destruction Building at Shchuch'ye, 
November 2003: 

Figure 5: Construction of the Russian Destruction Building at 
Shchuch'ye, November 2003: 

Abbreviations: 

CW: chemical weapons: 

CWC: Chemical Weapons Convention:

DOC: discrete organic chemicals:

DOD: Department of Defense:

OPCW: Organization for the Prohibition of Chemical Weapons:

Letter March 31, 2004:

The Honorable Duncan Hunter: 
Chairman: 
Committee on Armed Services: 
House of Representatives:

Dear Mr. Chairman:

The Chemical Weapons Convention (CWC) entered into force in April 1997. 
It is the only multilateral treaty that seeks to eliminate an entire 
category of weapons of mass destruction within an established time 
frame and verify their destruction through inspections and monitoring. 
Specifically, the convention bans the production, possession, and use 
of chemical weapons and requires the destruction of chemical weapons 
stockpiles by 2007 with possible extensions to 2012. The CWC also 
requires member states to adopt national laws implementing the 
convention and to declare their military chemical weapons facilities 
and commercial facilities producing dual-use chemicals[Footnote 1] to 
the Organization for the Prohibition of Chemical Weapons (OPCW). As of 
March 2004, 161 countries are CWC members, including the Russian 
Federation and the United States. At the CWC's first review conference 
in spring 2003, some member states expressed concern that many member 
states are not meeting their key CWC obligations. For example, 
Russia--the world's largest possessor of declared chemical weapons--is 
experiencing delays in destroying its stockpile.

In response to your request, we reviewed (1) member states' efforts to 
meet key CWC requirements, (2) OPCW's efforts to conduct inspections to 
ensure compliance with the convention, and (3) Russia's efforts to 
destroy its chemical weapons stockpile.

In conducting our work, we reviewed the CWC, analyzed verification and 
program documents from the OPCW, and met with OPCW officials. 
Additionally, we met with officials from the Departments of Commerce, 
Defense, and State, as well as member states' representatives to the 
OPCW at The Hague, the Netherlands. We also obtained information from 
Russian government officials and visited the U.S.-funded chemical 
weapons destruction facility site at Shchuch'ye in Russia. To assess 
the reliability of the data used in the report, we reviewed relevant 
documents and obtained necessary information from agency and government 
officials. For the purposes of our work, we determined that the data 
are sufficiently reliable. We performed our work from April 2003 
through March 2004 in accordance with generally accepted government 
auditing standards. (See app. I for the details of our scope and 
methodology.):

Results in Brief:

Member states are experiencing delays in destroying their chemical 
weapons stockpiles, adopting comprehensive national laws to criminalize 
the possession and use of chemical weapons, and submitting timely and 
accurate declarations of their CWC-related activities. While the CWC 
has played an important role in reducing the risks from chemical 
weapons, the CWC's nonproliferation goals have proven more difficult to 
achieve than originally anticipated. Specifically, only 11 percent of 
the 70,000 metric tons of declared chemical weapons worldwide has been 
destroyed, as of November 2003. While Russia and the United States 
possess over 95 percent of the world's declared chemical weapons 
stockpile, they are unlikely to meet the convention's extended deadline 
of 2012 for destroying their respective stockpiles.[Footnote 2] In 
addition, less than 40 percent of member states have adopted national 
laws to criminalize CWC-prohibited activities. Finally, a 2001 
Department of State report assesses that China, Iran, Russia, and Sudan 
have not fully declared the extent of their chemical weapons programs.

Although the OPCW has established a credible inspection regime and 
conducted nearly 1,600 inspections in 58 member states between 1997 and 
2003, the organization faces significant challenges in balancing an 
increased demand for inspections at military and commercial sites with 
its limited resources. The CWC does not specify the number of 
inspections that the OPCW must conduct each year. Since 1997, the OPCW 
conducted over half of its inspections at military facilities. The 
organization also conducted inspections at 514 of the 5,460 declared 
commercial facilities. The OPCW plans to increase the number of 
inspections conducted at commercial facilities, that produce discrete 
organic chemicals, because they may pose a greater proliferation risk 
than other commercial sites. However, it simultaneously faces an 
increased demand for inspections at military destruction facilities. 
Over the past few years, the OPCW has also experienced financial 
difficulties. To help overcome the increasing demands being placed on 
its limited resources, the OPCW is working with member states to 
further improve the efficiency of its inspection procedures.

Russia's efforts to destroy its chemical weapons stockpiles face 
significant challenges. Russia is experiencing delays in destroying its 
chemical weapons stockpile. As of September 2003, Russia had destroyed 
1.1 percent of its total declared chemical weapons stockpile of 40,000 
metric tons. This compares with the 24 percent already destroyed by the 
United States. In addition, current Russian destruction efforts are 
reliant upon international assistance. As of December 2003, 
international donors, including the United States, Germany, and 
others,[Footnote 3] had obligated about $585 million and committed more 
than $1.7 billion toward Russia's chemical weapons destruction. 
According to the Department of State, from 2001 through 2003 Russia 
budgeted about $420 million for chemical weapons demilitarization-
related activities. Russia had spent about $95 million. Furthermore, 
the lack of a credible Russian chemical weapons destruction plan has 
delayed destruction, and Russian planning efforts to date have not 
included detailed cost and schedule information. Without a credible 
plan, Russian destruction efforts may experience further delays, 
leaving the Russian chemical weapons stockpile vulnerable to theft or 
diversion.

In commenting on our draft report, the Department of State (State) 
asserted that our report was incomplete, not balanced, and did not 
provide examples of the CWC's accomplishments. We have added additional 
information to reflect State's concerns. However, our report 
acknowledges the CWC's important contribution to addressing the threat 
posed by chemical weapons and the OPCW's establishment of a credible 
inspection regime. The Department of Defense (DOD) commented that the 
draft report (1) had little analysis of the relative degree of 
proliferation risk from those member states lacking implementing 
legislation and (2) did not present a balanced view of CWC 
implementation. However, DOD offered no criteria for determining which 
member states pose more of a proliferation risk. DOD also provided 
examples of CWC accomplishments in its comments that, while important, 
are secondary to the primary goal of destroying the world's entire 
stockpile of chemical weapons. To ensure balance, we have incorporated 
discussion of these issues in the report. State and DOD said that our 
analysis estimating that Russia may not destroy its chemical weapons 
stockpile until 2027 did not include discussion of other options for 
destroying Russia's stockpile, such as building additional destruction 
facilities. As of March 2004, only one facility capable of destroying 
nerve agent is under construction in Russia. The construction of this 
U.S-funded facility at Shchuch'ye began 11 years after the U.S. and 
Russia first agreed to build it. The Department of Commerce (Commerce) 
commended our draft report for focusing attention on CWC 
implementation. The OPCW also commended the report for reflecting what 
has been achieved through CWC implementation and recognizing areas 
where challenges still exist. We also received technical comments from 
State, DOD, and Commerce as well as the OPCW and have incorporated 
their comments where appropriate.

Background:

The CWC is a multilateral arms control treaty that bans the 
development, production, stockpiling, transfer, and use of chemical 
weapons by member countries and requires the declaration and 
destruction of those countries' existing chemical weapons stocks and 
production facilities by 2007, with a possible extension to 2012. The 
CWC also monitors the production and transfer of chemicals at declared 
commercial facilities. When the CWC entered into force in April 1997, 
there were 87 member states. As of March 2004, 161 nations are CWC 
member states, including Libya. Twenty-one countries are signatories 
but have yet to ratify the treaty.[Footnote 4] According to the State 
Department, key nonsignatory states include North Korea and Syria, 
which are believed to possess or are actively pursuing chemical weapons 
capabilities.[Footnote 5]

Upon ratification of the CWC, all member states are required to adopt 
national laws that criminalize CWC-prohibited activities and establish 
a national authority to serve as the national focal point for liaison 
with the OPCW. All members are required to submit initial declarations 
to the OPCW no later than 30 days after entering into the convention 
and annual declarations detailing transfer activities of all declared 
chemicals no later than 90 days after the end of the year. Member 
states must also declare chemical weapons stockpiles and production 
facilities, relevant chemical industry facilities, and other related 
information such as chemical exports and imports. Member states that 
possess chemical weapons stockpiles and production facilities must 
destroy them by April 2007. Six member states--Albania, India, Libya, 
Russia, the United States, and A State Party[Footnote 6]--have declared 
their chemical weapons stockpiles and are considered possessor states. 
Eleven member states have declared chemical weapons production 
facilities.

The OPCW consists of three organs--the Conference of States Parties, 
the Executive Council, and the Technical Secretariat--and was 
established by the convention to implement its provisions. The 
Technical Secretariat manages the organization's daily operations, 
including the implementation of the convention's verification 
measures. The Technical Secretariat serves as the repository for all 
member states' declarations and relies upon individual member states 
to submit accurate, timely, and complete declarations. Based on these 
declarations, the Technical Secretariat inspects and/or monitors member 
states' military and commercial chemical facilities and activities to 
ensure their compliance with the CWC. Also, if a member state suspects 
another member state of conducting activities prohibited by the 
convention, it may request a challenge inspection of the suspected 
site(s). As of December 2003, no member state has requested the OPCW to 
conduct a challenge inspection.

Technical Secretariat inspectors take inventories of the declared 
stockpiles to verify the accuracy of the declarations and ensure that 
chemical weapons are not removed. Inspectors continuously 
monitor[Footnote 7] the destruction of chemical weapons at operating 
destruction facilities by observing the receipt of chemical weapons at 
sites and checking the type and quantity of chemical weapons destroyed. 
Inspectors also verify the destruction or conversion of declared 
chemical weapons production facilities by observing the destruction of 
applicable buildings and production equipment. So that dual-use 
chemicals are not diverted from their peaceful uses, the Technical 
Secretariat inspects declared commercial production facilities based on 
three schedules, or lists of chemicals, contained in the CWC.[Footnote 
8] Commercial facilities that produce discrete organic chemicals, above 
200 metric tons, are also subject to inspections. OPCW inspectors 
verify that the types of chemicals being produced are consistent with 
the member states' declarations.

Funding for OPCW inspections and other operations comes primarily from 
the 161 member states' required annual contributions, which are based 
on the United Nations' scale of assessments. The other major source of 
funding comes from reimbursements of inspections costs paid by chemical 
weapons possessor states. The OPCW is partially reimbursed for 
inspection costs incurred while conducting inspections at declared 
chemical weapons facilities in those countries. The organization, 
however, must fund inspections at commercial facilities and any 
challenge inspections it conducts. The organization's budget for 
calendar year 2004 is $82.6 million.

Member States Are Experiencing Delays in Complying with Key CWC 
Requirements:

Although the CWC has helped to reduce the risks from chemical weapons, 
member states are experiencing delays in destroying their chemical 
weapons and implementing key requirements of the treaty. For example, 
Russia and the United States are unlikely to destroy their declared 
chemical weapons by the extended deadline of 2012, and many member 
states have not adopted national laws that fully implement the CWC. In 
addition, some member states have yet to provide the OPCW with complete 
and timely declarations detailing their CWC-related activities.

Complete Destruction of Largest Possessor States' Chemical Weapons 
Stockpiles Will Extend beyond Deadline:

We estimate that the United States and Russia are unlikely to meet the 
2012 extended CWC deadline for destroying their chemical weapons. Three 
other possessor states--Albania, India, and A State Party--possess 
smaller stockpiles and are expected to destroy their stockpiles by the 
original April 2007 deadline (see table 1). In addition, Libya became 
the sixth possessor state in February 2004 when it became a member of 
the CWC and declared that it possessed chemical weapons. According to 
OPCW officials and CWC possessor states, the destruction of chemical 
weapons has proven more complex, costly, and time consuming than 
originally anticipated.

Table 1: CWC Possessor States' Declared Stockpiles and Amount 
Destroyed:

Possessor state: Russian Federation; 
Amount of stockpile declared: (metric tons): 40,000; 
Stockpile destroyed, September 2003: (percent): 1.1; 
Projected date for complete destruction: 2027[A].

Possessor state: United States; 
Amount of stockpile declared: (metric tons): 27,771; 
Stockpile destroyed, September 2003: (percent): 24; 
Projected date for complete destruction: 2014[A].

Possessor state: Albania; 
Amount of stockpile declared: (metric tons): [B]; 
Stockpile destroyed, September 2003: (percent): 0; 
Projected date for complete destruction: 2007.

Possessor state: India; 
Amount of stockpile declared: (metric tons): [B]; 
Stockpile destroyed, September 2003: (percent): 39; 
Projected date for complete destruction: 2007.

Possessor state: A State Party; 
Amount of stockpile declared: (metric tons): [B]; 
Stockpile destroyed, September 2003: (percent): 29; 
Projected date for complete destruction: 2007.

Possessor state: Libya; 
Amount of stockpile declared: (metric tons): 23; 
Stockpile destroyed, September 2003: (percent): 0; 
Projected date for complete destruction: unknown.

Source: GAO analysis of information provided by DOD and State, OPCW, 
and chemical weapons possessor states.

Note: The amount of stockpile declared applies only to the most 
dangerous chemical weapons, known as category 1.

[A] Projected data are GAO analysis based on declared stockpiles and 
destruction facilities currently in operation or under construction.

[B] The amounts of the declared stockpiles are considered confidential 
by the OPCW and For Official Use Only by the U.S. government.

[End of table]

Russia currently possesses the world's largest declared chemical 
weapons stockpile at 40,000 metric tons stored at seven sites, as shown 
in figure 1. The stockpile includes 32,500 metric tons of nerve agent, 
the most toxic of all known chemical agents, and 7,500 metric tons of 
blister agent.[Footnote 9] As we have previously reported, DOD has 
installed security upgrades at Shchuch'ye and Kizner, the two sites 
with portable nerve agent munitions. However, a large quantity of 
Russia's chemical weapons will remain vulnerable to theft or diversion 
until they are destroyed.[Footnote 10] As of September 2003, Russia had 
destroyed 1.1 percent of its total CWC-declared stockpile.

Figure 1: Location of Russian Chemical Weapons Stockpiles:

[See PDF for image]

[End of figure]

Russia did not meet the original treaty deadline to destroy 1 percent 
of its stockpile by April 2000. In accordance with treaty provisions, 
Russia requested and received an extension of its 1-percent and 20-
percent deadlines from the OPCW.[Footnote 11] In April 2003, Russia met 
the one percent destruction deadline. Based on information provided by 
DOD, we estimate that Russia may not destroy its declared chemical 
weapons stockpile until 2027. Our analysis is predicated on Russia's 
complete destruction of its approximately 7,500 metric tons of blister 
agent by the 2007 deadline and destroying the remaining 32,500 metric 
tons of nerve agent at the U.S. funded destruction facility at 
Shchuch'ye. In September 2003, Russia agreed to complete the 
elimination of all of its nerve agent at the Shchuch'ye destruction 
facility, which is scheduled to begin operations in 2008. According to 
DOD, the Shchuch'ye facility may not be operational until 2009. For 
Russia to meet an extended April 2012 deadline, Russia would have to 
destroy about 9,100 metric tons of nerve agent per year. Operating at 
maximum capacity, the facility is estimated to destroy about 1,700 
metric tons of nerve agent per year.[Footnote 12] At that rate, unless 
the capacity for destruction is increased or additional destruction 
facilities are built, the complete destruction of Russia's stockpile 
may not occur until 2027.[Footnote 13] (We discuss other options for 
destroying Russia's nerve agent stockpile later in this report.):

The United States possesses the second largest declared chemical 
weapons stockpile with 27,771 metric tons, which is stored at eight 
sites, as shown in figure 2. Currently, the United States is operating 
three destruction facilities; three additional facilities will be 
operational in the near future and two more will begin construction. As 
of December 2003, the United States destroyed 24 percent of its 
declared stockpile and met the 1-percent and 20-percent interim 
deadlines within the treaty time frames. However, the United States 
requested and received an extension of the 45-percent deadline from 
April 2004 to December 2007. The United States will not meet the 100-
percent April 2007 destruction deadline and may not meet the 2012 
deadline, if extended,[Footnote 14] based on the current schedule. 
According to DOD, one U.S. chemical weapons destruction facility is not 
scheduled to complete its destruction operation until 2014. Persistent 
delays have occurred due to plant safety issues, environmental 
requirements, and funding shortfalls. We have previously reported on 
the significant management challenges in the U.S. chemical 
demilitarization program, as well as concerns over cost growth and 
schedule delays. As noted in our prior work, the U.S. chemical weapons 
demilitarization program spent $11.4 billion by the end of fiscal year 
2003, which accounts for nearly half of the program's life-cycle cost 
estimate of $24 billion.[Footnote 15]

Figure 2: Location of U.S. Chemical Weapons Stockpiles:

[See PDF for image]

Note: As of November 2003, all chemical weapons at Johnston Atoll have 
been destroyed and the destruction facility has been dismantled.

[End of figure]

Three other possessor states--Albania, India, and A State Party--account 
for about 3 percent of the global declared chemical weapons stockpile 
and are anticipated to meet the CWC complete destruction time line by 
April 2007. With smaller stockpiles than those in Russia and the United 
States, these countries have had less difficulty meeting their 
deadlines. Albania declared its stockpile to the OPCW in 2003, and the 
United States is providing assistance to destroy its chemical weapons 
stockpile. Other nations, including Canada and Italy, may also provide 
assistance. State officials estimate that Albania will meet the 2007 
destruction deadline. According to Indian officials, India has the 
third largest stockpile after Russia and the United States; however, 
information on its chemical weapons destruction program is not publicly 
available. The fifth possessor state, A State Party, experienced 
interim delays due to technical difficulties. It requested and received 
an extension of its 45-percent chemical weapons destruction deadline in 
2003. According to government officials, it remains on track to meet 
the 2007 deadline. Libya, the sixth possessor state, has just declared 
its chemical weapons to the OPCW and has yet to develop a destruction 
plan for its stockpile.

Many Member States Have Yet to Adopt National Laws Implementing the 
CWC:

According to the OPCW, less than 40 percent of CWC member states have 
adopted national laws to criminalize CWC-prohibited activities. 
Although the treaty does not establish a time line for the adoption of 
such measures, according to the OPCW, member states are expected to 
implement these laws soon after ratifying the convention. OPCW 
officials stated that many member states lack sufficient legal 
expertise and financial resources to adopt the required laws. At the 
2003 CWC Review Conference, however, the United States launched an 
initiative to assist all CWC member states in adopting comprehensive 
national laws. The effort culminated in an OPCW action plan to help 
member states adopt necessary laws by 2005.

According to the OPCW, 126 member states have designated a national 
authority to collect and submit their declarations. However, OPCW and 
State officials estimate that a large number of member states' national 
authorities are not effective because they lack sufficient financial 
and human resources. National authorities are important in implementing 
the treaty because they facilitate member states' ability to submit 
accurate and timely declarations to the OPCW and host OPCW inspections. 
To encourage member states to improve the effectiveness of their 
national authorities, the OPCW hosts workshops to identify common 
problems and assist member states in addressing them accordingly.

Some Member States Have Submitted Incomplete or Late Declarations:

According to a 2001 Department of State report, four CWC member 
states--China, Iran, Sudan, and Russia--had not acknowledged the full 
extent of their chemical weapons program.[Footnote 16] The CWC requires 
member states to fully and accurately declare their chemical weapons 
capabilities. However, State believes that China maintains an active 
chemical weapons research and development program, a possible 
undeclared chemical weapons stockpile, and weapons-related facilities 
that were not declared to the OPCW.[Footnote 17] Iran has not submitted 
a complete and accurate declaration and is seeking to retain and 
modernize key elements of its chemical weapons program, according to 
the report. Sudan established a research and development program with a 
goal to produce chemical weapons indigenously. The report also assesses 
that Russia has not divulged the full extent of its chemical agent and 
weapons inventory. State views Russia's declaration of its chemical 
weapons production, development facilities, and chemical agent and 
weapons stockpiles as incomplete. In addition, State reported that 
Russia may have knowledge of a new generation of agents that could 
circumvent the CWC and possibly defeat western detection and protection 
measures. The significance of this issue was addressed at the 2003 CWC 
Review Conference. The Director-General of the OPCW urged member states 
to provide accurate and complete declarations to increase transparency 
and confidence in the treaty.

Furthermore, member states have been late in submitting their required 
initial and annual declarations to the OPCW. As of December 2002, 
nearly 97 percent of all member states submitted their initial 
declarations, but a large percentage of member states did not submit 
their initial declarations within the required 30-day time frame. The 
OPCW also engaged in bilateral consultations to assist member states in 
submitting their initial declarations. As of October 2003, nearly one-
third of member states had failed to submit their annual declarations 
in a timely manner. According to the OPCW, delays in submitting the 
required declarations make it difficult for the organization to plan 
its annual inspections and track chemical transfers.

OPCW Conducts Inspections, but Significant Challenges Remain:

The OPCW has established a credible inspections regime. Between 1997 
and 2003, the OPCW conducted nearly 1,600 inspections in 58 member 
states. However, the organization faces significant challenges as it 
prepares to balance an increased number of inspections at both military 
and commercial facilities with its limited resources. The CWC does not 
specify the number of annual inspections that the OPCW is required to 
conduct. Since April 1997, more than half of OPCW inspections have 
taken place at military facilities even though some commercial 
facilities may pose a greater proliferation threat. To meet the 
increased demands on its limited resources, the OPCW is working with 
member states to further improve the efficiency of its inspection 
activities.

OPCW Implementing CWC Inspection Regime:

From April 1997 through December 2003, the OPCW's Technical Secretariat 
has conducted nearly 1,600 inspections at both military and commercial 
chemical facilities in 58 member states. (See app. II for a chart 
depicting the locations of inspections conducted.[Footnote 18]) 
According to OPCW officials and member states' representatives we 
interviewed, inspections are proceeding as planned under the CWC. 
Within the United States, officials from the State, DOD, and Commerce, 
as well as chemical industry representatives, stated that the United 
States and OPCW inspectors work cooperatively to implement the 
inspection regime. When questions or concerns arise, the Technical 
Secretariat and the affected member state(s) work to resolve them. For 
example, the United States and the OPCW have resolved issues such as 
clarifying which portions of declared commercial facilities are subject 
to inspection. According to DOD, OPCW inspectors have good access to 
declared sites and facilities.

