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entitled 'Hurricanes Gustav And Ike Disaster Assistance: FEMA 
Strengthened Its Fraud Prevention Controls, but Customer Service Needs 
Improvement' which was released on June 19, 2009. 

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Report to Congressional Committees: 

United States Government Accountability Office: 
GAO: 

June 2009: 

Hurricanes Gustav And Ike Disaster Assistance: 

FEMA Strengthened Its Fraud Prevention Controls, but Customer Service 
Needs Improvement: 

GAO-09-671: 

GAO Highlights: 

Highlights of GAO-09-671, a report to congressional committees. 

Why GAO Did This Study: 

GAO’s previous work on Hurricanes Katrina and Rita identified fraud, 
waste, and abuse resulting from a lack of fraud-prevention controls 
within the Federal Emergency Management Agency’s (FEMA) assistance 
programs. For example, FEMA did not verify the identities or addresses 
of individuals applying for aid under its Individuals and Households 
Program (IHP). FEMA also did not verify the eligibility of individuals 
seeking shelter in FEMA-paid-for hotels and made duplicate payments to 
individuals who applied multiple times. GAO made numerous 
recommendations designed to improve these controls. 

To follow up on this work, GAO conducted undercover tests of the IHP 
process during the response to Hurricanes Gustav and Ike. This report 
discusses (1) whether FEMA’s controls have improved since Katrina and 
Rita and (2) issues GAO identified related to the customer service that 
FEMA provided. GAO submitted bogus applications for disaster 
assistance, met with FEMA officials, and contacted actual disaster 
victims to determine their experiences applying for aid. 

What GAO Found: 

FEMA has significantly improved its fraud prevention controls over 
disaster assistance. For example, FEMA now conducts identity and 
address verification on all applications and requires inspections prior 
to approving rental assistance. In addition, FEMA requires individuals 
in need of housing assistance to provide valid registration numbers 
before checking into FEMA-paid-for hotels. FEMA has also taken steps to 
flag and cancel duplicate registrations for the same disaster. These 
improvements made it more difficult for GAO to penetrate IHP controls 
for Hurricanes Gustav and Ike—only 1 of 10 fraudulent applications 
submitted by GAO received cash payments. 

However, GAO found flaws in FEMA’s controls that still leave the 
government vulnerable to fraud, waste, and abuse. GAO’s undercover 
tests show that a persistent fraudster can bypass many of these 
controls by submitting fabricated documents to prove identity or 
address and, as a result, obtain housing assistance. GAO also received 
duplicate payments for bogus hotel expenses. In addition, FEMA failed 
to properly inspect a bogus address GAO used to apply for assistance, 
ultimately sending GAO multiple checks for thousands of dollars in 
rental assistance. One of these checks is shown below. 

Figure: Rental Assistance Check Obtained as a Result of Undercover 
Application: 

[Refer to PDF for image: copy of check] 

Source: GAO. 

[End of figure] 

GAO observed several problems with FEMA’s customer service, which made 
it difficult for many real victims to apply for assistance or obtain 
shelter in a timely fashion. For example, one of GAO’s investigators 
called nine times over the course of 3 days—several times being put on 
hold for 20 minutes—--before being connected to an operator. Other 
investigators received incorrect information about the application 
process. Actual disaster victims confirmed these problems. One 
applicant reported having to call FEMA at 4 a.m. in order to reach an 
operator. FEMA cited several factors that contributed to this poor 
service, including a higher-than-expected call volume and an inability 
to meet projected call center staffing needs because a contractor 
failed to provide adequate staffing. Despite these issues, FEMA told 
GAO that it has made few changes in preparation for the 2009 hurricane 
season. 

What GAO Recommends: 

GAO recommends that FEMA establish random checks to assess documents 
submitted to support IHP applications and assess customer service 
findings to make improvements for future hurricane seasons. FEMA 
concurred and agreed to implement these recommendations. 

View [hyperlink, http://www.gao.gov/products/GAO-09-671] for key 
components. For more information, contact Gregory Kutz at (202) 512-
6722 or kutzg@gao.gov. 

[End of section] 

Contents: 

Letter: 

Background: 

FEMA Has Significantly Improved Fraud Prevention Controls over Disaster 
Assistance, but Weaknesses Still Exist: 

Some Disaster Victims Had Difficulty Registering for Assistance: 

Conclusions: 

Recommendations for Executive Action: 

Agency Comments: 

Appendix I: Comments from the Department of Homeland Security: 

Table: 

Table 1: Customer-Service Problems Described by Disaster Victims: 

Figure: 

Figure 1: Rental Assistance Check Obtained from Undercover Application: 

Abbreviations: 

FEMA: Federal Emergency Management Agency: 

GSA General Services Administration: 

IHP Individuals and Households Program: 

IRS Internal Revenue Service: 

SSN Social Security Number: 

[End of section] 

United States Government Accountability Office: Washington, DC 20548: 

June 19, 2009: 

Congressional Committees: 

In several previous reports and hearings related to Hurricanes Katrina 
and Rita, we found that significant control weaknesses in the Federal 
Emergency Management Agency's (FEMA) disaster assistance programs left 
the government vulnerable to fraud, waste, and abuse.[Footnote 1] 
Specifically, we found that FEMA's weak or nonexistent fraud prevention 
controls over cash assistance provided to disaster victims resulted in 
an estimated $1 billion in potentially fraudulent payments. Our work 
showed that these payments occurred mainly because FEMA did not 
consistently validate the identity of applicants who registered for 
assistance, inspect or confirm the physical existence of damaged 
addresses, and confirm whether potential aid recipients actually owned 
or occupied a damaged residence at the time of the disaster. FEMA also 
made thousands of dollars in duplicate payments to registrants who 
improperly claimed the same damaged addresses. In addition, we 
identified fraud and abuse related to the temporary housing assistance 
FEMA provided to individuals displaced by the disaster. For example, we 
found that FEMA allowed individuals to stay in FEMA-paid-for hotels 
even though they were already receiving rental housing or were 
ineligible for disaster assistance. 

This report provides a limited assessment of the controls FEMA had in 
place for disaster assistance during the response to Hurricanes Gustav 
and Ike. Specifically, we discuss (1) whether certain aspects of FEMA's 
fraud prevention controls have improved since Hurricanes Katrina and 
Rita and (2) issues we identified related to the customer service 
provided to disaster applicants. To perform this work, we submitted 10 
applications for disaster assistance through the Internet and by 
telephone using falsified identities, bogus addresses, and fictitious 
disaster stories. It is important to note that we did not use the 
identities or addresses of real people to submit these applications. We 
created counterfeit documents where applicable using publicly available 
materials. We also attempted to check in to FEMA-paid-for hotels posing 
as disaster victims. In addition, we interviewed FEMA officials, 
reviewed FEMA's policies and procedures, and reviewed our undercover 
applications with FEMA at the close of our investigation. We documented 
breakdowns in customer service by analyzing FEMA's response to our 
applications. We also obtained a database from FEMA containing the 
contact information for 1,000 individuals who successfully registered 
for disaster assistance; we called dozens of these individuals in an 
attempt to interview them concerning their experiences with FEMA. We 
conducted our investigative work from September 2008 through April 2009 
under the statutory authority given the Comptroller General of the 
United States to initiate such work and in accordance with standards 
prescribed by the Council of Inspectors General for Integrity and 
Efficiency. 

Background: 

Hurricanes Katrina and Rita caused catastrophic destruction to the Gulf 
Coast region, with an estimated combined total of $160 billion in 
damage. Estimates indicate that Hurricanes Gustav and Ike also caused 
billions of dollars in damage along the Gulf Coast region. FEMA assists 
disaster victims in part through its Individuals and Households Program 
(IHP), a component of the federal disaster-response efforts established 
under the Robert T. