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Report to Congressional Committees: 

United States Government Accountability Office: 

GAO: 

March 2007: 

Emergency Preparedness: 

Current Emergency Alert System Has Limitations, and Development of a 
New Integrated System Will Be Challenging: 

GAO-07-411: 

GAO Highlights: 

Highlights of GAO-07-411, a report to congressional committees 

Why GAO Did This Study: 

During emergencies, the public needs accurate and timely information. 
Through the Emergency Alert System (EAS), the media play a pivotal 
role, assisting emergency management personnel in communicating to the 
public. GAO reviewed (1) the media’s ability to meet federal 
requirements for participating in EAS, (2) stakeholder views on the 
challenges facing EAS and potential changes to it, and (3) the progress 
made toward developing an integrated alert system. GAO reviewed the 
Federal Communications Commission’s (FCC) proposed rulemaking on EAS 
and interviewed media outlets, state emergency management officials, 
and federal agencies responsible for EAS, including FCC and the Federal 
Emergency Management Agency (FEMA), within the Department of Homeland 
Security (DHS). 

What GAO Found: 

According to stakeholders, the media are generally prepared to 
participate in EAS as required, but EAS has limitations that could 
affect its performance. Broadcast radio and television, cable 
operators, and satellite radio operators are required to participate in 
national EAS alerts, and satellite television will be required to 
participate in May 2007. Participation in state and local alerts is 
voluntary. While these media outlets appear generally prepared to 
participate, FCC has limited measures for ensuring compliance. In 
addition, stakeholders cited limitations, including an unreliable 
method for relaying national EAS messages to the public. GAO found a 
lack of ongoing testing of this relay method. In a national test, three 
primary relay stations failed, and in one state test, a state 
representative reported that the message was not received beyond an 
area roughly 50 to 70 miles from the state capital. Problems with 
equipment and software caused these failures, which, in a real 
emergency, could have prevented the public from receiving critical 
information. Another cited limitation was inadequate training of EAS 
personnel. 

FEMA officials and other stakeholders told GAO that the current EAS 
faces a range of technical, cultural, and other challenges, such as 
interfacing with newer communications technologies and issuing alerts 
in multiple languages. FEMA said the alerting system should provide 
various means to reach the greatest number of people, and FCC reported 
that a wide-reaching public alert system is critical to the public 
safety. In November 2005, FCC proposed changes to improve EAS and 
address some of the challenges facing it. Stakeholders GAO contacted 
anticipated positive results from some of the potential changes, such 
as expanding EAS alerts to additional media, but expressed mixed views 
on other potential changes. For example, the emergency managers GAO 
contacted generally favored making the transmission of state and local 
alerts mandatory, whereas the broadcasters GAO interviewed expressed 
concern about over alerting, which they said could lead the public to 
ignore EAS messages. 

Several efforts to develop an integrated alert system—one that would 
provide effective warnings over all broadcast media devices available 
to the public—are underway. FEMA is conducting various pilots under a 
public-private partnership called the Integrated Public Alert and 
Warning System. One such pilot, the Digital Emergency Alert System, 
uses the digital capabilities of the nation’s public television 
stations to provide public alerts. Another effort, the Warning, Alert, 
and Response Network Act, is aimed at integrating emergency alerts and 
enables the participation of wireless providers in EAS. However, FEMA 
officials and others identified challenges to the implementation of an 
integrated system, including achieving cooperation among federal, 
state, and local emergency management organizations on the use of a 
standardized technology for disseminating alerts. Coordination and 
collaboration among a variety of stakeholders will be critical to 
ensure that all elements of the system can work together and produce 
accurate, timely alerts for all Americans. 

What GAO Recommends: 

To improve the media’s ability to issue emergency alerts, GAO 
recommends that DHS and FCC develop a plan to verify (1) the 
dependability and effectiveness of the EAS relay system, and (2) that 
EAS participants have the training to issue effective EAS alerts. Also, 
DHS and FCC should establish a forum for stakeholders to address the 
challenges of implementing an integrated alert system. In response, DHS 
agreed with the intent of our recommendations. FCC provided technical 
comments. 

[Hyperlink, http://www.gao.gov/cgi-bin/getrpt?GAO-07-411]. 

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact Mark Goldstein at (202) 
512-2834 or goldsteinm@gao.gov. 

[End of section] 

Contents: 

Letter: 

Results in Brief: 

Background: 

Media Appear Generally Prepared for Required Participation in Emergency 
Communications, but the Current National Alert System Has Limitations: 

Stakeholders Have Identified Various Challenges Facing the Current 
Emergency Alert System and Hold Differing Views on the Proposed Changes 
to the System: 

Several Projects Are Underway to Develop an Integrated Public Alert and 
Warning System, but Challenges to Its Implementation Remain: 

Conclusions: 

Recommendations for Executive Action: 

Agency Comments: 

Appendix I: Objectives, Scope, and Methodology: 

Appendix II: Public-Private Partnerships Involved in Emergency 
Communications: 

Appendix III: Comments from the Department of Homeland Security: 

Table: 

Table 1: Case Study States and Entities We Contacted: 

Figures: 

Figure 1: Flowchart of National-level EAS: 

Figure 2: FEMA's Vision of an Integrated Alert and Warning System: 

Abbreviations: 

ABIP: Alternative Broadcast Inspection Program: 

AMBER: America's Missing Broadcast Emergency Response: 

CAP: Common Alerting Protocols: 

DBS: Direct Broadcast Satellite: 

DEAS: Digital Emergency Alert System: 

DHS: Department of Homeland Security: 

EAS: Emergency Alert System: 

FCC: Federal Communications Commission: 

FEMA: Federal Emergency Management Agency: 

MSRC: Media Security and Reliability Council: 

NAB: National Association of Broadcasters: 

NCAM: National Center for Accessible Media: 

NOAA: National Oceanic and Atmospheric Administration: 

NPR: National Public Radio: 

NWS: National Weather Service: 

PEP: Primary Entry Point: 

PPW: Partnership for Public Warning: 

SMS Short Message Service: 

WARN Act: Warning, Alert, and Response Network Act: 

[End of section] 

United States Government Accountability Office: 
Washington, DC 20548: 

March 30, 2007: 

Congressional Committees: 

Effective emergency warnings via various telecommunications modes allow 
people to take actions that save lives, reduce damage, and reduce human 
suffering. Hurricane Katrina and the terrorist attacks of September 11, 
2001, highlighted the need for timely, accurate emergency information 
and underscored the vulnerability of America's emergency response 
infrastructure. Hurricane Katrina, in particular, severely tested the 
reliability and resiliency of the communications infrastructure in the 
Gulf Coast region. For example, according to an independent panel 
reviewing the impact of Hurricane Katrina, in the aftermath of the 
storm, approximately 100 broadcast stations were unable to transmit, 
hundreds of thousands of cable customers lost service, millions of 
customers' telephone lines were knocked out of service, and even the 
generally resilient public safety networks experienced massive outages. 
The Emergency Alert System (EAS), which relies primarily on broadcast 
media, is one of the mainstays of the United States' capacity to issue 
warnings. The nation's first alert system was begun in the 1950s as 
part of America's response to the threat of a nuclear attack, and today 
EAS remains a tool for the President to issue messages preempting all 
other broadcast programming. Concern has arisen that the current alert 
system is inadequate for effectively warning the public about natural 
disasters or terrorist attacks, as well as for providing information on 
how to respond to a disaster or attack. The current system was not 
designed to alert the public on devices other than radios or 
televisions. The federal government, recognizing some of the shortfalls 
of the current system, has initiatives underway to improve its 
reliability, expand it to include new technologies, and integrate the 
new technologies into the existing alert system. 

This report, initiated under GAO's general authority to examine 
government operations, provides information on issues surrounding 
emergency communications. In particular, we reviewed (1) the media's 
ability to meet federal requirements for participating in the Emergency 
Alert System, (2) stakeholder views on the challenges facing the 
Emergency Alert System and potential changes to it, and (3) the 
progress made toward developing an integrated public alert and warning 
system. 

To meet these objectives, we interviewed over 40 representatives of 
media providers, including radio and television broadcasters, cable 
companies, and satellite operators, as well as state EAS contacts, 
state and local emergency management officials, state broadcasting 
associations, and local cable associations. For the state and local 
contacts, we conducted interviews in seven selected states, California, 
Florida, Kansas, Mississippi, New York, Texas, and Virginia. We 
selected geographically diverse states that had recently experienced 
major natural disasters or man-made emergencies. We met with officials 
of the Federal Communications Commission (FCC), the Federal Emergency 
Management Agency (FEMA), the Department of Commerce's National Weather 
Service, and the National Academy of Engineering, a division of the 
National Academy of Sciences. We reviewed FCC's proposed rulemaking 
related to EAS and the comments FCC received on the rulemaking. We also 
spoke with industry trade groups representing broadcast television and 
radio stations, cable operators, wireless service providers, public 
television, and the disabled community. A more detailed discussion of 
our scope and methodology appears in appendix I. We performed our 
review from April 2006 through January 2007 in accordance with 
generally accepted government auditing standards. 

Results in Brief: 

According to stakeholders, the media are generally prepared to 
participate in EAS as required, but EAS has limitations that could 
adversely affect its performance. FCC requires broadcast radio and 
television stations, cable operators, and satellite radio operators to 
participate in national-level EAS alerts. Direct broadcast satellite 
television operators will become subject to the requirements in May 
2007. To ensure that the media can participate in EAS, FCC has 
requirements for equipment and testing that are a condition of 
licensing, but it does not require broadcasters to certify their 
compliance, and inspects, on average, about 2 percent of licensed 
broadcasters and cable operators per year. While stakeholders told us, 
and we found during our visits, that media outlets generally appear 
equipped to issue an EAS alert as required, FEMA officials also told 
us, and we found, that individual outlets vary in their preparedness to 
participate in emergency communications. For example, one broadcaster 
said it conducts training drills and has a disaster plan that includes 
backup power generators and fuel to sustain operations for 2 to 3 days, 
while another broadcaster told us it does not have a disaster plan or a 
backup generator. In addition, stakeholders, including FEMA 
representatives, told us EAS has limitations that could constrain 
operations during an emergency. In particular, stakeholders expressed 
concern about the reliability of the relay system that would be used to 
disseminate national EAS messages to the public, saying it lacks 
redundancy and is vulnerable to power outages. Testing of the relay 
system is not required. As a result, FEMA and FCC might not be able to 
assure Congress and the public that the EAS relay system would work in 
the event of a national-level emergency. Furthermore, in a partial test 
of the national system, conducted in January 2007, 3 of the 33 
available primary relay stations failed to effectively relay the test 
message.[Footnote 1] According to a state emergency communications 
committee, in a state test, the message was not received beyond an area 
roughly 50 to 70 miles from the state capital. Other limitations of 
EAS, stakeholders said, were inadequate training of EAS personnel and a 
lack of coordination among state and local stakeholders. To ensure that 
EAS is capable of operating as intended, we are recommending that FEMA 
and FCC develop and implement a plan to verify (1) the dependability 
and effectiveness of the relay system that would be used to disseminate 
national EAS alerts, and (2) EAS participants have the training and 
technical skills to issue effective EAS alerts. 

FEMA officials and other stakeholders told us the current EAS faces 
technical, cultural, and other challenges, some of which may be 
addressed through proposed changes to the system. EAS provides messages 
over two media (television and radio), but does not transmit messages 
via other communications devices that Americans routinely use, such as 
cell phones, personal digital assistants, and computers. In addition, 
the current EAS does not facilitate the automatic issuing of alerts in 
languages other than English, and its alerts are not accessible to some 
members of the disabled community. According to some stakeholders, 
another challenge is that while most emergencies originate at the state 
and local levels, the broadcast of state and local EAS alerts is 
voluntary. Recognizing that an accurate, wide-reaching public alert and 
warning system is critical to public safety, FCC proposed changes to 
EAS in November 2005 to address some of the challenges facing the 
current system.[Footnote 2] Stakeholders we contacted expressed varying 
views on the proposed changes. For example, most favored expanding EAS 
alerts to other media, such as landline telephone and wireless service 
providers. However, stakeholders differed over whether broadcasts of 
state and local EAS alerts should be mandatory--the emergency managers 
generally favored this idea, but the broadcasters expressed concern 
that it could result in overalerting, which could lead the public to 
ignore EAS messages. Stakeholders also expressed a range of views on 
whether alerts should be issued in languages other than English and on 
how alerts could be made more accessible for the disabled. 

Several federal efforts to develop an integrated public alert and 
warning system--one that, ideally, would provide effective warnings at 
all times, in all places, under all conditions, and over all broadcast 
media devices available to the public--are underway, yet challenges 
remain. FEMA is conducting pilot projects under a public-private 
partnership called the Integrated Public Alert and Warning System. One 
such project, the Digital Emergency Alert System (DEAS), is testing how 
the digital capabilities of the nation's public radio and television 
stations and other networks--combined with the voluntary participation 
of cell phone service providers, public and commercial radio and 
television broadcasters, satellite radio, cable and Internet providers, 
and equipment manufacturers--can be used to provide alert and warning 
information to the public and to disaster support personnel. Other FEMA 
projects are designed to upgrade and expand the relay distribution 
system, provide more geographically targeted alerting capabilities, and 
develop an Internet-based alerting protocol for federal, state, and 
local officials to send and receive alerts using Web technologies. FEMA 
has also developed an implementation plan that outlines the agency's 
vision for an integrated alert system, and legislation has been enacted 
that enables the participation of wireless service providers in EAS. 
Despite this progress, challenges remain, including reaching agreement 
on a standardized technology for disseminating alerts, gaining 
collaboration among EAS stakeholders to ensure that all elements of the 
system can work together, providing adequate training for EAS 
participants, and obtaining adequate funding. Because of the 
technological complexities involved in developing an integrated alert 
system, and the need for such a wide range of stakeholders to 
participate in its development, we are recommending the establishment 
of a forum to bring all interested parties together for a 
comprehensive, strategic review of the system's implementation. 

We provided a draft of this report to the Department of Homeland 
Security (DHS) and FCC for their review and comment. In response, DHS 
agreed with the intent of our recommendations and provided technical 
comments that we incorporated as appropriate. See appendix III for 
written comments from DHS. FCC provided technical comments that we 
incorporated as appropriate. 

Background: 

EAS provides capacity for the United States to issue alerts and 
warnings to the public in response to emergencies.[Footnote 3] 
Broadcast radio and television stations, cable television systems, and 
satellite radio operators are currently required to participate in 
national-level (or presidential) EAS alerts, while participation in 
state and local EAS alerts is voluntary. To date, EAS has never been 
used to transmit a national-level alert. The first national warning 
system was created in 1951 to allow the President to communicate with 
the nation as part of America's response to the threat of a nuclear 
attack. The Emergency Broadcast System replaced this system in 1963, 
and state and local participation was allowed in 1976. In 1997, EAS 
replaced the Emergency Broadcast System. 

For presidential, or national-level, EAS alerts, a hierarchical 
distribution system would be used to relay the message. Currently, 34 
stations have been designated National Primary stations, often referred 
to as Primary Entry Point (PEP) stations.[Footnote 4] As the entry 
point for national level EAS messages, FEMA directly distributes 
presidential EAS alerts to the PEP stations. Broadcasts of these 
national-level alerts are relayed by the PEP stations across the 
country to radio and television stations that rebroadcast the message 
to other broadcast stations and cable systems until all EAS 
participants have been alerted.[Footnote 5] The retransmission of 
alerts from EAS participant to EAS participant is commonly referred to 
as a "daisy chain" distribution system. FCC requires EAS participants 
to install FCC-certified EAS equipment as a condition of licensing. 
Radio and television broadcast stations, cable companies, wireless 
cable companies, and satellite radio must participate in alerts 
initiated by the President. By contrast, their participation in state 
and local alerts is voluntary. Under FCC rules, EAS participants have 
the authority to determine whether to transmit nonfederal emergency 
messages. 

FCC promulgated new rules to include digital media carriage of national-
level EAS messages. In an FCC report and order released November 10, 
2005, EAS requirements were expanded to include digital communications 
over digital television and radio, digital cable, and satellite 
television and radio. Companies using these media will be required to 
install EAS equipment to handle digital formats.[Footnote 6] In a 
further notice of proposed rulemaking, FCC sought comment on what 
actions it should take to help expedite the development of a more 
comprehensive EAS. We discuss the proposed changes and stakeholder 
views on the changes in greater detail later in this report. 

EAS technology uses encoders and decoders (commonly referred to as 
"ENDECs") to send data signals recognized as emergency messages. An EAS 
alert is originated by an alerting official and sent to a broadcaster 
through an FCC-approved ENDEC. Where agreements have been put in place 
with broadcasters, EAS messages can be created and activated by state 
or local officials and transmitted automatically to the public without 
the intervention of broadcasting staff. These EAS messages can use live 
or prerecorded audio, including computer-generated text-to-speech audio 
in some jurisdictions. All EAS messages carry a unique code that can be 
matched to codes embedded in transmitting equipment; this code 
authenticates the sender of the EAS message. To facilitate the 
transmittal of emergency messages, messages are classified by types of 
events, which also are coded. These event codes speed the recognition 
and retransmittal process at broadcast stations. Figure 1 shows how 
national-level EAS alerts are initiated and broadcast. 

Figure 1: Figure 1: Flowchart of National-level EAS: 

[See PDF for image] 

Sources: FEMA and GAO. 

[End of figure] 

EAS is part of an overall public alert and warning system under the 
jurisdiction of FEMA, one of the component agencies of DHS. In June 
2006, the President issued an executive order detailing the 
responsibilities of the Secretary of Homeland Security as they relate 
to an integrated and comprehensive alert and warning system. These 
responsibilities include administering EAS as a critical component of 
the public alert and warning system. FCC manages EAS participation. FCC 
currently provides technical standards and support for EAS, rules for 
its operation, and enforcement within the over-the-air broadcast, 
cable, and satellite broadcast industries. FEMA works with the 
emergency response officials, who typically initiate an EAS message for 
a state or local emergency. 

Several organizations work on issues related to EAS. An FCC federal 
advisory committee, called the Media Security and Reliability Council, 
has created model disaster recovery plans specific to each media 
industry--including broadcast radio and television, cable systems, and 
satellite radio and television. Furthermore, in January 2006, FCC 
established an independent panel to review the impact of Hurricane 
Katrina on communications networks. In a report issued in June 2006, 
the panel made several recommendations to FCC related to EAS.[Footnote 
7] Other organizations that participate in EAS planning and 
administration include the Primary Entry Point Administrative 
Council[Footnote 8], and associations such as the National Association 
of Broadcasters and state broadcasting associations. States and 
localities organize emergency communications committees whose members 
often include representatives from broadcasting companies or local 
television and radio stations. These committees agree on the chain of 
command and other procedures for activating EAS alerts. See appendix II 
for additional information on some of the public-private partnerships 
involved in emergency communications. 

Media Appear Generally Prepared for Required Participation in Emergency 
Communications, but the Current National Alert System Has Limitations: 

Broadcast radio and television stations, cable operators, and satellite 
radio operators are required to participate in national-level EAS 
alerts, and satellite television will become subject to the 
requirements in May of 2007. These media outlets appear generally 
prepared to meet these requirements. However, FCC has limited measures 
in place to ensure compliance with EAS requirements. The participation 
of media outlets in state and local alerts via EAS, such as weather 
warnings or other emergency communications issued by state or local 
entities, is voluntary. While media outlets are using EAS to broadcast 
emergency information, FEMA officials and other EAS participants that 
we contacted told us the current system has limitations. Most notably, 
we heard that the relay system, or daisy chain, around which EAS is 
designed to disseminate presidential alerts requires additional 
augmentation to improve its reliability. 

Media Outlets Appear Generally Able to Meet Federal EAS Requirements, 
although FCC Has Limited Measures to Ensure Compliance: 

FCC requires television, radio, cable[Footnote 9], and satellite radio 
broadcasters to participate in national-level EAS alerts. As discussed 
later in more detail, the television, radio, and cable operators we 
spoke with said they were generally prepared to meet the federal 
requirements. However, according to FEMA, individual media outlets vary 
in their technical preparedness to mitigate against damage from a 
disaster so they can continue reporting and providing critical 
information. A FEMA official further told us that, in terms of 
preparedness, broadcasters should develop plans for continuity of 
operations during emergencies. For example, during Hurricane Katrina 
the U.S. Coast Guard used the services of a private ship-to-shore 
communications company because almost all other sources of 
communications were inoperable. 

Broadcast television and radio: Stakeholders such as the National 
Association of Broadcasters (NAB) stated that broadcasters are the most 
reliable and robust media outlets for delivering emergency information 
to the public. According to data from FCC, less than 1 percent of radio 
and television stations have sought and received waivers from EAS 
requirements. The broadcasters (both radio and television) that we 
visited told us they had installed the equipment necessary to issue EAS 
alerts and indicated that they were prepared to participate in 
emergency communications. A state broadcasting association that we 
contacted believes the broadcasters in that state are prepared to 
participate in emergency communications. Moreover, another state 
broadcasting association told us its members are well prepared today to 
issue EAS alerts in large part because of the statewide implementation 
of the America's Missing Broadcast Emergency Response (AMBER) Alert 
system. In particular, the association said that the statewide 
implementation and testing of the AMBER Alert system exposed 
deficiencies with stations' preparedness to participate in EAS alerts, 
such as inadequate training in the use of EAS equipment and incorrect 
coding of the ENDEC. The state association said it addressed these 
issues by conducting EAS seminars across the state. 

Additionally, according to an NAB survey published in 2006, the number 
of television and radio stations with written disaster recovery plans 
has increased since 2003. Of those stations responding to NAB's survey, 
the portion with written disaster recovery plans had increased from 47 
percent to 71 percent for television stations and from 15 percent to 49 
percent for radio stations from 2003 to 2006. However, it was not 
clear, from our discussions with broadcasters, how extensively these 
plans have been implemented and tested. For example, one broadcaster we 
contacted told us it does not have a disaster recovery plan or a backup 
power generator at the station. As a result, in the event of a power 
grid failure, the station could lose the ability to broadcast. However, 
another broadcaster told us its station had a disaster recovery plan 
that included a number of safeguards designed to ensure the broadcaster 
could stay on the air during emergencies. For example, the broadcaster 
said the plan includes having backup equipment or redundancy mechanisms 
for all essential equipment, including the EAS receiver, backup 
generators, and fuel for 2 to 3 days in addition to three separate 
power feeds connecting the station to the power grid. The broadcaster 
said it has conducted training drills simulating emergency situations 
and is continually working to improve emergency preparedness. 

Cable: Representatives of the cable industry, as well as officials from 
cable systems that we contacted, told us cable systems are generally 
prepared to participate in national EAS alerts as required. 
Representatives of the cable television industry, as well as various 
cable systems officials, said cable systems are passive participants in 
EAS, meaning the cable systems typically retransmit EAS alerts 
automatically.[Footnote 10] A cable industry representative told us 
some smaller cable systems have sought and received waivers from the 
federal EAS requirements. According to FCC, waivers of EAS requirements 
are currently in effect for 242 cable systems nationwide. These 242 
cable systems are very small, each with fewer than 100 subscribers, and 
represent approximately 8,600 subscribers in total. FCC indicated it 
grants waivers because compliance with EAS requirements could represent 
a significant financial hardship for very small cable systems. 

One issue that might hinder cable companies' participation in emergency 
communications is their inability to quickly gain access to their 
transmission lines for repairs in the aftermath of an emergency. 
Representatives from a cable system told us local officials often deny 
cable systems immediate access to repair their transmission lines, 
which are located with electrical power lines on utility poles, during 
or after emergencies like severe storms. They said cable companies are 
unable to repair their lines until power companies have completed any 
repairs and yielded access to the utility poles. Representatives from 
another cable system told us that law enforcement officials do not 
consider cable to be a critical service, a fact that impedes their 
ability to gain access to their lines and restore cable service after a 
disaster. They said cable should be considered a critical service, 
given the increasing role of cable companies in telecommunications and 
broadband communications and, hence, as conduits in emergency alerts. 

Satellite television: FCC does not require satellite television 
operators to comply with EAS requirements until May 31, 2007.[Footnote 
11] However, according to FEMA, the satellite television operators have 
been working with FEMA to ensure they will be able to disseminate EAS 
alerts. Additionally, satellite television operators carrying local 
television stations are currently passing through EAS messages aired on 
local television stations. According to one satellite television 
operator, the new federal requirements pose technical challenges, and 
to comply with the requirements, the operator would need to develop a 
system capable of broadcasting alerts on its channels. According to the 
operator, it is working with FCC engineers to set processes and 
guidelines to implement EAS, but is still in the early stages of this 
process. 

Satellite radio: Satellite radio operators were required to participate 
in EAS by December 31, 2006.[Footnote 12] According to one satellite 
radio operator, an advantage of using satellite technology is that the 
transmission of satellite radio is unaffected by disasters on the 
ground because the satellites transmitting programming are located 
thousands of miles above the earth. Not only is its infrastructure 
unaffected by earthbound disruptions, this satellite radio operator 
indicated it is also able to broadcast from a backup operations center. 

While media outlets appeared generally prepared to issue EAS messages, 
we found FCC has limited measures in place to ensure the media's 
compliance with EAS requirements, such as those for installing the 
proper EAS equipment and performing the required system tests. 
Compliance with FCC regulations and requirements is a condition of 
receiving a broadcasting license. However, FCC does not have a specific 
EAS certification as part of the licensing process. Furthermore, FCC 
does not have a comprehensive program to ensure every licensee complies 
with EAS requirements. Rather, FCC inspects a limited number of 
licensees to ensure compliance with federal regulations, including EAS 
requirements. FCC told us it had conducted approximately 1,800 EAS- 
specific inspections over the last 3 years--enough to inspect about 2 
percent of the licensees subject to EAS requirements each 
year.[Footnote 13] In addition to these inspections, FCC relies on the 
private sector to conduct inspections through its Alternative Broadcast 
Inspection Program (ABIP). Under this program, which is administered in 
conjunction with state broadcast associations, third parties hired by 
the broadcast associations conduct inspections of broadcasters that 
mirror FCC's inspections. Broadcasters found to be in compliance 
receive a certification ensuring that FCC will not inspect the station 
for 3 years under normal circumstances. FCC said it can inspect such a 
station if, for example, it received a complaint. According to FCC, all 
states in the nation participate in ABIP agreements. Besides requiring 
licensees to have the proper equipment, FCC requires them to test their 
ability to send and receive EAS alerts. Although this equipment testing 
is mandatory, FCC does not receive confirmation that the tests were 
conducted properly. However, EAS participants are required to maintain 
logs of their EAS tests that are subject to FCC inspection and 
enforcement action in cases of noncompliance. 

Media Outlets Broadcast State and Local Alerts Voluntarily: 

As noted, there has been no national-level EAS alert to date. EAS 
participants voluntarily broadcast state and local alerts, such as 
weather warnings or other emergency communications. Some television 
stations we visited told us they voluntarily issue state and local 
alerts for business reasons and to serve the public interest. In 
particular, we heard from two television broadcasters that the local 
broadcast environment is highly competitive and viewers want emergency 
information. Consequently, these television stations provide coverage 
and analysis of emergencies for an extended period without 
interruptions or commercial breaks. Additionally, in response to 
Hurricane Katrina, a state broadcast association in the Gulf Coast 
region told us broadcasters conveyed continuous information about 
shelters, food, how to locate missing friends and relatives, and where 
to access assistance. 

Satellite television operators, while not yet required to participate 
in EAS, told us they participate in emergency communications by 
voluntarily providing services to their subscribers. For example, two 
satellite television operators told us that when the terrorist attacks 
of September 11 destroyed the World Trade Center, knocking out 
broadcasting and cable services in parts of the New York City area and 
disrupting the transmission of information on the disaster, satellite 
television operators entered into agreements with broadcasters and 
cable operators to provide a local broadcast signal, allowing news 
stations to provide service to their customers during the immediate 
aftermath of the attacks. Satellite television operators provided this 
service voluntarily and free of charge. More recently, during the 
aftermath of Hurricane Katrina, a satellite television operator said it 
dedicated a channel full-time to disseminating emergency-related 
information. This channel voluntarily carried messages from FEMA and 
the American Red Cross, as well as live press conferences from 
government and public safety officials. Additionally, this channel 
carried local messages on shelters, transportation, and safety. 

Satellite radio operators told us that they carry special emergency 
channels and other channels that provide critical information in the 
event of regional or national disasters. For example, one satellite 
radio operator said it monitors national news organizations, FEMA, and 
the National Oceanic and Atmospheric Administration and transmits 
emergency information on its dedicated emergency alert channel during a 
regional or national disaster. In recent years, for example, this 
emergency channel has covered Hurricane Katrina, tornadoes in Florida, 
a chlorine gas leak in Atlanta, and flooding in New England. This 
operator told us the emergency channel is provided free of charge and 
can be heard on all the operator's radios, regardless of subscription. 
Another satellite radio operator told us it offers its subscribers 
channels that broadcast news, weather, and official emergency 
information during severe and life-threatening weather events for 
selected metropolitan areas. This same operator has indicated that it 
is working to create a text override, which would be displayed on all 
receivers, directing listeners to turn to the emergency channel. 

The Current Emergency Alert System Has Limitations: 

Although media outlets are using EAS to deliver emergency information, 
FEMA officials and other EAS participants told us it has limitations. 
In particular, FEMA officials expressed concern about the reliability 
of the relay system, or daisy chain, used to disseminate national-level 
EAS messages. In addition, they expressed significant concern about the 
reliability of electrical power for broadcast stations during 
disasters, noting that without electrical power (or fuel for backup 
generators), a broadcaster cannot issue emergency alerts.[Footnote 14] 
Other stakeholders we contacted characterized the relay system as 
antiquated and also identified potential problems with it. We heard 
that a lack of redundancy among key broadcasters makes the current 
daisy chain system prone to failure. For example, the chair of a state 
emergency communications committee told us redundancy is lacking among 
the PEP stations, and therefore, if a PEP station were disabled during 
a disaster in a major metropolitan area, an EAS alert would likely fail 
to reach a sizable portion of the population. A stakeholder also 
expressed concern that gaps in radio coverage could hinder the 
successful dissemination of EAS alerts. In particular, a representative 
of a state broadcast association we contacted indicated that some radio 
stations have difficulty in monitoring their PEP because the PEP is 
located far away in a neighboring state. Stakeholders also said the 
relay system was too slow to transmit EAS alerts to the public in a 
timely manner. For example, a technical consultant to a state broadcast 
association estimated that it would take an hour to disseminate an EAS 
alert throughout the state. Finally, according to the Media Security 
and Reliability Council, many states believe the relay system is 
unreliable and do not believe an alert would reach the entire state in 
a real emergency. 

To improve the reliability of the relay system, FEMA has added 
satellite uplink connectivity to about 860 public radio stations that 
can receive national-level alerts from FEMA and provisioned PEP 
stations in hurricane-affected regions with satellite terminals. In 
addition, FEMA told us it is planning further efforts in 2007 to 
improve the reliability of the national-level EAS. These efforts 
include introducing the Digital EAS program across the county[Footnote 
15]; adding three new PEP sites in Mississippi, Alabama, and Florida; 
and providing direct FEMA connectivity to key radio and television 
stations through new communications paths provided by XM Radio and 
public television. 

Despite these efforts to improve the relay system, we found a lack of 
ongoing testing to ensure that the system would work as intended during 
a national-level alert. FCC requires individual stations to test their 
EAS equipment, and FEMA tests the 34 PEP stations, but there is no 
requirement for a national-level test of the relay system. On January 
8, 2007, FEMA conducted an over-the-air national-level EAS test. This 
test, which FEMA said was the culmination of several years of effort, 
demonstrated that the connectivity to the public radio satellite uplink 
worked effectively. However, 3 PEP stations failed to receive and 
effectively rebroadcast the national-level test message. FEMA 
attributed these failures to problems with software (2 stations) and 
hardware (1 station). According to FEMA, these problems have been 
resolved, but questions remain about the reliability of the relay 
system, since the test was not designed to reach the nonpublic radio 
stations that, together with the public radio stations, would be 
responsible for relaying a national-level alert. Therefore, FEMA and 
FCC might not be able to assure Congress and the public that the relay 
system would work during a national-level emergency. Indeed, according 
to a state emergency communications committee, in a statewide testing 
of EAS, the relay system did not work as intended and the message was 
not received beyond an area roughly 50 to 70 miles from the state 
capital. The emergency communications committee indicated that the 
stations' encoders were set incorrectly to receive the emergency alert 
and control rooms at some of the radio stations were unmanned, so no 
one was available to manually retransmit the alerts. 

Another limitation of the current alerting system, stakeholders said, 
is inadequate training for EAS participants, both in the use of EAS 
equipment and in the drafting of EAS messages. During the mid-1990s, 
FEMA provided training for emergency management personnel through EAS 
workshops, but it now offers training only for those emergency managers 
who are participating in pilot projects related to the Integrated 
Public Alert and Warning System.[Footnote 16] According to the 
Partnership for Public Warning, EAS participants require extensive 
training to properly set up EAS equipment. The Partnership for Public 
Warning further reported that personnel using EAS equipment often lack 
proper training and that inadequate training is a main factor 
preventing the nation from having a unified warning system. It 
subsequently recommended training for all EAS stakeholders to ensure 
that they are trained and qualified to perform their roles in the use 
of the system. Similarly, a presidential advisory group identified that 
training of industry personnel to use equipment properly is a problem 
of EAS. State and local officials also identified inadequate training 
as a limitation of the current EAS. For example, the director of a 
state emergency communications committee described the lack of EAS 
training for emergency personnel who craft the messages as the primary 
challenge facing his state's EAS. The director further noted that 
turnover among these emergency personnel is frequent and creates a 
constant need for EAS training. In addition, a state EAS chair 
described inadequate training of personnel in crafting EAS alerts as a 
significant limitation. A county emergency manager elaborated, 
developing a hypothetical example of a poorly crafted EAS message that 
could unnecessarily panic the public. He said an EAS alert warning of 
flooding in "West Texas" could be interpreted as referring to a city 
called West, Texas, or to the entire western portion of the state. If 
the city alone was affected, but the western portion of the state was 
understood, the alert could be broadcast far beyond the affected areas, 
causing unnecessary panic. However, he said, a situation like this 
could likely be avoided by providing additional instruction for 
emergency personnel on how to create effective EAS messages. 
Additionally, a local emergency communications committee chairman added 
that local government officials and emergency responders are generally 
unaware of the capabilities of EAS and underutilize the system. He told 
us additional training could help address this situation. 

A final limitation of EAS that we heard about was a lack of 
coordination among EAS stakeholders at the state and local levels. A 
member of a state emergency communications committee said that, 
historically, there has been little coordination between the media and 
the state emergency management office and that the broadcast industry 
had little involvement in his state's initial EAS plan. A participant 
from the Media Security and Reliability Council noted that coordination 
among broadcast media and other local stakeholders during emergencies 
is a major issue that has yet to be addressed. Such coordination could 
be achieved through the development of detailed regional and local 
emergency response plans, which would coordinate the actions of local 
officials and broadcasters in response to emergencies. He said to date, 
such plans have largely not been developed. In one case, we heard of a 
lack of coordination among stakeholders on the use of EAS. In 
particular, a local radio broadcaster, which also serves as a PEP for a 
major metropolitan area, told us it no longer automatically relays EAS 
alerts issued by the National Weather Service (NWS). He said 
broadcasters are displeased with the increase in programming 
interruptions resulting from NWS's increase in EAS activations. 

Stakeholders Have Identified Various Challenges Facing the Current 
Emergency Alert System and Hold Differing Views on the Proposed Changes 
to the System: 

We heard from various stakeholders that the current EAS faces many 
challenges, making it not fully conducive to the technical capabilities 
or the cultural needs of the nation's increasingly mobile, disparate, 
and diverse population. For example, the current system provides alerts 
via television and radio only and does not issue alerts in multiple 
languages. In addition, EAS has limited geo-targeted ability--that is, 
it cannot target alert messages to a specific geographic location, and 
as discussed earlier, it uses an antiquated relay system that some 
stakeholders believe is unreliable for disseminating national-level 
alerts. Even though millions of Americans have hearing loss or vision 
trouble[Footnote 17], FEMA and others have said that EAS has poor 
alerting capabilities for the disabled community. Furthermore, while we 
heard that most emergencies originate at the state and local levels, 
the broadcast of state and local EAS alerts is not federally mandated. 
Ideally, FEMA said the system should be able to provide federal, state, 
and local emergency management officials with multiple means (voice, 
data, and video using radios, televisions, cell phones, e-mail, 
computer devices, pagers, sirens, loudspeakers, and other technologies) 
to inform the broadest possible public with coordinated alerts. 
Recognizing that an accurate, wide-reaching public alert and warning 
system is critical to public safety, in November 2005, FCC proposed 
changes to EAS to address some of these challenges. The potential 
changes include (1) requiring the mandatory broadcast of state and 
local EAS alerts, (2) expanding EAS alerts to other media, (3) issuing 
multilingual EAS alerts, (4) making EAS alerts more accessible to 
persons with disabilities, (5) distributing alerts to media directly 
rather than using the hierarchical relay system, (6) establishing 
performance standards to ensure accurate and timely EAS alerts, and (7) 
adopting common alerting protocols for EAS alerts. As discussed in the 
remainder of this section of the report, we found stakeholders' views 
on the impact of the potential changes varied. 

Mandatory broadcast of state and local EAS alerts: As stated 
previously, the broadcast of state and local EAS alerts is voluntary, 
and FCC sought comment on whether it should require EAS participants to 
broadcast state and local alerts. The stakeholders we contacted held 
divergent views on this proposed change. Supporters of expanding EAS 
requirements to cover local alerts generally included state and local 
emergency managers but also broadcast media and cable representatives, 
who told us they believe the requirement will result in a more 
effective system. For example, one emergency manager said that all 
emergencies start locally and EAS needs to consider the needs of state 
and local entities in order to be effective. A media operator told us 
it supports this proposed requirement because an effective EAS requires 
more than the voluntary participation of the media outlets. However, 
this operator also supports constraints on these requirements to 
prevent overalerting--that is, issuing so many alerts that the public 
ignores them. Other supporters suggested conditions for new 
requirements such as obtaining the support of all stakeholders and 
leaving the implementation of the requirement to each state. 

Media providers and media advocacy groups that opposed the expansion of 
EAS requirements to cover state and local alerts cited various reasons, 
including concerns about decreasing the amount of information 
communicated during an emergency, difficulties filtering large numbers 
of messages, and business concerns. According to one media operator, 
mandating state and local EAS alerts could limit the amount of 
information provided to viewers if an alert providing general or 
outdated information preempted an alert providing detailed, current 
information. The operator also said that it could support the 
requirement if it specified a time frame for the alert to air, so as to 
not interrupt coverage. Other opponents of expansion told us that 
voluntarily issuing state and local alerts allows them to filter out 
poorly drafted or irrelevant messages. For example, one broadcasters 
association said that requiring EAS participants to issue state and 
local alerts would give media operators no flexibility in dealing with 
badly written messages. This association thinks that if a requirement 
exists, the originators of EAS messages will have no reason to make 
certain the messages are clearly worded and their audio quality is 
high. A media provider also expressed concern about overalerting the 
public and said the broadcasters need to be able to filter out 
irrelevant information. According to this provider, voluntary alerts 
create a balance of power that allows media providers to issue alerts 
only when they are appropriate, thereby preventing the system from 
being abused or overused. Other stakeholders maintained that requiring 
state and local alerts would be an ineffective means of alerting the 
public because the alerts lack geographic specificity. According to 
these stakeholders, greater use of widespread alerts by media providers 
would increase spillover effects--that is, inattention to alerts 
resulting from the receipt of too many inapplicable warnings. Satellite 
radio operators also expressed concern about overalerting. Moreover, 
they told us the national footprint of satellite programming makes 
issuing state and local EAS alerts problematic, since a local alert 
would be issued nationwide and all subscribers would receive all 
alerts. Finally, stakeholders cited business concerns as reasons for 
opposing this proposal. One media operator said mandatory alerts 
interfere with business because each hour of programming has a limited 
number of minutes allotted to sell commercials, and each EAS alert 
results in lost revenue for the operator. 

Expanding EAS alerts to other media: EAS's current reliance on 
broadcasters, cable systems, and satellite radio providers to transmit 
emergency messages renders other important communications devices, such 
as cell phones, personal digital assistants, and computers--devices 
that many Americans use repeatedly in their daily lives--immaterial for 
emergency communications. FCC sought comment on including additional 
media in EAS, such as landline telephone providers and wireless service 
providers. According to a representative of the commercial mobile 
(wireless) industry, wireless providers did not favor a mandate 
requiring their participation in EAS. However, the representative said 
that major commercial mobile service providers recognize the value of 
emergency alerts, particularly because of their participation in the 
Wireless AMBER Alert system, and would be willing to participate in a 
national emergency alert system that reflects the recommendations of 
the advisory panel established by the Warning, Alert, and Response 
Network Act (WARN Act) to examine this issue.[Footnote 18]  

Most other stakeholders favored expanding EAS to other forms of media, 
saying doing so would ensure that EAS alerts reach a wider audience. 
Stakeholders believed using multiple forms of media would broaden the 
reach of an EAS alert, given the trend toward an increasingly 
splintered media audience and increasing diversity in modern 
communications. Stakeholders believed an ideal warning system should 
reach the public through a variety of media forms. Other stakeholders 
said the expansion of EAS to other media would be fair, given the 
current EAS requirements for traditional broadcasters. 

Stakeholders who did not favor expanding EAS requirements to other 
media expressed several concerns, suggesting that policymakers should 
first address the shortcomings of the current EAS before expanding it 
to other media. A radio broadcaster said any expansion of EAS to other 
media should not result in additional requirements for broadcasters. 
Rather, the broadcaster said, the burden of accommodating other forms 
of media should be the responsibility of EAS alert originators. Another 
stakeholder questioned the efficacy of expanding EAS to commercial 
mobile service devices (i.e., cell phones), claiming such networks are 
likely to become overloaded and fail in an emergency. 

Multilingual EAS messages: EAS alerts provided only in English might 
not be understood by non-English speakers living in the United States. 
Until FCC and the media address this issue, FCC proposed that 
multilingual emergency information be provided in areas where a 
significant proportion of the population is primarily fluent in a 
language other than English. FCC asked for comment on other proposals 
about how best to alert non-English speakers. The stakeholders we 
contacted had divergent views in terms of requiring multilingual 
alerts. The majority of broadcasters we spoke with were not in favor of 
mandating multilingual alerts, preferring compliance to be voluntary. 
They cited numerous challenges associated with requiring multilingual 
alerts, including potential technical difficulties to issue alerts in 
more than one language at a time. In particular, we heard it is 
difficult to transmit clearly worded and recoded messages on time for 
multilingual alerts, and that if two separate messages were issued (one 
in English and one in another language), the equipment might construe 
the first message as an error and delete it. Any message delays could 
have negative consequences for the public. Broadcasters and others 
expressed a fundamental concern about choosing how other languages 
would be chosen to issue the alerts. Some broadcasters serving major 
metropolitan areas told us many languages are spoken in their 
communities, so it would be problematic to choose just one non-English 
language for the EAS alerts. One broadcaster told us his radio station 
does not have the staff to translate EAS alerts into other languages, 
but if the station received the multilingual alerts, it would try to 
pass them along. 

One emergency manager we contacted voiced support for multilingual 
alerts and believed that requiring them is long overdue, especially in 
communities that are becoming increasingly diverse and economically 
disadvantaged. Furthermore, one broadcasters association mentioned that 
during Hurricane Katrina and its immediate aftermath, as many as 
300,000 people were without emergency information because they did not 
speak English fluently and emergency information was unavailable in any 
language other than English. Another emergency manager told us that 
some rural counties in his state have large migrant worker populations 
that do not speak English; however, there are no emergency 
communications targeted to non-English speakers in those areas. 

Accessibility to persons with disabilities: According to the National 
Center for Health Statistics, there are approximately 54 million adults 
in the United States with some level of hearing or vision trouble. FEMA 
and others have said EAS has poor alerting capabilities for the 
disabled community. FCC said that it is committed to ensuring that 
persons with disabilities have equal access to public warnings and are 
considered in emergency preparedness planning. FCC sought comment on 
making EAS alerts more accessible to people with disabilities. While 
stakeholders were not opposed to making alerts more accessible, many 
believed accessibility could be addressed at the individual level. For 
example, eight stakeholders we interviewed said that improving access 
to EAS alerts for the disabled could be done at the individual level. 
According to these stakeholders, access can be improved through 
multiple sensory alerting devices, such as bed shakers, vibrating 
pagers, and flashing lights, as well as by subscription to additional 
alert systems, which deliver important emergency alerts, notifications, 
and updates during major crises. One stakeholder we interviewed told us 
about a system that sends emergency information to registered devices 
such as e-mail accounts, cell phones, text pagers, satellite phones, 
and wireless personal digital assistants. 

Organizations representing the disabled have said that individuals with 
hearing and vision disabilities are subject to inconsistent aural and 
visual information in EAS alerts. They also told us that because of 
inadequate captioning during breaking news events and the lack of an 
audio description of crawling text alerts, those with hearing and 
vision disabilities can miss vital information during emergencies. One 
organization said that disabled individuals currently have less access 
to EAS messages than they did in the past, because video alert messages 
include only truncated versions of audio alert messages, make increased 
use of crawling text and on-screen graphics with no related audio 
information, and do not comply with related captioning mandates. 

The National Center for Accessible Media (NCAM), a research and 
development facility dedicated to media and information technology 
issues for people with disabilities, compiled a working draft of 
information requirements intended to improve access to emergency 
alerts. According to NCAM's information model, a warning message should 
be compatible with various transmission systems and provide warning 
message details in text, audio, multiple languages, and images or other 
visual forms. Additionally, NCAM's information model recommends the use 
of multiple presentation forms appropriate to the needs of individual 
recipients; the appropriate use of font size, foreground/background 
color, and other visual attributes in image and text presentations; and 
the use of appropriate language for comprehension by the at-risk 
audience. 

Point-to-multipoint distribution of EAS alerts: The current EAS uses a 
relay system to distribute national-level emergency alerts, which--as 
mentioned previously--some EAS participants view as unreliable. FEMA 
has added satellite uplink connectivity to approximately 860 public 
radio stations so that they can receive national-level alerts directly. 
FCC sought comment on whether EAS alerts should be distributed directly 
to media outlets in a point-to-multipoint distribution system, rather 
than through the relay system. The stakeholders we contacted who 
offered opinions on this issue overwhelmingly favored the point-to- 
multipoint distribution, but some expressed concerns about the 
technical difficulties associated with its implementation. For example, 
a representative from a PEP station expressed concern that implementing 
a point-to-multipoint system would be challenging given the increasing 
prevalence of automated stations in the commercial radio industry. The 
representative also expressed concern that stations located in downtown 
areas might not be able to receive alerts in a satellite-based system 
because buildings often block the sight lines that are required to 
receive such satellite signals. According to a state broadcast 
association representative and a broadcast engineer, a point-to- 
multipoint system would require more levels of redundancy than EAS 
currently has. The engineer further told us that attempts to develop a 
satellite-based point-to-multipoint alert distribution system in his 
state had been unsuccessful despite significant investments of time and 
funds. 

Performance standards: Currently no performance standards exist to 
ensure that the American public receives accurate, timely alerts and 
warnings. FCC sought comment on whether performance standards are 
necessary. Most of our interviewees agreed that developing performance 
standards would help to ensure accurate, timely alerts. According to 
one emergency manager, developing performance standards is very 
important because everyone learns from mistakes, so the system would 
continue to improve and the public would be more likely to receive 
accurate and timely alerts. A broadcast association representative told 
us that FCC should have a role in determining performance standards for 
EAS alerts to ensure high-quality messages and proper standards for 
operating EAS equipment. 

Common alerting protocols: Endorsed by many entities responsible for 
alerts, Common Alerting Protocols (CAP) might offer the most practical 
means of quickly creating an effective interface between the emergency 
manager and multiple emergency alert systems to improve national alert 
and warning capability. FCC sought comment on whether common protocols 
are necessary for the rapid flow of emergency alerts to the public. The 
majority of stakeholders we contacted who were knowledgeable about CAP 
supported its adoption. According to Society of Broadcast Engineers 
comments filed with FCC, CAP will provide a universal language that can 
be understood by the growing array of digital communication devices. 
The comments indicated that CAP has the potential to become the 
language translator not only for incoming and outgoing warnings but 
also for non-EAS alerts and advisories. For example, CAP's capabilities 
can be used to trigger sirens, which would benefit those with visual 
impairments. According to a chief information officer of one state, 
adopting CAP is the key to success for any public warning system. 
However, the system should be open--that is, nonproprietary. He further 
said that CAP should evolve through an inclusive process that takes 
into account the opinions and needs of all stakeholders, including 
television, radio, microwave, and satellite services providers, among 
others. 

Several Projects Are Underway to Develop an Integrated Public Alert and 
Warning System, but Challenges to Its Implementation Remain: 

According to FCC, several federal initiatives are underway to improve, 
expand, and integrate existing warning systems. For example, FEMA is 
conducting various pilot projects under a public-private partnership 
called the Integrated Public Alert and Warning System and has also 
developed an implementation plan that outlines its vision for an 
integrated alert system. Legislation has also been enacted that enables 
the participation of wireless service providers in EAS. Despite this 
progress, FEMA officials and other stakeholders said challenges to the 
implementation of an integrated system remain, including issues 
associated with coordination, training, and funding. 

FEMA Pilot Projects and Other Initiatives Aim to Integrate the 
Emergency Alert System: 

FEMA officials told us they are trying to develop a technologically 
enhanced alert and warning system that provides effective warnings at 
all times, in all places, under all conditions, and over all broadcast 
media devices available to the public. According to FEMA, the new 
integrated system will build on the current EAS and leverage advanced 
communications technologies to provide additional methods of 
originating and disseminating EAS messages. The agency has established 
various pilot projects related to the development of an integrated 
public alert and warning system. One such pilot, called the Digital 
Emergency Alert System, is testing how the digital capabilities of our 
nation's public radio and television stations and other networks-- 
combined with the voluntary participation of cell phone service 
providers; public and commercial radio and television broadcasters; 
satellite radio, cable, and Internet providers; and equipment 
manufacturers--can be used to provide alert and warning information to 
the public and to disaster support personnel. As stated by FEMA, a goal 
of the pilot is to expand the system so that everyone, regardless of 
location or time of day, will receive emergency information. The 
national DEAS pilot will run for 1 year beginning in January 2007, with 
all public broadcasting stations (over 300 nationwide) to be DEAS- 
enabled by December 2007. In conjunction with DEAS, FEMA plans to 
upgrade the existing EAS network. To provide a resilient PEP radio 
station for every state and territory, FEMA plans to eventually expand 
the number of PEP stations from 34 to 63, and will add 3 PEP stations 
in 2007. FEMA has also recently provided satellite connectivity to 15 
existing PEP radio stations in hurricane-affected states and 
territories (12 states and 2 territories). Furthermore, FEMA is working 
with the Primary Entry Point Administrative Council to provide 
equipment and technical support to five radio stations in the Gulf 
Coast states (Texas, Louisiana, Mississippi, Alabama, and Florida) to 
help ensure they are prepared for the 2007 hurricane season and other 
future storms or disasters. 

Other FEMA initiatives include the (1) development of the Geo-Targeted 
Alerting System, (2) piloting of the DHS Web Alert and Relay Network, 
and (3) provisioning of National Oceanic and Atmospheric Administration 
(NOAA) all-hazards radios for public schools. The Geo-Targeted Alerting 
System is a pilot program to integrate near-real-time weather and 
hazard predictions and provide geo-targeted alerting to homes, 
buildings, and neighborhoods via cell phones, landline phones, pagers, 
desktop computers, sirens, and other geo-aware devices. This pilot is 
planned to conclude in 2007 with the development of a national Geo- 
Targeted Alerting System deployment plan. The Web Alert and Relay 
Network is a pilot program to enable federal, state, and local 
officials to send and receive alerts using Web technologies, and to 
provide links to state and local alert and warning Web pages. This 
relay network pilot started in 2005 and is expected to extend to all 
states and territories by 2011. Last, DHS has provided all-hazards NOAA 
weather radios to 16,000 public schools and plans to ensure that all 
remaining public schools in the United States have the radios by 2011. 

FEMA has also developed an implementation plan outlining its vision for 
an integrated alert system, which FEMA summarizes as "one message over 
more channels to more people at all times and places." The plan 
outlines various tasks related to executing the integrated alert and 
warning system that are designed to ensure, among other things, that 
the President can alert and warn the American people under all 
conditions. One key task is for FEMA to consult, coordinate, and 
cooperate with private and public sector entities, including 
communications media organizations and federal, state, territorial, 
tribal, and local governmental authorities, including emergency 
response providers, as appropriate. As shown in figure 2, with an 
integrated alerting system, FEMA envisions coordinated messages 
traveling over more channels to reach the public through multiple media 
devices, including cell phones, pagers, road signs, and the Internet, 
as well as the existing EAS technologies. 

Figure 2: Figure 2: FEMA's Vision of an Integrated Alert and Warning 
System: 

[See PDF for image] 

Source: FEMA and GAO. 

[End of figure] 

Also related to the development of an integrated alert system is the 
enactment of the WARN Act.[Footnote 19] The act requires FCC to 
complete a rulemaking proceeding to adopt relevant technical standards, 
protocols, procedures, and other technical requirements necessary to 
enable commercial mobile service providers (wireless providers) to 
issue emergency alerts. The act provides for the appointment of an 
advisory panel, called the Commercial Mobile Service Alert Advisory 
Committee[Footnote 20], to recommend the technical specifications and 
protocols that will govern wireless providers that choose to 
participate in emergency alerting. The advisory panel is to submit its 
recommendations to FCC within 1 year of October 13, 2006, the date of 
the act's passage. Subsequently, the act requires FCC to complete 
rulemaking proceedings to adopt relevant technical standards and to 
allow wireless providers to transmit emergency alerts. Thereafter, 
wireless providers will have 30 days to elect to participate in 
emergency alerts. Wireless providers must either choose to participate 
in emergency alerting or inform both their new and existing customers 
that they do not provide this service. Thus, if the act's deadlines are 
met, wireless providers will be able to elect to participate in 
emergency alerts starting not later than September 2008. The committee 
is chaired by the FCC Chairman and includes 42 other members 
representing stakeholders in government (at the federal, state, local, 
and tribal levels), the wireless communications industry, broadcasters, 
the disabled community, and other subject area experts. 

Stakeholders Cited Challenges to the Implementation of an Integrated 
Alert System: 

FEMA officials believe an integrated alert system will have advantages 
over the current system but told us challenges to its implementation 
remain. A key challenge, FEMA said, is gaining the cooperation of 
federal, state, and local emergency management organizations on the use 
of a standardized technology for disseminating alerts. Many believe a 
standardized technology, or common messaging protocol, is necessary to 
distribute simultaneous messages over multiple platforms. Additionally, 
we believe the implementation of an integrated alert system will 
require collaboration among a variety of stakeholders to ensure that 
all elements of the system can work together and can convey accurate, 
timely emergency alerts to all Americans. According to FEMA's 
implementation plan, consulting, coordinating, and cooperating with 
diverse stakeholders are cornerstones in the effective execution of the 
public alert and warning system. Furthermore, the plan says all of the 
FEMA pilot projects require regular interaction with private sector and 
media organizations. However, there does not appear to be a 
collaborative, consensus-based forum for all interested stakeholders-- 
public and private--to work together to develop processes, standards, 
systems, and strategies related to implementing an integrated system. 
The Partnership for Public Warning previously existed as such a forum, 
and its objectives included fostering communication, cooperation, and 
consensus among key stakeholders; promoting and conducting research and 
studies on alert and warning issues; assisting and advising government 
officials on the development, implementation, and operation of public 
warning systems, technologies, policies, and procedures; and supporting 
the timely generation of standards, specifications, and protocols. In 
the absence of such a forum, coordination might continue on an ad hoc, 
rather than a strategic, basis. According to one stakeholder, federal 
efforts to develop an integrated system have focused thus far on the 
ability of EAS to deliver a national alert, to the exclusion of state 
and local needs. In particular, a state emergency manager told us his 
organization, which has developed an advanced alert system, had not 
been contacted by FEMA regarding its experience in the system's design 
or implementation. 

Extending alerts to wireless providers is another challenge to the 
implementation of an integrated alert system that stakeholders 
identified. In general, commercial mobile services networks are 
designed for point-to-point communications, whereas EAS today relies on 
broadcasters for point-to-multipoint communications. Commercial mobile 
services (i.e., wireless) networks are not currently designed to 
broadcast messages on a point-to-multipoint basis like television and 
radio networks. Instead, wireless networks currently send messages by a 
point-to-point design in which network traffic is routed to and from 
individual recipients using database and switching technology. Given 
their point-to-point design, these networks generally only have the 
capacity to serve a certain percentage of subscribers at any one time. 
Because wireless networks are designed for point-to-point 
communications and do not have the capacity to serve all subscribers 
simultaneously, a representative of the industry told us wireless 
providers would be unable to deliver a national-level EAS alert on a 
timely basis. FEMA told us it plans to use CAP to accommodate cell 
broadcast, SMS[Footnote 21], and other various transmission standards 
so that one- way alerting messages can be distributed through wireless 
networks. As required by the WARN Act, the Commercial Mobile Service 
Alert Advisory Committee is addressing the technical issues currently 
affecting the participation of wireless providers in emergency 
communications. 

In addition to these technical challenges, stakeholders have noted that 
other challenges currently facing EAS will also face an integrated 
system, including the challenges associated with accessibility, 
training, and funding. FEMA, for example, has said that the 
difficulties involved in making EAS alerts accessible to non-English 
speakers and to the disabled will likewise be barriers to the 
development of an integrated alert and warning system. Similarly, the 
Congressional Research Service has observed that incorporating 
technologies that expand the reach of EAS for people with special 
needs, such as those with disabilities, the elderly, and those who do 
not understand English, at a reasonable cost, is one of the challenges 
of delivering an effective warning system that is truly nationwide. 
Advocates for the disabled have expressed particular concern about the 
costs of purchasing the additional equipment that the disabled may need 
to receive emergency information through individualized means. 
According to these advocates, the cost of such equipment generally 
falls on the disabled consumers, who, the advocates told us, are more 
likely to have limited financial resources than other consumers. As a 
step toward addressing the accessibility challenge, FEMA said it is 
planning to conduct pilot projects during the 2007 hurricane season to 
show how the Integrated Public Alert and Warning System will provide 
more effective alerts for disabled communities in the future. 

Providing adequate training in the proper use of emergency alert 
equipment and in the drafting of effective alert messages will remain a 
challenge in developing an integrated system. As noted, the Partnership 
for Public Warning identified inadequate training as a main factor 
preventing the nation from having a unified warning system and 
recommended training for all EAS stakeholders. A state emergency 
manager also told us that training of all stakeholders is vital to a 
comprehensive alert and warning system, and a state broadcasters 
association representative said training is the only way to address the 
possibility of human failure, which he described as the key challenge 
in developing an integrated system. Stakeholders further emphasized the 
importance of training emergency personnel to develop well-crafted 
alert messages that the public will be able to understand and act on 
appropriately. To address the training challenge, FEMA is developing a 
Web site that will provide general EAS and other public alert and 
warning training for emergency managers. FEMA expects this Web portal 
to have full operational capability in 2008. However, strategies to 
convey training information, coordination with a variety of government 
and other stakeholders who can facilitate an EAS training environment, 
and measures to ascertain the program's effectiveness have not been 
completed and tested. 

Finally, FEMA cited a lack of funding as a challenge to the 
implementation of the integrated system. According to FEMA, it is 
currently funded to provide enhanced public alert and warning 
capabilities primarily in three states (Louisiana, Mississippi, and 
Alabama), and significant additional funding is required to field 
integrated public alert and warning system improvements across the rest 
of the United States. 

Conclusions: 

The ability to communicate reliable emergency information to the public 
is critical during disasters, and effective emergency warnings allow 
people to take actions that could save lives and property. While EAS is 
one of the mainstays of the nation's capacity to issue such warnings, 
its reliability is uncertain. With no requirements to test the relay 
system for disseminating national alerts and with no nationwide test 
results--apart from the partial test conducted in January 2007, in 
which three primary relay stations failed to transmit or receive the 
emergency message--the public lacks assurance that the system would 
work in a national emergency. Although several federal initiatives are 
underway to integrate existing warning systems and FEMA is planning to 
nearly double the number of primary relay stations in order to increase 
the system's redundancy, these initiatives have just begun to receive 
funding and are likely to take years to implement. In the meantime, 
questions remain about the reliability of EAS's relay system. 

Adequate training for all EAS participants is critical to ensure that 
they are qualified to use the equipment and to draft effective 
emergency messages that the public will be able to understand and act 
on appropriately. Despite the federal government's efforts to integrate 
and improve EAS, the system will be ineffective if the public ignores 
alerts or does not take appropriate action based on the information 
provided. 

Effectively implementing an integrated alert system will require 
collaboration among a broad spectrum of stakeholders, including those 
at the federal, state, and local levels; private industry; and the 
affected consumer community. FEMA believes that the effective execution 
of the public alert and warning system requires consulting, 
coordinating, and cooperating with diverse stakeholders. However, a 
regular forum for public and private stakeholders to discuss emerging 
issues related to the implementation of the integrated alert system 
does not exist. Without such a forum, coordination among the diverse 
stakeholders could occur on an ad hoc basis, but there would be no 
systematic means of bringing all interested public and private 
stakeholders together for a comprehensive, strategic review of the 
processes, standards, systems, and strategies related to the 
implementation of the integrated public alert and warning system. 

Recommendations for Executive Action: 

To ensure that the Emergency Alert System is capable of operating as 
intended and that coordination with a variety of stakeholders on the 
implementation of the integrated public alert and warning system 
exists, we recommend that the Secretary of Homeland Security direct the 
Director, FEMA, to work in conjunction with the Chairman, FCC, to take 
the following actions: 

* Develop and implement a plan to verify (1) the dependability and 
effectiveness of the relay distribution system, which is used to 
disseminate national-level EAS alerts, and (2) that EAS participants 
have the training and technical skills to issue effective EAS alerts. 

* Establish a forum for the diverse stakeholders involved with 
emergency communications to discuss emerging and other issues related 
to the implementation of an integrated public alert and warning system. 
Representation on the forum should include relevant federal agencies, 
state and local governments, private industry, and the affected 
consumer community. 

Agency Comments: 

We provided a draft of this report to DHS and FCC. In its response, DHS 
agreed with the intent of our recommendations and noted that FEMA will 
continue to conduct regular tests of the system in coordination with 
FCC to include the new quarterly "over-the-air" tests of the national- 
level relay. DHS also provided technical comments that we incorporated 
into the report as appropriate. Written comments from DHS are provided 
in appendix III. FCC provided comments via e-mail and noted that its 
staff circulated a Second Report and Order addressing various issues 
raised in the November 2005 further notice of proposed rulemaking 
including (1) extension of EAS to other media, (2) transmission of EAS 
alerts issued by governors, and (3) issues related to the development 
of a next-generation EAS. Further, FCC provided technical comments that 
we incorporated into the report as appropriate. 

We are sending copies of this report to interested congressional 
committees; the Secretary of Homeland Security; the Chairman of FCC; 
and the Director of FEMA. We will make copies available to others upon 
request. The report is available at no charge on GAO's Web site at 
http://www.gao.gov. Contact points for our offices of Congressional 
Relations and Public Affairs may be found on the last page of this 
report. 

If you or your staff have any questions concerning this report, please 
contact me at (202) 512-2834 or goldsteinm@gao.gov. Key contributors to 
this report were Sally Moino, Assistant Director; Hamid Ali; Aaron 
Kaminsky; Bert Japikse; Mick Ray; Jennie Sparandara; and Deborah 
Winters. 

Signed by: 

Mark L. Goldstein: 
Director, Physical Infrastructure Issues: 

List of Congressional Committees: 

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

The Honorable Ted Stevens: 
Vice-Chairman: 
Committee on Commerce, Science, and Transportation: 
United States Senate: 

The Honorable Henry Waxman: 
Chairman: 
The Honorable Tom Davis: 
Ranking Member: 
Committee on Oversight and Government Reform: 
House of Representatives: 

The Honorable John D. Dingell: 
Chairman: 
The Honorable Joe Barton: 
Ranking Member: 
Committee on Energy and Commerce: 
House of Representatives: 

The Honorable Edward J. Markey: 
Chairman: 
The Honorable Fred Upton: 
Ranking Member: 
Subcommittee on Telecommunications and the Internet: 
Committee on Energy and Commerce: 
House of Representatives: 

The Honorable Jose Seranno: 
Chairman: 
The Honorable Ralph Regula: 
Ranking Member: 
Subcommittee on Financial Services and General Government: 
Committee on Appropriations: 
House of Representatives: 

The Honorable Dennis J. Kucinich: 
Chairman: 
Subcommittee on Domestic Policy, 
Committee on Oversight and Government Reform: 
House of Representatives: 

[End of section] 

Appendix I: Objectives, Scope, and Methodology: 

This report, initiated under GAO's general authority to examine 
government operations, provides information on (1) the media's ability 
to meet federal requirements for participating in the Emergency Alert 
System, (2) stakeholder views on the challenges facing the Emergency 
Alert System and potential changes to it, and (3) the progress made 
toward developing an integrated public alert and warning system. 

To meet these objectives, we collected information from various 
stakeholders on the Emergency Alert System (EAS), challenges facing EAS 
and proposed changes to it, and efforts to develop an integrated 
system. In particular, we interviewed representatives of media 
providers, including radio and television broadcasters, cable 
companies, satellite television and satellite radio operators, state 
and local emergency management officials, and state broadcasting 
associations. We also interviewed officials with the Federal 
Communications Commission (FCC), the Federal Emergency Management 
Agency (FEMA), the National Weather Service (NWS), and the National 
Academy of Engineering. In addition, we met with industry trade 
associations, including the National Association of Broadcasters, the 
National Cable & Telecommunications Association, the Wireless 
Association (commonly referred to as CTIA), and the Association of 
Public Television Stations, and with two organizations representing the 
disabled--the National Council on Disability and the National Center 
for Accessible Media. We analyzed data on the number of waivers to EAS 
requirements that FCC granted to media providers. Additionally, we 
reviewed FCC's proposed rulemaking related to EAS and the comments FCC 
received on the rulemaking. 

To obtain information from the state and local levels, we employed a 
case study approach. The case studies consisted of interviews with 
state and local officials and representatives in seven states: 
California, Florida, Kansas, Mississippi, New York, Texas, and 
Virginia. We selected these states because of their recent experience 
with natural disasters or man-made emergencies and their geographic 
diversity. We interviewed state and local emergency management 
officials, state broadcasting association directors or officers, and 
representatives of other media organizations involved in emergency 
communications, including local broadcast radio, television, cable 
systems, and National Weather Service Forecast Offices. Table 1 
provides more detailed information on the states and localities we 
selected and the entities we interviewed. 

Table 1: Case Study States and Entities We Contacted: 

State: Kansas; 
Emergency management: 
* State emergency management; 
* Kansas City; 
State association of broadcasters: 
* Kansas Association of Broadcasters; 
Media: 
* Broadcast radio; 
* Broadcast television; 
National Weather Service: [Empty]. 

State: Virginia; 
Emergency management: 
* State emergency management; 
* Fairfax County; 
State association of broadcasters: 
* Virginia Association of Broadcasters; 
Media: 
* Broadcast radio; 
* Broadcast television; 
* Cable system; 
National Weather Service: 
* Washington, D.C./Baltimore Forecast Office. 

State: Mississippi; 
Emergency management: 
* State emergency management; 
* City of Jackson; 
State association of broadcasters: 
* Mississippi Association of Broadcasters; 
Media: 
* Broadcast radio; 
* Broadcast television; 
National Weather Service: 
* Jackson Forecast Office. 

State: Florida; 
Emergency management: 
* State emergency management; 
* City of Tallahassee; 
State association of broadcasters: 
* Florida Association of Broadcasters; 
Media: 
* Broadcast radio; 
* Broadcast television; 
National Weather Service: 
* Tallahassee Forecast Office. 

State: New York; 
Emergency management: 
* State emergency management; 
State association of broadcasters: 
* New York State Broadcasters Association; 
Media: 
* Broadcast radio; 
* Broadcast television; 
* Cable system; 
National Weather Service: [Empty]. 

State: Texas; 
Emergency management: 
* State emergency management; 
* City of Fort Worth; 
State association of broadcasters: 
* Texas Association of Broadcasters; 
Media: 
* Broadcast radio; 
* Broadcast television; 
* Cable system; 
National Weather Service: 
* Fort Worth/ Dallas Forecast Office. 

State: California; 
Emergency management: 
* State emergency management; 
* Contra Costa County; 
State association of broadcasters: 
* California Broadcasters Association; 
Media: 
* Broadcast radio; 
National Weather Service: 
* Los Angeles/Oxnard Forecast Station. 

Source: GAO. 

[End of table] 

Our analysis identified issues at the state and local level that would 
not be apparent in nationwide discussions or analysis. However, because 
we used a case study method, our results are not generalizable to all 
states and localities. We performed our work from April 2006 through 
January 2007 in accordance with generally accepted government auditing 
standards. 

[End of section] 

Appendix II: Public-Private Partnerships Involved in Emergency 
Communications: 

Various public-private partnerships work on issues related to EAS, 
including the Media Security and Reliability Council, the independent 
panel established to review the impact of Hurricane Katrina on 
communications networks, and the Partnership for Public Warning. 
Information on these entities follows. 

Media Security and Reliability Council: The Media Security and 
Reliability Council (MSRC) is a federal advisory committee established 
by FCC to study, develop, and report on communications and coordination 
designed to ensure the optimal reliability, robustness, and security of 
the broadcast and multichannel video programming distribution 
industries in emergency situations. 

MSRC's mission was to prepare a comprehensive national strategy for 
securing and sustaining broadcast and multichannel video facilities 
throughout the United States during terrorist attacks, natural 
disasters, and all other threats or attacks nationwide. Additionally, 
MSRC was to develop and provide recommendations to FCC and the media 
industry on detecting, preparing for, preventing, protecting against, 
responding to, and recovering from terrorist threats, natural 
disasters, or other attacks on America's infrastructure and people. 
Members of MSRC, including senior representatives of mass media 
companies, cable television and satellite service providers, trade 
associations, public safety representatives, manufacturers, and other 
related entities, developed, among other things, best practice 
recommendations, model documents, and other resources. For example, the 
council developed best practice recommendations for media companies 
aimed at helping to (1) ensure the security and sustainability of 
broadcast and multichannel video facilities throughout the United 
States; (2) ensure the availability of adequate transmission capability 
during events or periods of exceptional stress due to natural 
disasters, man-made attacks, or similar occurrences; and (3) facilitate 
the rapid restoration of broadcast and multichannel video programming 
distributor services in the event of disruptions. 

In addition, MSRC developed model vulnerability checklists and disaster 
recovery plans for local radio and television stations, cable systems, 
and satellite operators. In particular, MSRC's best practices 
recommended that each national media facility have a vulnerability 
assessment and a disaster recovery plan that is periodically reviewed, 
updated, and practiced. A disaster recovery plan enables the media 
provider to assess the vulnerability of and impact on critical systems 
and to recover operations and essential services in the event of a 
natural or man-made disaster or other emergency. Topics covered in the 
disaster recovery plan include vulnerability assessment and prevention, 
plan distribution and maintenance, staff roles and responsibilities, 
essential equipment and materials, internal and external 
communications, emergency procedures, recovery and restoration 
procedures, and periodic plan testing. Documents and additional 
information on MSRC can be found on its Web site, 
http://www.mediasecurity.org/. 

Independent Panel Reviewing the Impact of Hurricane Katrina on 
Communications Networks: FCC established the panel to (1) study the 
impact of Hurricane Katrina on the telecommunications and media 
infrastructure, including public safety communications; (2) review the 
sufficiency of the recovery efforts with respect to infrastructure; and 
(3) make recommendations for improving disaster preparedness, network 
reliability, and communication among first responders in the future. In 
June 2006, the panel issued a report summarizing its findings.[Footnote 
22] According to the report, Hurricane Katrina had a devastating impact 
on the communications networks in the Gulf Coast region because of 
flooding, lack of power and fuel, and the failure of redundant pathways 
for communications traffic. The panel reported that state and local 
officials did not use EAS to provide localized emergency evacuation and 
other important information. According to the panel, because EAS was 
not activated, inconsistent or erroneous information was sometimes 
provided within the affected area. The panel also reported that a major 
challenge was ensuring that emergency communications reach Americans 
who have hearing or vision disabilities or do not speak English. The 
panel made several recommendations to FCC related to EAS. For example, 
the panel recommended that FCC take action to revitalize EAS by (1) 
educating state and local officials, as well as the public, about EAS; 
(2) completing its proceeding to explore the viability of expanding EAS 
to other technologies; and (3) exploring the viability of establishing 
a comprehensive national warning system that complements existing 
systems. The panel made other recommendations aimed at making alerts 
more accessible for persons with disabilities and non-English speakers. 

Partnership for Public Warning: The Partnership for Public Warning 
(PPW) was a public/private not-for-profit institute that worked to 
promote and enhance efficient, effective, and integrated dissemination 
of public warnings and related information so as to save lives, reduce 
disaster losses, and speed recovery. PPW was created as a nonprofit 
consortium for the government, private industry, and the public to work 
together to identify the major challenges to improving the nation's 
public warning capability and reach consensus on effective solutions 
and strategies. Participants included state and local emergency 
managers, private sector industry executives, nonprofit organizations, 
representatives of academia and of special needs constituencies such as 
the deaf and hard of hearing, members of the public, and federal 
agencies. 

Given that EAS serves as the United States' primary national warning 
system, PPW conducted an assessment of the system to provide a 
definitive description and evaluation of it. This assessment was used 
as a basis for recommending ways to make immediate improvements to EAS 
in areas where PPW identified significant policy, management, and 
operational challenges. According to PPW, this assessment was a major 
factor behind FCC's notice of proposed rulemaking in 2005, which sought 
comment on actions needed to expedite development of a more 
comprehensive system. 

In addition to its work helping support of EAS, PPW said that it was 
responsible for developing and promoting the first common alerting 
protocol, focusing national attention on the need to improve public 
warning capabilities by educating senior government executives and the 
public, and producing a consensus-based national strategy and 
implementation plan for creating a more effective national capability 
to warn and inform citizens during times of emergency. While PPW is no 
longer active, additional information can be found at 
http://www.ppw.us/ppw/. 

[End of section] 

Appendix III: Comments from the Department of Homeland Security: 

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

March 8, 2006: 

Mr. Mark L. Goldstein: 
Director, Physical Infrastructure Issues: 
U.S. Government Accountability Office: 
441 G Street, NW: 
Washington, DC 20548: 

Dear Mr. Goldstein: 

RE: Draft Report GAO-07-411, Emergency Preparedness: Current Emergency 
Alert System Has Limitations and Development of a New Integrated System 
Has Challenges (GAO Job Code 543161): 

The Department of Homeland Security appreciates the opportunity to 
review and comment on the draft report referenced above. The Government 
Accountability Office (GAO) makes two recommendations to the 
Administrator at the Federal Emergency Management Agency (FEMA) and the 
Chairman of the Federal Communications Commission. The recommendations 
are designed to ensure that the Emergency Alert System operates as 
intended and that coordination with stakeholders on the implementation 
of the integrated public alert and warning system exists. We agree with 
the intent of the recommendations. 

We agree that additional planning and effort is required to ensure that 
the relay system upon which the Emergency Alert System (EAS) depends is 
reliable and effective and that EAS participants have the training to 
issue effective EAS alerts. To that end, FEMA will continue to conduct 
regular tests of the system in coordination with the Federal 
Communications Commission (FCC) to include the new quarterly "over-the- 
air" tests of the national-level relay. In addition, FEMA, in 
coordination with the FCC, will continue to work to fulfill the 
requirements of Executive Order 13407, Public Alert and Warning System, 
which includes: (1) assessing how well the current system works, (2) 
implementing improvements to the overall system, and (3) improving the 
training for EAS operators as well as making the system more user 
friendly. 

GAO also recommends that FEMA, working in conjunction with the FCC, 
establish a forum for the diverse stakeholders involved with emergency 
communications to discuss emerging and other issues related to the 
implementation of an integrated public alert and warning system. FEMA 
recognizes the need for Federal, state, and local stakeholders to work 
together to rapidly improve the public alert and warning "system of 
systems." To that end, FEMA will continue to meet regularly with the 
FCC and other community stakeholders to ensure that the evolving public 
alert and warning systems will effectively protect life and property. 
For example, FEMA and the FCC are working closely together through such 
forums as the Commercial Mobile Services Alert Advisory Committee 
(CMSAAC) to address the challenges of implementing an integrated alert 
system. In addition, FEMA will continue to work with the FCC, 
Commerce's National Oceanic and Atmospheric Administration, and other 
stakeholders through our Integrated Public Alert and Warning System 
(IPAWS) pilot programs to ensure that all stakeholders are able to 
participate in the improvement process. Finally, FEMA will continue to 
sponsor IPAWS meetings and conferences, as well as participate in other 
related meetings, to ensure effective coordination is occurring among 
alert and warning stakeholders. 

Sincerely, 

Signed by: 

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

[End of section] 

(543161) 

FOOTNOTES 

[1] One primary relay station was moving and was not available for the 
test. 

[2] The potential changes contemplate (1) requiring the mandatory 
broadcast of state and local EAS alerts; (2) expanding EAS alerts to 
other media; (3) issuing multilingual EAS alerts; (4) making EAS alerts 
more accessible to persons with disabilities; (5) distributing alerts 
to media directly, rather than using the hierarchical relay system; (6) 
establishing performance standards to ensure EAS alerts are accurate 
and timely; and (7) adopting common alerting protocols for EAS alerts. 
According the FCC, the Commission circulated a Second Report and Order 
in the EAS rulemaking proceeding that addresses various issues raised 
in the November 2005 further notice of proposed rulemaking including 
(1)extension of EAS to other media, (2) transmission of EAS alerts 
issued by governors, and (3) issues related to the development of a 
next-generation EAS. 

[3] EAS is not part of, or associated with, the Department of Homeland 
Security’s color-coded Homeland Security Advisory System, which advises 
public safety officials and the public at-large through a threat-based, 
color-coded system so that protective measures can be implemented to 
reduce the likelihood or impact of an attack. 

[4] FEMA is planning to designate additional PEP stations so that every 
state and territory is covered by a resilient PEP radio station. FEMA 
plans to expand the number of PEP stations from 34 to 63; 3 PEP 
stations will be added in 2007. 

[5] FEMA has added a direct national-level EAS connection between FEMA 
and the public radio satellite and terrestrial backbone so that the 
national-level EAS messages are sent directly to about 860 public radio 
stations across the country. 

[6] Satellite radio operators were required to participate in national-
level EAS alerts by December 2006, satellite television operators by 
May 2007. 

[7] Independent Panel Reviewing the Impact of Hurricane Katrina on 
Communications Networks, Report and Recommendations to the Federal 
Communications Commission, (Washington D.C.: June 12, 2006). 

[8] The Primary Entry Point Administrative Council assists DHS and FCC 
on matters related to the PEP portion of EAS. The council is also 
responsible for managing the installation and maintenance of program-
related equipment at the PEP radio stations. 

[9] According to the National Cable and Telecommunications Association, 
some cable television systems are required by states and localities to 
participate in local emergency communications through provisions in 
local cable franchise agreements. 

[10] A television broadcaster told us that EAS alerts transmitted by 
cable systems could override the broadcasters’ local coverage of 
emergency events, blocking important late-breaking information with a 
generic EAS alert. FCC has declined to adopt rules to prevent cable 
systems from overriding broadcast programming when transmitting state 
or local EAS alerts. However, it allows cable operators and 
broadcasters to enter into agreements in which the parties can agree 
that cable operators will not override broadcast programming when 
transmitting state or local EAS alerts. 

[11] The satellite television operators, which are also called Direct 
Broadcast Satellite (DBS) providers, include DIRECTV and EchoStar. 

[12] At the time or our review, the satellite radio industry consisted 
of two companies, XM Satellite Radio and SIRIUS. 

[13] FCC reported that, as of September 14, 2006, there were 18,749 
broadcast stations and 7,183 cable systems subject to EAS requirements. 
On the basis of the number of inspections reported by FCC over the last 
3 years, on average FCC has inspected approximately 2 percent of the 
licensees subject to EAS requirements per year. 

[14] Concern over electrical power is one of the chief reasons FEMA 
works with the Primary Entry Point Administrative Council to ensure 
that some key stations have the fuel and generators necessary to help 
ensure continuous operations following a disaster. 

[15] For additional information on the Digital EAS program, see the 
last section of this report. 

[16] For information on these pilot projects, see the last section of 
this report. 

[17] According to the Centers for Disease Control and Prevention, in 
the United States, there are 35.1 million adults with hearing trouble 
and 19.1 million with vision trouble. 

[18] The Warning, Alert, and Response Network Act was enacted on 
October 13, 2006, as title VI of the Security and Accountability for 
Every Port Act, Pub. L. 109-347. Additional information on the act can 
be found in the last section of this report. 

[19] P.L. 109-347, title VI. 

[20] The Commercial Mobile Service Alert Advisory Committee was not 
established as a federal advisory committee. The committee held its 
first meeting on December 12, 2006. 

[21] SMS is the Short Message Service format, a standard for delivery 
of text messages that is currently available to a majority of wireless 
subscribers. 

[22] Independent Panel Reviewing the Impact of Hurricane Katrina on 
Communications Networks, Report and Recommendations to the Federal 
Communications Commission, (Washington D.C.: June 12, 2006). 

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