As of December 2003, the Technical Secretariat conducted 965 
inspections at 167 of 190 declared military sites. The military sites 
that have not been inspected are either chemical weapons production 
facilities destroyed prior to CWC entry into force or sites having old 
or abandoned chemical weapons. Although the CWC requires that OPCW 
maintain a continuous presence at member states' sites when chemical 
weapons are being destroyed, it does not specify how many inspections 
are to be conducted annually. The Technical Secretariat determines how 
many inspections to conduct annually based on the number of military 
facilities declared by member states, member states' annual destruction 
plans, annual declarations, and the annual OPCW budget documents. The 
greatest number of inspections has taken place at chemical weapons 
destruction facilities--primarily in the United States, Russia, and 
India. About one-third of all inspections conducted by the Technical 
Secretariat have taken place in the United States, mostly at chemical 
weapons destruction facilities. Table 2 shows the number of inspections 
conducted at different types of facilities at military sites from April 
1997 through December 2003.

Table 2: OPCW Inspection Activity at Military Facilities:

CWC military facility inspection requirements: CW production 
facilities; 
Declared sites or facilities, as of 2003: 61; 
Inspections, as of December 2003: 298; 
Sites inspected, 1997-2003: 63.

CWC military facility inspection requirements: CW destruction 
facilities; 
Declared sites or facilities, as of 2003: 39; 
Inspections, as of December 2003: 376; 
Sites inspected, 1997-2003: 26.

CWC military facility inspection requirements: CW storage facilities; 
Declared sites or facilities, as of 2003: 33; 
Inspections, as of December 2003: 219; 
Sites inspected, 1997-2003: 34.

CWC military facility inspection requirements: Abandoned CW[A]; 
Declared sites or facilities, as of 2003: 15; 
Inspections, as of December 2003: 22; 
Sites inspected, 1997-2003: 17.

CWC military facility inspection requirements: Old CW[B]; 
Declared sites or facilities, as of 2003: 42; 
Inspections, as of December 2003: 50; 
Sites inspected, 1997-2003: 27.

CWC military facility inspection requirements: Total; 
Declared sites or facilities, as of 2003: 190; 
Inspections, as of December 2003: 965; 
Sites inspected, 1997-2003: 167.

Source: OPCW data.

[A] "Abandoned chemical weapons" refers to those left by one country 
(after January 1, 1925) on the territory of another country without the 
consent of the latter.

[B] "Old chemical weapons" refers to those produced before 1925 or 
those produced between 1925 and 1946 that have deteriorated to such an 
extent that they cannot be used as weapons.

[End of table]

Between April 1997 and December 2003, Technical Secretariat officials 
conducted 634 inspections at 514 sites among the 5,460 commercial 
facilities declared by member states (see table 3). Because the CWC 
does not specify the specific number of inspections to be conducted 
each year, the Technical Secretariat selects the facilities it will 
inspect based on those requiring initial inspections and the potential 
proliferation risk of facilities. The annual budget document specifies 
the number of inspections to be conducted. Since April 1997, most OPCW 
commercial inspections have taken place at facilities that produce 
chemicals listed on the CWC's three schedules. Of the declared 4,492 
facilities that produce discrete organic chemicals (DOC), the 
organization has inspected 163. DOC facilities produce a wide range of 
common commercial chemicals and may also be capable of producing 
chemical weapons. According to U.S. government and OPCW officials, such 
dual-use DOC facilities may pose a proliferation threat because they 
may conceal CWC-prohibited activities. Most significantly, these DOC 
facilities may be modified to produce scheduled and other chemicals 
that are not specifically listed on current CWC schedules but are still 
banned by the CWC, if intended for prohibited purposes. In commenting 
on a draft of our report, the OPCW provided clarification of this 
proliferation issue. While the majority of commercial facilities 
produce discrete organic chemicals, the OPCW estimates that less than 
20 percent of these DOC sites may pose highly relevant proliferation 
risks.

Table 3: OPCW Inspection Activity at Commercial Facilities:

CWC required inspections at commercial facilities: Schedule 1 
chemicals[A]; Declared sites or facilities as of December 2003: 27; 
Inspections as of December 2003: 123; Number of sites inspected, April 
1997-December 2003: 34.

CWC required inspections at commercial facilities: Schedule 2 
chemicals[B]; Declared sites or facilities as of December 2003: 432; 
Inspections as of December 2003: 233; Number of sites inspected, April 
1997-December 2003: 202.

CWC required inspections at commercial facilities: Schedule 3 
chemicals[C]; Declared sites or facilities as of December 2003: 509; 
Inspections as of December 2003: 115; Number of sites inspected, April 
1997-December 2003: 115.

CWC required inspections at commercial facilities: DOC[D]; Declared 
sites or facilities as of December 2003: 4,492; Inspections as of 
December 2003: 163; Number of sites inspected, April 1997-December 
2003: 163.

CWC required inspections at commercial facilities: Total; Declared 
sites or facilities as of December 2003: 5,460; Inspections as of 
December 2003: 634; Number of sites inspected, April 1997-December 
2003: 514.

Source: OPCW data.

[A] Schedule 1 chemicals are either chemical weapons or are closely 
related to chemical weapons.

[B] Schedule 2 chemicals can be used to make chemical weapons but can 
also be used for peaceful industrial purposes. These chemicals are not 
produced in large quantities.

[C] Schedule 3 chemicals are toxic chemicals that can be used to make 
chemical weapons but are also produced on a large scale to make 
products such as oil, cement, cloth, and paper.

[D] DOCs cover a wide range of chemicals that are not listed in the 
Schedules but could be used to produce chemical weapons.

[End of table]

OPCW Faces Significant Challenges in Conducting More Inspections:

Although the OPCW has made progress in conducting inspections as 
mandated by the convention, it faces challenges in meeting an increase 
in its inspection workload. As possessor states' destruction activities 
increase over the next few years, the OPCW will have to maintain a 
continuous inspection presence at more facilities. Concurrently, the 
OPCW wants to increase the number of inspections it conducts at 
commercial DOC facilities to address proliferation concerns. However, 
the OPCW has experienced financial difficulties over the past few 
years. To better meet the increased demand on its resources, the OPCW 
is working with member states to find more efficient and cost-effective 
means of conducting its inspection activities.

The OPCW projects that the number of chemical weapons destruction 
facilities that will require monitoring will increase from seven to 
nine by 2007. Under the CWC, OPCW inspectors must maintain a continuous 
onsite presence at chemical weapons destruction facilities to monitor 
and verify the destruction of chemical weapons stockpiles. According to 
OPCW officials, the organization is reimbursed for about two-thirds of 
the expenses it incurs during such inspections.[Footnote 19] OPCW 
inspection costs will increase, if the organization maintains a 
continuous on-site presence at the additional chemical weapons 
destruction sites that will begin operations in the near future. 
However, the Technical Secretariat and member states are currently 
discussing possible monitoring alternatives that may reduce costs 
without compromising the credibility of the inspections.

According to the OPCW, the organization is working to increase the 
number of inspections it conducts at commercial DOC facilities to 
address the proliferation risks they pose. In 2002, for example, 32 of 
85 commercial inspections conducted were at DOC facilities. In 2004, 
the OPCW plans to increase the number of DOC facility inspections to 70 
out of a total of 150 inspections planned at commercial facilities. 
Furthermore, OPCW and member states[Footnote 20] are working to refine 
the current criteria used to select DOC facilities for inspections to 
ensure that the selection process takes into account all factors 
mandated by the CWC.

Due to budget deficits in 2001 and 2002, the Technical Secretariat had 
to reduce the number of inspections it planned to conduct at commercial 
chemical facilities. Such deficits were mostly the result of member 
states' late payment of their annual assessments and reimbursements for 
military inspections.[Footnote 21] When funding was limited, the OPCW 
could not reduce the number of inspections at destruction facilities 
because inspectors are required to continuously monitor these sites 
when operational. Instead, it reduced the number of commercial 
inspections it conducted. In 2001, the OPCW conducted 57 percent (75 of 
132) of its planned inspections at commercial sites. For 2002, it 
conducted 64 percent (85 of 132) of its planned inspections. Although 
previous financial difficulties caused a reduction in the number of 
inspections, the Technical Secretariat completed its planned number of 
132 commercial inspections for 2003. Member states approved a more than 
6-percent increase in the OPCW's budget for 2004. According to OPCW 
officials, such budget increases are unlikely to continue in future 
years, and the problem of late receipt of member states' annual 
assessments and reimbursements will likely reoccur.

To meet the increased demand for inspections, the Technical Secretariat 
is working to improve the efficiency of its inspection activities. The 
organization has reduced the size of inspection teams at military 
sites, thereby lowering daily allowance and travel costs. For example, 
the team size for most inspections conducted at chemical weapons 
storage facilities was reduced from eight in 2002 to six in 2003. The 
Technical Secretariat has also devised new contracts for inspectors of 
chemical weapons destruction facilities that permit hiring part-time 
inspectors for 1 year. When implemented, such contracts could reduce 
staff costs and provide for more flexibility in assigning inspection 
teams. The OPCW and member states are also exploring greater use of 
monitoring and recording instruments at chemical weapons destruction 
facilities to reduce the number of inspectors needed on-site. Cost-
saving measures have also been proposed and implemented to increase the 
efficiency of inspections conducted at commercial facilities, including 
reducing the size of inspection teams and the time they spend on-site.

Russia Faces Significant Challenges in Destroying Its Chemical Weapons:

Russia is experiencing delays in destroying its chemical weapons. As of 
September 2003, Russia had destroyed 1.1 percent of its 40,000 metric 
tons of chemical weapons at its only operational destruction facility. 
Russian destruction efforts have also relied almost entirely on 
international assistance. As of December 2003, international donors 
have shipped about $585 million and committed more than $1.7 billion to 
Russian destruction efforts. According to State, from 2001 through 2003 
Russia budgeted about $420 million for chemical weapons 
demilitarization-related activities. Russia spent about $95 million. 
However, based on its current destruction efforts and the international 
assistance committed, Russia will not meet the extended CWC destruction 
deadline of 2012. Furthermore, Russia has yet to develop a 
comprehensive destruction plan that includes the types of projects and 
funding needed to completely destroy its declared stockpile, which may 
further delay destruction efforts.

One-Percent Milestone Achieved at Gorny; Two Additional Facilities 
under Construction:

Russia plans to destroy its chemical weapons stockpiles at Gorny, 
Kambarka, and Shchuch'ye, primarily using assistance provided by 
Germany and the United States. Russia has yet to develop a credible 
plan to destroy the remaining 50-percent of its chemical weapons 
stockpile stored at Maradykovsky, Leonidovka, and Pochep. Table 4 
provides the time line for Russia's destruction efforts at facilities 
in operation or under construction.

Table 4: Time Line for Destroying Russia's Chemical Weapons (as of 
December 2003):

Location of destruction facilities: Gorny; Estimated date for 
completing destruction facility: August 2002; Estimated start of 
destruction: December 2002; Estimated end of destruction: December 
2005; Type of agent to be destroyed: Blister; Amount of chemical 
weapons to be destroyed (metric tons): 1,120.

Location of destruction facilities: Kambarka; Estimated date for 
completing destruction facility: December 2005; Estimated start of 
destruction: December 2005; Estimated end of destruction: December 
2009; Type of agent to be destroyed: Blister; Amount of chemical 
weapons to be destroyed (metric tons): 6,360.

Location of destruction facilities: Shchuch'ye; Estimated date for 
completing destruction facility: September 2008; Estimated start of 
destruction: September 2008; Estimated end of destruction: After 2012; 
Type of agent to be destroyed: Nerve[A]; Amount of chemical weapons to 
be destroyed (metric tons): 11,080.

Source: GAO analysis of DOD, State, and German government data.

[End of table]

[A] Russia plans to destroy all nerve agent located at Shchuch'ye and 
Kizner at the Shchuch'ye facility.

Gorny and Kambarka to Destroy All Blister Agent:

Russia is relying on German assistance to destroy its stockpile of 
blister agent at the Gorny and Kambarka facilities. According to DOD, 
Germany focused its assistance in this area because it had experience 
destroying World War II blister agents. As of September 2003, Russia 
destroyed 455 metric tons of blister agent (1.1 percent of the Russian 
stockpile) stored at the Gorny facility. Russia will destroy the 
remaining stockpile at Gorny by December 2005, according to a German 
official. Russia constructed the building for the destruction facility, 
while Germany spent about $58 million from 1993 to 2003 to equip the 
facility.[Footnote 22] Germany has committed $120 million for the 
Kambarka destruction facility, currently under construction, and up to 
$300 million in additional funds, according to a German government 
official. The facility at Kambarka will destroy the entire stockpile of 
blister agent located there by December 2009. The construction schedule 
of this facility may be delayed, according to a German government 
official overseeing the assistance.

Shchuch'ye Will Destroy 30 Percent of Russia's Chemical Weapons 
Stockpile:

Once operational, the Shchuch'ye chemical weapons destruction facility 
will begin to destroy nerve agent from two Russian storage sites that 
house nearly 30 percent of the total Russian stockpile.[Footnote 23] 
The storage facilities at Kizner and Shchuch'ye each house about 5,500 
metric tons of nerve agent stored in projectiles and rockets. According 
to DOD and State officials, the United States has focused its 
assistance to Russia at Shchuch'ye because these chemical weapons are 
portable and thus vulnerable to theft and diversion.

The United States has agreed to pay for the destruction facility at 
Shchuch'ye.[Footnote 24] The facility is scheduled to destroy the nerve 
agent stockpiles located at both the Shchuch'ye and Kizner storage 
sites. DOD's Cooperative Threat Reduction program has obligated more 
than $460 million on planning, design, and construction of the 
facility. In October 2003, DOD updated the costs and schedule for 
completing the Shchuch'ye facility and projected that the cost would 
increase from about $888 million to more than $1 billion. DOD also 
noted that the operation of the facility may be delayed from September 
2008 to July 2009. DOD attributes the increased cost to changed site 
conditions, new requirements, risk factors, and delays due to lack of 
U.S. funding for 2 years caused by Russia's inability to meet U.S. 
congressional conditions. Once operational, the facility is estimated 
to destroy 1,700 metric tons of chemical weapons per year. With a July 
2009 operational date, we estimate that the destruction of chemical 
weapons stored at Shchuch'ye and Kizner will not be completed until at 
least 2016. (For more detailed information on international assistance 
for chemical weapons destruction at Shchuch'ye, see app. III.):

Russian Plans for Destroying Remainder of Its Nerve Agent Stockpile Are 
Unknown:

In November 2003, the Director of the Russian Munitions Agency informed 
us that Russia has not yet decided how it will destroy the remaining 
nerve agent stored at Maradykovsky, Leonidovka, and Pochep. This nerve 
agent represents over 50 percent of the total Russian chemical weapons 
stockpile. In September 2003, the United States and Russia amended a 
March 2003 agreement under which the Russian Munitions Agency agreed to 
complete the elimination of all nerve agent at the Shchuch'ye 
destruction facility, unless otherwise agreed in writing. According to 
DOD and Russian government officials, there is uncertainty whether 
Russia will comply. Russian officials have concerns about the costs and 
risks of transporting the weapons from these sites to Shchuch'ye, most 
of which are located more than 500 miles away. As a result, Russian 
officials have indicated that Russia may construct three chemical 
weapons neutralization facilities for the nerve agent stored at 
Maradykovsky, Leonidovka, and Pochep. Under this option, Russia would 
neutralize the chemical weapons at the three sites so the agent would 
be safe for transport, and then complete the destruction process at 
Shchuch'ye. This would require the construction of three neutralization 
facilities plus new destruction capacity at Shchuch'ye, because the 
neutralized agent would likely be destroyed using a different process 
than the unneutralized agent from the Shchuch'ye and Kizner sites. In 
November 2003, however, Italy agreed to commit funding for the 
construction of a destruction facility at Pochep.[Footnote 25]

International Donors Assist Russian Chemical Weapons Destruction:

While Germany and the United States have obligated about $515 million 
and committed an additional $1 billion for Gorny, Kambarka, and 
Shchuch'ye, other donors have spent about $70 million at these 
sites.[Footnote 26] Furthermore, in June 2002, the Group of Eight 
launched the Global Partnership initiative, which was designed to 
prevent the proliferation of weapons of mass destruction to terrorists 
and their supporters. Among other projects in Russia, the initiative is 
currently assisting with chemical weapons destruction.[Footnote 27] As 
of December 2003, international donors, including the United States, 
Germany, Canada, Italy, and the United Kingdom,[Footnote 28] have 
committed more than $1.7 billion for Russian chemical weapons 
destruction.

Lack of Plan May Hinder Russia's Progress in Destroying Chemical 
Weapons:

Congress has conditioned U.S. funding for the Shchuch'ye facility on a 
Secretary of Defense certification that Russia has developed a 
practical chemical weapons destruction plan.[Footnote 29] In September 
2003, Russia signed an agreement with the United States to provide a 
chemical weapons destruction plan by March 2004. The plan would include 
the types of projects and funding needed to completely destroy its 
declared chemical weapons. Officials from State and DOD were not 
optimistic that the Russians will deliver a plan within the required 
time.

According to State and DOD officials, Russia's planning efforts to date 
have been based on inaccurate assumptions and have lacked detailed 
information on how the destruction of chemical weapons will occur at 
each site. For example, Russian officials have stated that they expect 
the Shchuch'ye chemical weapons destruction facility to be operational 
in 2006, despite DOD estimates that it may take until July 2009. DOD 
officials stated that additional time is needed to procure and install 
the equipment needed for the destruction facility.

In addition, Russia's plans need greater specificity. Russia has 
provided some information to the United States regarding the following:

* where the chemical weapons will be destroyed,

* when they will be destroyed and the amounts at each location,

* costs for each facility, and:

* how each facility will contribute to the destruction efforts.

According to officials from State and DOD, the information provided 
does not appear credible and lacks key elements. Russia has not 
provided the method, schedule, and cost for transporting its chemical 
weapons to the destruction facility at Shchuch'ye. In addition, Russia 
has no credible plan to destroy the nerve agent at Maradykovsky, 
Leonidovka, and Pochep. Russian officials indicated that the nerve 
agent may be neutralized at each site but did not provide any details 
regarding what would be needed to undertake such an effort, including a 
plan to dispose of the toxic chemicals resulting from the 
neutralization process.

Russia's chemical weapons destruction efforts at Pochep, Leonidovka, 
and Maradovski may be further complicated by Russia's definition of 
destruction, which differs from that of the United States and the OPCW. 
The CWC defines destruction of chemical weapons as an essentially 
irreversible process.[Footnote 30] The United States and the OPCW 
maintain that chemical weapons are not destroyed until the materials 
resulting from the destruction process are essentially irreversible 
(i.e., can no longer be reversed back to chemical weapons) and the 
remaining materials can be inspected by the OPCW. The United States 
neutralizes some of its chemical weapons in a two-phase process that 
first neutralizes the agent and then transports the resulting hazardous 
waste to a commercial chemical facility for final disposition. The OPCW 
inspects both phases of the neutralization process. Russian officials 
maintain that chemical weapons should be considered destroyed after the 
initial neutralization phase and not require further processing or OPCW 
inspections. Russian officials argue that, although toxic chemicals 
resulting from the neutralization process could be reverted to chemical 
weapons, the cost to do so would be prohibitive. Russia raised this 
issue at the May 2003 CWC Review Conference, but OPCW member states 
maintained that complete destruction should be an essentially 
irreversible process as specified in the CWC. Despite this opposition, 
Russian government officials at the Russian Munitions Agency and the 
Ministry of Foreign Affairs stated in November 2003 that they consider 
initial neutralization equivalent to destruction.

Observations:

The CWC has played an important role in reducing the risks from 
chemical weapons. Member states have destroyed more than 7,700 metric 
tons of chemical weapons and the OPCW has established a credible 
inspection regime that has inspected many military and commercial 
chemical facilities in 58 countries. Nearly 7 years after entry into 
force, the CWC's nonproliferation goals have proven more difficult to 
achieve than originally anticipated. CWC member states and the OPCW 
face difficult choices in addressing the delays in Russia's destruction 
program, the limited number of inspections at dual-use commercial 
sites, and the slow progress in passing laws criminalizing CWC-
prohibited activities. Decision-makers will have to make some 
combination of policy changes in these areas if the CWC is to continue 
to credibly address nonproliferation concerns worldwide.

First, the destruction of chemical weapons will likely take longer and 
cost more than originally anticipated. Even with significant 
international assistance, Russia may not destroy its declared chemical 
weapons until 15 years beyond the extended CWC deadline. Russia's large 
stockpile will thus remain vulnerable to theft and diversion. Several 
options exist, however, for the United States and other donors to 
reduce the proliferation risks from Russia's chemical weapons 
stockpile. Such options may include (1) increasing funding for security 
improvements at Russia's chemical weapons storage sites, (2) deferring 
financing for Russia's chemical weapons destruction effort until the 
Russian government develops a credible destruction plan, or (3) 
financing the construction of additional destruction facilities.

Second, technical advancements in the chemical industry and the 
increasing number of dual-use commercial facilities worldwide challenge 
the CWC and the OPCW's ability to deter and detect proliferation. 
Member states will need to determine the best policies for addressing 
potential proliferation at dual-use commercial facilities. CWC member 
states could decide that the OPCW should conduct more commercial 
inspections, which would require member states to provide more funding 
and subject their national chemical industries to additional 
inspections. Alternatively, member states may determine that the 
current level of commercial inspections is sufficient to detect and 
deter activities prohibited by the CWC.

Third, many member states have not yet adopted national laws to fully 
implement the convention, or have not submitted complete and accurate 
declarations of their CWC-related activities. These problems undermine 
confidence in overall treaty compliance. It is important for the OPCW 
and member states to reinforce member states' obligations to adopt 
national laws, enforce them accordingly, and submit accurate and timely 
declarations. Challenge inspections may also be a vehicle to ensure 
member states' compliance with the CWC.

Agency Comments and Our Evaluation:

We obtained written comments on a draft of this report from State, DOD, 
Commerce, and the OPCW, which are reprinted in appendixes IV, V, VI, 
and VII respectively. We also received technical comments from the 
departments as well as the OPCW, which we have incorporated where 
appropriate. In commenting on our draft report, State asserted that our 
report was misleading, incomplete, and not balanced. State did not 
provide specific examples but instead claimed that the report omitted 
positive CWC accomplishments such as growth in the number of member 
states, correction of OPCW management inefficiencies, and OPCW 
execution of the CWC inspection regime. In response, we agree that the 
CWC has played an important role in reducing the threat posed by 
chemical weapons and the report acknowledges this accomplishment. With 
regard to State's comment about the growth in the number of CWC member 
states, the report focuses on CWC implementation among already existing 
member states. For clarification however, we have provided additional 
information on the increase in CWC membership since entry into force. 
Secondly, State commented that the report did not assess OPCW 
management corrections. In this report we reviewed OPCW's efforts to 
conduct inspections, not the management of the organization. We had 
previously reported on this topic in October 2002.[Footnote 31] 
Thirdly, the report clearly articulates that the OPCW has established a 
credible inspection regime and has conducted nearly 1,600 inspections 
in 58 member states. While this report discusses several important 
delays in CWC implementation, it still acknowledges that the CWC and 
OPCW have made important contributions to addressing the threat posed 
by chemical weapons.

DOD commented that our draft report had little analysis of the relative 
degree of proliferation risk from those member states lacking 
implementing legislation. DOD, however, does not offer what criteria 
one would use to make a determination about which member states are 
more important to CWC implementation. As stated in the report, the CWC 
requires all member states to adopt national implementing legislation. 
In addition, DOD believes that the report is not conducive to providing 
a balanced perspective because it does not acknowledge successes in 
implementing the CWC. For example, DOD cites that progress has been 
made in eliminating former chemical weapons production facilities and 
destroying category 2 and 3 chemical weapons related munitions. Such 
successes, however, remain secondary to the CWC's primary goal of 
destroying actual chemical weapons. As stated in this report, the CWC 
is the only multilateral treaty that seeks to eliminate an entire 
category of weapons of mass destruction under an established time frame 
and verify their destruction through inspections. DOD also asserts that 
the report does not recognize the significant changes occurring within 
the OPCW. As mentioned previously, this report does not assess OPCW 
functions or performance because we conducted such a review of the OPCW 
in October 2002. This report does, however, credit the OPCW with 
finding more efficient and cost-effective means of conducting its 
inspection activities as it faces the challenge of meeting an increased 
inspection workload. We have included additional information in this 
report to further clarify the achievements of the CWC and the OPCW.

Both DOD and State commented that our analysis estimating that Russia 
may not destroy its chemical weapons stockpile until 2027 was 
misleading. We have clarified our presentation of this analysis to 
include a discussion of other options being considered for destroying 
Russia's stockpile. As of March 2004, only one facility capable of 
destroying nerve agent is being constructed in Russia. Although plans 
to build additional facilities are being discussed, we note that 
construction of the U.S-funded facility at Shchuch'ye began 11 years 
after the U.S. and Russia first agreed to build it.

Commerce commended the report for focusing attention on the important 
issue of member states' achieving compliance with the CWC. The 
department noted that the U.S. government has taken a leading role at 
the OPCW in promoting an action plan to ensure all member states' 
adoption of national law implementing the CWC and is providing 
assistance to member states to achieve this goal.

The OPCW commended the draft report for reflecting what has been 
achieved through CWC implementation and recognizing areas where 
challenges still exist. It noted, however, that some statements as 
presented in the report do not reflect the views of the Technical 
Secretariat.

As arranged with your office, unless you publicly announce the contents 
of this report earlier, we plan no further distribution until 30 days 
after the date of this letter. At that time we will send copies of this 
report to the Secretaries of State, DOD, and Commerce; the Director-
General of the OPCW; and other interested congressional committees. We 
will also make copies available to others upon request. In addition, 
this report will be available free of charge on the GAO Web site at 
[Hyperlink, http://www.gao.gov].

Please contact me at (202) 512-8979 if you or your staff have any 
questions concerning this report. Another GAO contact and staff 
acknowledgments are listed in appendix VIII.

Sincerely yours,

Signed by: 

Joseph A. Christoff, Director 
International Affairs and Trade:

[End of section]

Appendixes:

Appendix I: Scope and Methodology:

To determine what efforts member states have made in meeting key 
Chemical Weapons Convention (CWC) requirements, we compared these 
requirements with documents obtained from the Organization for the 
Prohibition of Chemical Weapons (OPCW) and the Department of State 
(State), including annual reports that assess member states' compliance 
with the treaty, surveys assessing the status of member states' 
compliance with key requirements, and member states' official 
statements to the 2003 CWC Review Conference. We also obtained 
information from OPCW officials including the Director-General, the 
Deputy Director-General, the Administration Division, the Verification 
and Inspectorate Division, and the Office of Internal Oversight, as 
well as member states' representatives to the OPCW in The 
Hague.[Footnote 32] To assess the reliability of the OPCW data 
regarding whether the member states are meeting their CWC requirements, 
which include the destruction of chemical weapons, we reviewed numerous 
OPCW and U.S. government documents, interviewed OPCW and U.S. 
officials, and examined OPCW's procedures for ensuring data 
reliability. We determined that the OPCW data was sufficiently reliable 
for the purposes of this engagement. In addition, we met with officials 
from State's Bureau of Arms Control, the Bureau of Nonproliferation, 
the Bureau of Verification and Compliance, and the Bureau of 
Intelligence and Research in Washington, D.C., and with representatives 
of the intelligence community. We also met with officials at the U.S. 
Mission to the OPCW at The Hague. To obtain information on how the CWC 
is implemented in the United States we attended the June 2003 Defense 
Threat Reduction Agency's CWC Orientation Course held in Fairfax, 
Virginia.

To assess the OPCW's efforts in conducting inspections to ensure 
compliance with the convention, we analyzed the CWC and various OPCW 
documents including Verification and Implementation Reports, annual 
budgets, and other reports. In The Hague, we met with Director-General, 
the Deputy Director-General, of the OPCW, and with officials from the 
Administration Division and the Verification and Inspectorate Division. 
We also visited the inspection laboratory and equipment store at 
Rijswijk, The Netherlands. To assess the reliability of the OPCW data 
regarding the number of inspections being conducted in the CWC member 
states, we reviewed numerous OPCW and U.S. government documents, 
interviewed OPCW and US officials, and examined OPCW's procedures for 
ensuring data reliability. We determined that the OPCW data was 
sufficiently reliable for the purposes of this engagement. To assess 
member states' experiences with OPCW inspections, we spoke with 
numerous member states' representatives to the OPCW. We also met with 
officials at the U.S. Mission to the OPCW at The Hague. In addition, we 
met with officials from State's Bureau of Arms Control, the Bureau of 
Nonproliferation, and the Bureau of Verification and Compliance. To 
obtain an understanding of how OPCW inspections are conducted at 
military chemical weapons-related facilities in the United States, we 
met with Department of Defense (DOD) officials from the Defense Threat 
Reduction Agency. We also toured the U.S. chemical weapons destruction 
facility in Aberdeen, Maryland. To obtain an understanding of how OPCW 
inspections are conducted at commercial chemical facilities in the 
United States, we met with Department of Commerce officials from the 
Bureau of Industry and Security, Office of Nonproliferation Controls 
and Treaty Compliance, as well as representatives from the American 
Chemistry Council.

In reviewing Russia's efforts to destroy its chemical weapons 
stockpile, we visited the Russian Federation and obtained information 
from Russian government officials at the Chamber of Accounts, the 
Russian Munitions Agency, and the Ministry of Foreign Affairs. We also 
met with representatives from the Russian Duma who have funding 
authority over Russian chemical weapons destruction. In addition, we 
traveled to Shchuch'ye to observe the U.S.-funded chemical weapons 
destruction facility and surrounding infrastructure projects. While in 
Shchuch'ye, we spoke with local government officials and the 
Cooperative Threat Reduction program funded contractor responsible for 
building the Shchuch'ye facility. We obtained information from 
officials in the Bureau of Nonproliferation and the Bureau of Arms 
Control in the Department of State. At DOD, we met with officials and 
acquired documents from the Office of the Secretary of Defense for 
Cooperative Threat Reduction Policy and the Defense Threat Reduction 
Agency, which set policy and manage the implementation of CTR 
assistance to the Shchuch'ye facility. We also obtained information on 
international donors commitments for Russian chemical weapons 
destruction efforts from DOD and government representatives from 
Canada, Germany, and the United Kingdom. We obtained data from a 
variety of sources on the funding and assistance provided for Russian 
chemical weapon destruction efforts. To assess the reliability of these 
data, we interviewed officials from the United States, Canada, France, 
Germany, Great Britain, Italy, Russia, and the OPCW. We also asked 
these officials to corroborate other nations' data wherever possible. 
In addition, we cross-checked the data on funding to Russia that we 
were given by our different sources. We determined that data on funding 
and assistance provided for Russian chemical weapon destruction were 
sufficiently reliable for the purposes of this engagement.

The information on foreign law in this report does not reflect our 
independent legal analysis, but is based on interviews and secondary 
sources. We performed our work from April 2003 through March 2004 in 
accordance with generally accepted government auditing standards.

[End of section]

Appendix II: Location, Number, and Type of Inspections Conducted by the 
OPCW (April 1997 - December 2002):

Member state: A State Party[A]; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: None.

Member state: Algeria; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 3.

Member state: Argentina; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 4.

Member state: Australia; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 3; 
Schedule 2: 1; 
Schedule 3: 4; 
DOC: 1.

Member state: Austria; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: 1; 
DOC: 1.

Member state: Belarus; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: 1; 
DOC: 2.

Member state: Belgium; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: 2; 
Schedule 1: 3; 
Schedule 2: 1; 
Schedule 3: 3; 
DOC: 2.

Member state: Bosnia and Herzegovina; 
CWPF: 2; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: None.

Member state: Brazil; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: 2; 
Schedule 3: 3; 
DOC: 1.

Member state: Bulgaria; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: 1; 
Schedule 3: 1; 
DOC: 2.

Member state: Canada; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: 2; 
Schedule 1: 5; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 5.

Member state: Chile; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: 1; 
DOC: 2.

Member state: China; 
CWPF: 2; 
CWDF: None; 
CWSF: None; 
ACW: 16; 
OCW: None; 
Schedule 1: 10; 
Schedule 2: 21; 
Schedule 3: 9; 
DOC: 1.

Member state: Costa Rica; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 1.

Member state: Croatia; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 4.

Member state: Czech Republic; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: 2; 
DOC: 5.

Member state: Denmark; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: 1; 
Schedule 3: None; 
DOC: None.

Member state: Estonia; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 2.

Member state: Federal Republic of Yugoslavia; 
CWPF: 2; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 2; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 1.

Member state: Finland; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 7; 
Schedule 2: 2; 
Schedule 3: None; 
DOC: 3.

Member state: France; 
CWPF: 10; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: 6; 
Schedule 1: 5; 
Schedule 2: 18; 
Schedule 3: 7; 
DOC: None.

Member state: Germany; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: 15; 
Schedule 1: None; 
Schedule 2: 29; 
Schedule 3: 7; 
DOC: None.

Member state: Hungary; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: 4; 
DOC: 1.

Member state: India; 
CWPF: 21; 
CWDF: 38; 
CWSF: 13; 
ACW: None; 
OCW: None; 
Schedule 1: 4; 
Schedule 2: 2; 
Schedule 3: 7; 
DOC: None.

Member state: Iran; 
CWPF: 2; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 1; 
Schedule 2: None; 
Schedule 3: 1; 
DOC: 5.

Member state: Ireland; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: 3; 
Schedule 3: None; 
DOC: 2.

Member state: Italy; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: 2; 
OCW: 5; 
Schedule 1: None; 
Schedule 2: 23; 
Schedule 3: 3; 
DOC: None.

Member state: Japan; 
CWPF: 5; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: 4; 
Schedule 1: 4; 
Schedule 2: 24; 
Schedule 3: 8; 
DOC: 1.

Member state: Lithuania; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 1.

Member state: Mexico; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: 1; 
DOC: 2.

Member state: Morocco; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 2.

Member state: Netherlands; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 4; 
Schedule 2: 7; 
Schedule 3: 2; 
DOC: 1.

Member state: New Zealand; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 1; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 2.

Member state: Norway; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 5; 
Schedule 2: 1; 
Schedule 3: None; 
DOC: 4.

Member state: Panama; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: 1; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: None.

Member state: Poland; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: 1; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: 3; 
DOC: 5.

Member state: Romania; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: 3; 
DOC: 3.

Member state: Russian Federation; 
CWPF: 106; 
CWDF: 35; 
CWSF: 35; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: 3; 
Schedule 3: 1; 
DOC: 1.

Member state: Saudi Arabia; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 2.

Member state: Singapore; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 2; 
Schedule 2: None; 
Schedule 3: 1; 
DOC: 2.

Member state: Slovak Republic; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 4; 
Schedule 2: None; 
Schedule 3: 1; 
DOC: 3.

Member state: Slovenia; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 3.

Member state: South Africa; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 6; 
Schedule 2: None; 
Schedule 3: 1; 
DOC: 2.

Member state: Spain; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 4; 
Schedule 2: 3; 
Schedule 3: 3; 
DOC: None.

Member state: Sweden; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 4; 
Schedule 2: 1; 
Schedule 3: 1; 
DOC: 1.

Member state: Switzerland; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: 3; 
Schedule 2: 11; 
Schedule 3: 3; 
DOC: None.

Member state: Turkey; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: 1; 
DOC: 3.

Member state: Ukraine; 
CWPF: None; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: None; 
DOC: 5.

Member state: United Kingdom; 
CWPF: 20; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: 6; 
Schedule 1: 9; 
Schedule 2: 12; 
Schedule 3: 5; 
DOC: None.

Member state: United States; 
CWPF: 86; 
CWDF: 219; 
CWSF: 75; 
ACW: None; 
OCW: 3; 
Schedule 1: 13; 
Schedule 2: 31; 
Schedule 3: None; 
DOC: 3.

Member state: Uzbekistan; 
CWPF: 1; 
CWDF: None; 
CWSF: None; 
ACW: None; 
OCW: None; 
Schedule 1: None; 
Schedule 2: None; 
Schedule 3: 1; 
DOC: None.

Member state: Total; 
CWPF: 257; 
CWDF: 292; 
CWSF: 123; 
ACW: 20; 
OCW: 43; 
Schedule 1: 99; 
Schedule 2: 197; 
Schedule 3: 89; 
DOC: 94.

Source: OPCW.

Notes:

CWPF = chemical weapons production facility:

CWDF = chemical weapons destruction facility:

CWSF = chemical weapons storage facility:

ACW = abandoned chemical weapons:

OCW = old chemical weapons:

DOC = discrete organic chemicals:

The inspection data contained in the table is through December 2002 
because the OPCW could not provide more current data until it has been 
approved by the CWC member states. Also, the table does not include 
inspections of the destruction of hazardous chemical weapons or the 
emergency destruction of chemical weapons in the United States and 
Russia.

[A] The OPCW considers the inspection details for A State Party to be 
confidential.

[End of table]

[End of section]

Appendix III: International and Russian Funding for Chemical Weapons 
Destruction at Shchuch'ye:

As of December 2003, the United States and other international donors 
have obligated about $525 million to develop, build, and support a 
chemical weapons destruction facility at Shchuch'ye. Russia has spent 
about $95 million.[Footnote 33] These funds support three related areas 
of effort: (1) the design and construction of the destruction facility, 
(2) the completion of infrastructure located outside the destruction 
facility necessary for its operation, and (3) community improvement 
projects in the town of Shchuch'ye.

When completed, the Shchuch'ye chemical weapons destruction facility 
will comprise a complex of about 100 buildings and structures designed 
to support and complete the destruction of the chemical weapons stored 
at Shchuch'ye and Kizner, which represents about 30-percent of Russia's 
total stockpile. The United States, through the Department of Defense's 
(DOD) Cooperative Threat Reduction program, has obligated more than 
$460 million for the design, construction, equipment acquisition and 
installation, systems integration, training, and start-up of the 
facility.[Footnote 34] The United States plans to spend a total of more 
than $1 billion to finance the construction of 99 of the 100 buildings 
and structures within the facility, including one building where the 
chemical munitions will be disassembled and the chemical agent 
destroyed. Russia has agreed to fund the construction of a second 
destruction building at an estimated cost of $150 million to $175 
million, according to a DOD official. Russia spent an estimated $6 to 
$8 million for the construction of the second destruction 
building.[Footnote 35] Figure 3 illustrates the buildings and 
structures within the destruction facility at Shchuch'ye.

Figure 3: Chemical Weapons Destruction Facility at Shchuch'ye:

[See PDF for image]

[End of figure]

In March 2003, the United States began construction of the Shchuch'ye 
facility. Figure 4 shows the completed foundation work for the U.S. 
destruction building as of November 2003. Prior DOD estimates indicated 
that the facility would begin destroying chemical weapons in August 
2008. However, in October 2003, DOD stated the facility may not be 
operational until July 2009.

Figure 4: Construction of the U.S. Destruction Building at Shchuch'ye, 
November 2003:

[See PDF for image]

[End of figure]

Based on the U.S. design, Russia also began constructing its 
destruction building at the Shchuch'ye complex in 2003, according to a 
DOD official, but Russia has not provided a completion date for its 
destruction building. Figure 5 shows the uncompleted foundation work on 
the Russian funded destruction building, as of November 2003.

Figure 5: Construction of the Russian Destruction Building at 
Shchuch'ye, November 2003:

[See PDF for image]

[End of figure]

The operation of the chemical weapons destruction facility at 
Shchuch'ye depends upon the completion of several infrastructure 
projects, such as the installation of natural gas and water lines and 
an electric distribution station. As of October 2003, Russia had spent 
more than $56 million to support those projects. International donors 
have spent about $65 million for these and other infrastructure 
projects, such as the construction of access roads.[Footnote 36] About 
$66 million of infrastructure projects, including the installation of 
sewage and fiber optic lines, remain unfunded. In September 2003, 
Russia signed an agreement with the United States stating that it would 
complete all necessary infrastructure to support initial testing of the 
Shchuch'ye facility.

In addition, Russian and U.S. officials stated that the town of 
Shchuch'ye lacks adequate housing, schools, roads, and other services 
to support the expected influx of destruction facility workers and 
their families. As of October 2003, the Russian government had spent 
more than $31 million for a variety of community improvement projects 
in Shchuch'ye, including a new school, improved medical facilities, and 
new housing.

[End of section]

Appendix IV: Comments from the Department of State:

United States Department of State 
Assistant Secretary and Chief Financial Officer:

Washington, D. C. 20520:

MAR 19 2004:

Dear Ms. Williams-Bridgers:

We appreciate the opportunity to review your draft report, 
"NONPROLIFERATION: Delays in Implementing the Chemical Weapons 
Convention Raise Concerns About Proliferation," GAO-04-361, GAO Job 
Code 320186.

The enclosed Department of State comments are provided for 
incorporation with this letter as an appendix to the final report.

If you have any questions concerning this response, please contact 
Richard D'Andrea, Action Officer, Bureau of Arms Control, at 
(202) 647-5091.

Sincerely,

Signed by: 

Christopher B. Burnham:

cc:	GAO - Beth Hoffman Leon 
AC - Donald Mahley 
State/OIG - Luther Atkins 
State/H - Paul Kelly:

Department of State Comments on GAO Draft Report NONPROLIFERATION: 
Delays in Implementing the Chemical Weapons Convention Raise Concerns 
About Proliferation (GAO-04-361, GAO Job Code 320186):

Thank you for the opportunity to review and comment on your draft 
report "Nonproliferation, Delays in Implementing the Chemical Weapons 
Convention Raise Concerns About Proliferation". The GAO draft report 
takes a "glass half empty" approach to CWC implementation as opposed to 
an unbiased policy neutral presentation. To its credit, the draft 
report documents ongoing efforts to help all States Parties meet all of 
their CWC implementation obligations, and contains no recommendations. 
The lack of recommendations implies that the GAO found no additional 
actions that should be taken to address the so-called "concerns about 
proliferation." However, it is regrettable that the GAO draft report 
tarnishes the bright success that has thus far been the reality of CWC 
implementation. While the vast majority of the facts contained in the 
draft report are accurate, their portrayal is not balanced, is 
misleading, incomplete, and in a few places, incorrect as these 
comments will point out. The report leaves out positive CWC 
accomplishments such as continuous growth in the number of States 
Parties, identification and correction of management inefficiencies 
leading to ever improving staff functioning and prudent fiscal 
management, and execution of an unprecedented and highly effective 
inspection regime worldwide. Reading this report, the uninitiated 
reader would likely draw errant conclusions concerning the 
effectiveness of CWC implementation.

The GAO draft report, "Results in Brief," points out that member states 
are experiencing delays in destroying their chemical weapons 
stockpiles, most have not adopted national laws to criminalize the 
possession and use of chemical weapons, and an unspecified number of 
states have not submitted timely and accurate declarations of their 
CWC-related activities. Omitted is the fact that since entry into force 
the CWC caused the discovery of two previously unknown CW stockpiles, 
and an acceleration of CW destruction efforts. Omitted is the fact that 
of the 158 States Parties (as of the report's December 2003 cut off 
date) only 61 have reported CWC-declarable facilities, all 61 have 
submitted declarations (four of which may be incomplete), and 56 of the 
61 have adopted implementing laws.

The GAO notes that Russia has spent about $95 million for CW 
destruction efforts, as compared to $575 million spent by international 
donors. However, only in Appendix III is it explained that this appears 
to only represent Russian spending at Shchuch'ye. The $95 million does 
not include Russian spending at all other sites and is therefore 
misleading. Russia budgeted roughly $420 million for all CW 
demilitarization-related activities between 2001-2003, and Russia's 
approved budget for 2004 calls for about $180 million more. This 
Administration has repeatedly urged the Russian Federation to further 
increase its spending on CW destruction efforts.

GAO estimates that the United States and Russia will not complete CW 
destruction until 2014 and 2027 respectively (CWC extended deadline is 
2012). The 2014 date is not substantiated. The 2027 date assumes a 
single nerve agent destruction facility, Shchuch'ye, yet elsewhere the 
report cites Russian plans for three additional nerve agent destruction 
facilities.

The GAO report accurately notes that Russia has yet to develop a 
credible and comprehensive CW destruction plan. The GAO offered option 
of delaying further U.S. financial assistance for the Shchuch'ye 
facility until all elements of Russia's destruction plan are determined 
could create an even greater threat by further delaying the destruction 
of those elements of Russia's CW stockpile that represent the greatest 
proliferation concern, namely the man-portable munitions at Shchuch'ye 
and Kizner.

One of the more misleading statements in the GAO draft report is the 
statement that the OPCW has conducted 514 inspections of the 5,460 
declared commercial facilities that, "pose a greater proliferation 
(sic) because they produce dual-use chemicals." The number of 
inspections is correct. The number of declared commercial facilities is 
correct. However, only 966 of the declared commercial facilities are 
known to produce dual-use chemicals. The remaining facilities produce 
what the CWC defines as "discrete organic chemicals," which are for the 
most part, organic chemicals that are not dual-use and are of little or 
no proliferation concern to the CWC. It is the declared facilities 
themselves that are of treaty interest because they could possibly be 
converted to the production of CW-related chemicals and are therefore 
included in the CWC comprehensive nonproliferation coverage. The vast 
majority of the industry inspections have thus far been targeted at 
those facilities actually producing dual-use chemicals.

The GAO draft report states that as of December 2003, the Technical 
Secretariat conducted 965 inspections at 167 of 190 declared military 
sites leading the reader to wonder, "What about the other 23?" The 
report omits the fact that all-existing CW production, storage, and 
destruction facilities have been inspected multiple times. "Military" 
facilities not inspected are either CW production facilities destroyed 
before CWC entry into force or sites declared as having old or 
abandoned chemical weapons that pose little or no proliferation 
concern.

The following are GAO's comments on the Department of State letter 
dated March 19, 2004.

GAO Comments:

1. State asserts that this report did not sufficiently present positive 
CWC accomplishments such as the continuous growth in the number of CWC 
member states, the identification and correction of management 
inefficiencies at the OPCW, and the effective implementation of the 
OPCW inspection regime. In response, we included additional information 
in this report to acknowledge the growth in the number of member 
states. We also cite that Libya, the sixth possessor state, acceded to 
the CWC in February 2004. This report does not discuss the management 
of the OPCW, as we previously reported on the management of the 
organization under the leadership of the former Director-General, Jose 
Bustani.[Footnote 37] We did not review the management of the OPCW 
under the current Director-General, Rogelio Pfirter but acknowledge 
that he is committed to implementing management reforms. Finally, this 
report clearly articulates that the OPCW has established a credible 
inspection regime.

2. State concluded that the entry into force of the CWC caused two 
previously unknown stockpiles to be discovered and accelerated chemical 
weapons destruction efforts. In its comments, however, State did not 
identify the member states that possess the unknown stockpiles.

3. State cites that of the 158 member states, 56 of 61 member states 
with CWC-declarable facilities have adopted national laws. This 
statement implies that only countries with CWC-declarable facilities 
should adopt national implementing laws. As stated in the report, the 
CWC requires all member states to adopt national implementing laws. 
Assistant Secretary of State for Arms Control stated in his remarks to 
the 2003 CWC Review Conference that the lack of national implementing 
laws among member states is troubling "in light of the efforts of Al 
Qaeda and other terrorist organizations to acquire chemical weapons.":

4. State indicated that Russia budgeted roughly $420 million for all of 
its chemical weapons demilitarization-related activities between 2001 
and 2003 and that Russia's approved 2004 budget requests about $180 
million more. We have included this additional information in the 
report, as it was not previously provided to us.

5. State contends that our estimated deadline of 2014 for the complete 
destruction of the U.S. chemical weapons stockpile is unsubstantiated. 
The department further asserts that our 2027 estimate for the 
completion of Russia's chemical weapons destruction assumes a single 
nerve agent destruction facility, at Schuch'ye and that we omit the 
possibility of constructing additional destruction facilities. We have 
clarified the 2014 deadline by adding information citing a U.S. 
chemical weapons destruction facility schedule that indicates that the 
facility will not complete its destruction operations until 2014. While 
we acknowledge that Russia may construct additional destruction 
facilities, our analysis is based on the destruction capacity of the 
one nerve agent destruction facility currently under construction. At 
this time, there are no other nerve agent destruction facilities under 
construction and no definitive plans for building additional 
facilities. Furthermore, Russia has agreed to eliminate all nerve agent 
at Shchuch'ye, unless otherwise agreed in writing. In a March 2004 
congressional testimony, the Deputy Undersecretary of Defense for 
Technology Security Policy and Counterproliferation stated that the 
Shchuch'ye facility "will destroy all of Russia's nerve agent 
inventory." While Russian officials have indicated that Russia may 
construct neutralization facilities at Pochep, Leonidovka, and 
Maradovski, a detailed plan and/or cost estimates have yet to be 
provided.

6. State contends that the option of delaying further assistance to 
Russia could result in a greater proliferation threat. State implies 
that we are only presenting one option, when in fact this report 
provides numerous options, including providing additional assistance 
for Russian chemical weapons destruction. Furthermore, Congress has 
previously exercised the option of withholding U.S. assistance for 
Russian chemical weapons destruction.

7. State claims that facilities that produce discrete organic chemicals 
(DOC) are of little or no proliferation concern to the CWC. However, 
information we obtained from State, Commerce, DOD, and the OPCW, 
contradicts this statement. Officials and documents from all four 
organizations clearly expressed concern over the potential 
proliferation risks from DOC facilities. This report, therefore, 
indicates that these facilities produce a wide range of common 
commercial chemicals and may be capable of producing chemical weapons.

8. State cites that this report omits the fact that all existing 
chemical weapons production, storage, and destruction facilities have 
been inspected multiple times. To further clarify the inspection 
information contained in this report, we have included the information.

[End of section]

Appendix V: Comments from the Department of Defense:

OFFICE OF THE ASSISTANT SECRETARY OF DEFENSE:

2900 DEFENSE PENTAGON 
WASHINGTON, DC 20301-2900:

INTERNATIONAL SECURITY POLICY:

March 18, 2004:

Mr. Joseph A. Christoff,

Director, International Affairs and Trade 
U.S. General Accounting Office:

441 G Street, N.W., 
Washington, D.C. 20548:

Dear Mr. Christoff:

This is the Department of Defense (DoD) response to the GAO draft 
report, `NONPROLIFERATION: Delays in Implementing the Chemical Weapons 
Convention Raise Concerns About Proliferation,' dated March 4, 2004 
(GAO Code 320186/GAO-04-361).

The report makes no recommendations to the DoD and the Department has 
no significant issues with the draft report; however, the DoD would 
like to offer the below comments we believe are important to consider 
regarding the reports findings:

The report focuses on several facets of the Convention, which in GAO's 
view, is delaying implementation of the Convention thus, increasing the 
risk of chemical weapon proliferation. The DoD acknowledges that some 
member-States have not totally fulfilled their obligations under the 
Provisions of the Convention such as establishing national implementing 
legislation, while others such as the United States and the Russian 
Federation are experiencing delays in the destruction of their CW 
stockpiles. The DoD also recognizes the resource challenges facing the 
Organization for the Prohibition of Chemical Weapons (OPCW) in 
implementing the Convention. Finally, we acknowledge the need for 
universal ratification of the Convention. What is absent from the 
report however, is an assessment which determines the degree of risk 
(if any) the aforementioned factors create regarding the proliferation 
of chemical weapons. Without such an assessment, it's difficult to 
assure the proper perspective is communicated to the reader.

Specific comments are also attached which we believe will make the 
report more technically accurate.

We appreciate having an opportunity to comment on the draft report.

Sincerely,

Signed for: 

Mark T. Esper:

Deputy Assistant Secretary of Defense 
Negotiations Policy:

Department of Defense Comments 
GAO Draft March 2004 Report 
NONPROLIFERATION: Delays in Implementing the Chemical Weapons 
Convention Raise Concerns About Proliferation.

A. General Comments:

1. Little to no Analysis:

The report provides little analysis. For example, we agree it's 
important to note there are member-States who have little or no 
implementing legislation or and we have a ways to go in achieving 
universal membership; however, there's no analysis to help conclude how 
many of those States lacking implementing legislation or are not 
member-States truly pose a proliferation risk as a result. For example, 
are 30 countries not having national implementing legislation in place 
worse than 5 countries not having legislation in place? Is having 30 
countries not members to the CWC, worse than 5 countries not being 
members? What is a bigger proliferation concern - delays in destroying 
existing CW stockpiles or low visibility of commercial facility 
activities?

The report treats each of the stated problem areas in implementing the 
Convention as being equivalent in importance - which is not the case. 
Some of the central non-proliferation aspects of the CWC were missed or 
not given the visibility it should have been given. For example, very 
little discussion was provided on commercial industry. The central 
question regarding industry is what ensures that all reportable 
scheduled chemical production facilities or discrete organic chemicals 
(DOC) have actually been declared? Based on the dual use-nature of DOC 
producing facilities, thus existence of a potential proliferation risk, 
how many are being inspected and what is the proliferation risk 
associated with not inspecting them? Again, there was no analysis 
conducted in these areas that contributes in a significant way to the 
report's findings/conclusions.

2. Report is not conducive to achieving a balanced perspective. The 
report provides a "heavy-handed" account of CW destruction delays; 
however, the report makes no mention of the progress being made in many 
areas which are central to the non-proliferation of chemical weapons. 
As such, readers of the report could have a skewed perspective 
regarding the overall effectiveness of the CWC by not providing much in 
the way of acknowledging OPCW, U.S. and other member-State successes in 
implementing the CWC, as well as the significant changes that have and 
are occurring within the OPCW to enhance its functioning and 
performance. Examples include:

* Progress made in eliminating former CW production capacities. The U.S. 
recently reported 81 % of its capacity destroyed -16 months ahead of 
its destruction milestone.

* Progress in the destruction of all Category 2 and 3 CW munitions-
related items.

Inspectors having nearly unfettered access to declared sites and 
facilities.

A recently establish tenure Policy which compels turnover within the 
OPCW technical inspectorate for the purpose of maintaining a quality 
inspectorate staff.

OPCW Technical Secretariat and U.S. initiatives to reduce OPCW 
organizational operating costs, while improving verification 
effectiveness.

Continued progress and emphasis being placed on Technical Secretariat 
challenge inspection readiness.

Recent approval and implementation of OPCW Universality and National 
Implementation Action Plans, in addition to U.S. strategy plans being 
implemented for the same areas. There are now 161 nations who are Parry 
to the CWC, the most recent and more notable member being Libya.

Activities and continuing efforts in addressing and resolving CW-
related compliance concerns.

3. CW. Destruction Delays:

U.S. CW Destruction - With regards to U.S. CW destruction efforts, DoD 
acknowledges we have a number of ongoing activities related to the US 
Chemical Demilitarization Program, thus challenges exist meeting the 
final destruction deadline of 2012. It's important to note in the 
report that the DoD remains fully committed to destroying the entire 
stockpile within the final CWC deadline date.

Russian CW Destruction - We're concerned with one of GAO's stated 
options to delay financial assistance for Russia's program. While 
delaying or stopping financial assistance may be needed to compel the 
Russian Federation to provide better cooperation with the international 
community, it likewise may push the Russian Federation in the opposite 
direction such as forgoing attempts to produce a credible plan, thus 
increasing the vulnerability of diversion or theft of the chemical 
weapons.

Other member-State CW Destruction - The report does not adequately 
point out that two additional stockpiles have been added to the list of 
CW being destroyed since entry into force, with plans to accelerate 
destruction of these stockpiles.

The following are GAO's comments on the Department of Defense letter 
dated March 18, 2004.

GAO Comments:

1. DOD stated that this report provides little or no analysis to 
conclude how many of those member states lacking implementing 
legislation truly pose a proliferation risk. In its comments, however, 
DOD does not offer what criteria one would use to make a determination 
about which member states are more important to CWC implementation. As 
stated in this report, the CWC requires all member states to adopt 
national implementing legislation after ratifying the convention.

2. According to DOD, this report does not give the visibility it should 
have to some of the central nonproliferation aspects of the CWC, such 
as a discussion of the proliferation risks associated with discrete 
organic chemical facilities. This report includes a specific discussion 
of how such dual-use facilities pose a proliferation threat because 
they may conceal CWC-prohibited activities. This report does not 
further elaborate on the degree of proliferation posed by these 
facilities as such information is classified.

3. DOD believes that this report is not conducive to providing a 
balanced perspective because it does not acknowledge successes in 
implementing the CWC. For example, DOD cites that progress has been 
made in eliminating former chemical weapons production facilities and 
destroying category 2 and 3 chemical weapons related munitions. Such 
successes, while important, remain secondary to the CWC's primary goal 
of destroying actual chemical weapons. As stated in the report, the CWC 
is the only multilateral treaty that seeks to eliminate an entire 
category of weapons of mass destruction under an established time frame 
and verify their destruction through inspections. DOD also asserts that 
this report does not recognize the significant changes occurring within 
the OPCW. This report does not assess OPCW functions or performance 
because we conducted such a review of the OPCW in October 2002. This 
report does, however, credit the organization with finding more 
efficient and cost-effective means of conducting its inspection 
activities as it faces the challenge of meeting an increased inspection 
workload. In addition, we have provided information in this report to 
further clarify that OPCW inspectors have access to declared facilities 
and that there are now 161 member states to the OPCW, including Libya.

4. DOD raised a concern about this report's option to delay financial 
assistance for Russia's destruction program. The report provides a 
variety of policy options for decision-makers including providing more 
financial assistance to finance the construction of additional 
destruction facilities in Russia. Furthermore, Congress has restricted 
U.S. assistance for Russian chemical weapons destruction in the past.

5. DOD stated that this report does not adequately point out that two 
additional stockpiles have been added to the list of chemical weapons 
being destroyed. In its comments, however, DOD did not identify the 
member states that possess these stockpiles. If DOD had provided 
clarification, such information could have been included in this 
report, provided that the information was not classified.

[End of section]

Appendix VI: Comments from the Department of Commerce:

UNITED STATES DEPARTMENT OF COMMERCE 
Assistant Secretary for Export Administration 
Washington, D.C. 20230:

March 18, 2004:

Mr. Joseph A. Christoff:

Director, International Affairs and Trade 
General Accounting Office 
Washington, DC 20548:

Dear Mr. Christoff:

I am writing with regard to the General Accounting Office's (GAO) draft 
report entitled, Nonproliferation: Delays in Implementing the Chemical 
Weapons Convention Raise Concerns About Nonproliferation (GAO-04-361).

The Department of Commerce has reviewed the draft report and commends 
the GAO for focusing attention on the important issue of achieving 
compliance with the Chemical Weapons Convention (CWC). In this regard, 
it is important to recognize that the U.S. Government has taken a lead 
role in addressing shortcomings in overall treaty implementation, 
including taking the initiative at the CWC Review Conference to 
establish a plan of action to promote universal compliance with Article 
VII by 2005. The U.S. Government is providing assistance to States 
Parties and the Technical Secretariat to achieve this goal and is 
developing guidelines for making compliance assessments by the 2005 
Conference of States Parties.

On this point, and for other specific items, we have attached textual 
comments for your consideration.

Thank you for the opportunity to provide comments on the draft report.

Sincerely,

Peter Lichtenbaum: 

[End of section]

Appendix VII: Comments from the Organization for the Prohibition of 
Chemical Weapons:

ORGANISATION FOR THE PROHIBITION OF CHEMICAL WEAPONS:

Director-General:

The Hague, 25 Match 2004 LODG/83218/04:

Lw., L 64. L:

OPCW:

I would like to thank you for the opportunity to comment on the draft 
GAO report 'Delays in Implementing the Chemical Weapons Convention 
Raise Concerns About Proliferation" (GAO-04-361), dated March 2004.

The report is a commendable effort reflecting what has been achieved 
through implementation of the CWC and areas where challenges still 
exist. However, it should be noted that some statements, as presented 
in the report, do not reflect the views of the Technical Secretariat.

Due to the limited time to respond we have concentrated on the major 
issues. The comments to the draft report are presented in the document 
attached. 

I would like to reiterate my personal thanks and those of my staff for 
the open and fair discussions conducted during your staff's visit in 
The Hague and remain at your disposal for any issues related to the 
OPCW work in the future.

[See PDF for image]

[End of figure]

Rogelio Pfirter:

Enclosure:

Mr Joseph A. Christoff:

Director, International Trade and Affairs U.S. General Accounting 
Office:

441 G Street, N.W. Washington, D.C. 20548:

The following is GAO's comment on the Organization for the Prohibition 
of Chemical Weapons' letter dated March 25, 2004.

GAO Comment:

1. We made changes to this report to accurately reflect the technical 
comments we received from the OPCW.

[End of section]

Appendix VIII: GAO Contact and Staff Acknowledgments:

GAO Contact:

David Maurer (202) 512-9627:

Acknowledgments:

In addition to the individual named above, Beth A. Hoffman León, 
Nanette J. Ryen, Julie A. Chamberlain, and Lynn Cothern made key 
contributions to this report. Etana Finkler and Pierre R. Toureille 
also provided assistance.

(320186):

FOOTNOTES

[1] The term "dual use" applies to chemicals that have both military 
and commercial applications.

[2] The CWC permits member states to request extensions between 2007 
and 2012 for the elimination of declared chemical weapons.

[3] Other donors include Canada, the Czech Republic, the European 
Union, Italy, Norway, Switzerland, and the United Kingdom. The Nuclear 
Threat Initiative is also providing assistance.

[4] Those states that have signed but not ratified the CWC are the 
Bahamas, Bhutan, Cambodia, Central African Republic, Comoros, Congo, 
Democratic Republic of the Congo, Djibouti, Dominican Republic, 
Grenada, Guinea-Bissau, Haiti, Honduras, Israel, Liberia, Madagascar, 
Marshall Islands, Myanmar, Rwanda, Saint Kitts and Nevis, and Sierra 
Leone.

[5] According to the statement by the U.S. Assistant Secretary of State 
for Arms Control before the CWC Review Conference in April 2003, the 
United States believed that Syria had a stockpile of nerve agent and 
was trying to develop more toxic and persistent nerve agents. North 
Korea has also acquired dual-use chemicals that could potentially be 
used to support its long-standing chemical warfare program.

[6] The OPCW keeps the identity of this member state confidential.

[7] The CWC requires the verification of chemical weapons destruction 
through continuous monitoring with on-site instruments and physical 
presence of inspectors. As such, whenever destruction facilities are 
operational in member states, OPCW inspectors are located at the 
facilities.

[8] Schedule 1 chemicals are either chemical weapons or are closely 
related to chemical weapons. Schedule 2 chemicals can be used to make 
chemical weapons but can also be used for peaceful industrial purposes. 
Schedule 3 chemicals are toxic chemicals that can be used to make 
chemical weapons but are produced on a large scale to make common 
products such as oil, paper, and cloth.

[9] Blister agents can be lethal if inhaled but generally cause slow-
to-heal burns on contact with skin. These agents are considered less of 
a threat to U.S. national security interests. 

[10] U.S. General Accounting Office, Weapons of Mass Destruction: 
Additional Russian Cooperation Needed to Facilitate U.S. Efforts to 
Improve Security at Russia Sites, GAO-03-482 (Washington, D.C.: March 
24, 2003).

[11] The OPCW extended Russia's 1-percent deadline from April 2000 to 
May 31, 2003 and its 20-percent deadline from April 2002 to April 2007. 
Russia also submitted requests to extend its 45-percent and 100-percent 
deadlines. As of October 2003, specific dates for these deadlines had 
not been agreed upon.

[12] According to DOD, the destruction rate for the Shchuch'ye facility 
applies to the munitions stored at Shchuch'ye and Kizner and may not 
apply to the bulk agent stored at Maradykovsky, Leonidovka, and Pochep. 
Our analysis is based on the capacity of the destruction facilities 
that are currently operational or under construction.

[13] Based on our discussion with Russian government officials, Russia 
may construct three additional chemical weapons destruction facilities.

[14] According to DOD, the United States has received "in principle" an 
extension of its 100-percent deadline to April 2012 and will request a 
formal extension of its 100-percent deadline by April 2006. 

[15] U.S. General Accounting Office, Chemical Weapons: Sustained 
Leadership, Along with Key Strategic Management Tools, Is Needed to 
Guide DOD's Destruction Program, GAO-03-1031 (Washington, D.C.: 
September 2003).

[16] The U.S. government also has concerns about other member states' 
CWC compliance; however, the identities of these countries remain 
classified.

[17] See U.S. Department of State, Adherence to and Compliance with 
Arms Control and Nonproliferation Agreements and Commitments, 
Washington, D.C., 2001. 

[18] The data contained in appendix II reflect inspections conducted as 
of December 2002 because the OPCW could not provide more current data 
until it has been approved by the CWC member states. 

[19] The OPCW is reimbursed for all the operational expenses and 
roughly one-third of the inspector salary costs for chemical weapons 
inspections at military facilities in chemical weapons possessor 
states.

[20] A U.S.-Swiss proposal to clarify guidance on how the Technical 
Secretariat should implement paragraphs 11(b) and 11(c) of the CWC's 
verification annex is currently being discussed.

[21] U.S. General Accounting Office, Chemical Weapons: Organization for 
the Prohibition of Chemical Weapons Needs Comprehensive Plan to Correct 
Budgeting Weaknesses, GAO-03-5 (Washington, D.C.: Oct. 24, 2002).

[22] From 2000 to 2003, the European Union also provided $6 million for 
the Gorny facility. Both the German and European Union figures are 
expressed in constant 2003 dollars.

[23] The Shchuch'ye storage site is located about 10 miles from the 
destruction facility. The chemical weapons stored at Kizner are located 
more than 450 miles from the Shchuch'ye destruction facility. Nerve 
agent from each location will be sent to Shchuch'ye by rail.

[24] The United States plans to finance the construction of all 
buildings within the facility, except for one destruction building, 
which the Russians will fund.

[25] According to DOD, Italy has committed up to 360 million euros from 
2004 to 2008 for the construction of the facility.

[26] Donors to Shchuch'ye include Canada, Italy, and the United 
Kingdom.

[27] Other priority concerns of the Global Partnership initiative 
include plutonium disposition, nuclear submarine dismantlement, and 
employment of former weapons scientists in Russia.

[28] In addition, the Czech Republic, the European Union, Norway, 
Switzerland, and the Nuclear Threat Initiative are also providing 
assistance.

[29] In accordance with Public Law 108-136, Sec. 1306, the President 
exercised his authority to waive congressional stipulations and 
continue funding of the Shchuch'ye facility.

[30] Under the CWC, the destruction of chemical weapons is defined as 
"a process by which chemicals are converted in an essentially 
irreversible way to a form unsuitable for production of chemical 
weapons, and which in an irreversible manner renders munitions and 
other devices unusable."

[31] U.S. General Accounting Office, Chemical Weapons: Organization for 
the Prohibition of Chemical Weapons Needs Comprehensive Plan to Correct 
Budgeting Weaknesses, GAO-03-5 (Washington, D.C.: Oct. 24, 2002).

[32] During our visit to the OPCW in September 2003, we met with 
representatives from "A State Party," Albania, China, the Czech 
Republic, Finland, France, Germany, India, Italy, Japan, Malaysia, 
Norway, the Russian Federation, and the United Kingdom.

[33] Since 2001, Russia has allocated at least $25 million per year at 
Shchuch'ye, satisfying a Congressional condition for U.S. assistance.

[34] This includes funding for a Russian chemical analytical lab but 
does not include funding for demilitarizing former Russian chemical 
weapons production facilities and securing Russian chemical weapons 
stockpiles.

[35] According to DOD and Russian officials, international donors may 
provide assistance for construction of the Russian destruction building 
at Shchuch'ye.

[36] International donors include Canada, the Czech Republic, the 
European Union, Italy, Norway, the Nuclear Threat Initiative, and the 
United Kingdom.

[37] U.S. General Accounting Office, Chemical Weapons: Organization for 
the Prohibition of Chemical Weapons Needs Comprehensive Plan to Correct 
Budgeting Weaknesses, GAO-03-5 (Washington, D.C.: Oct. 24, 2002).

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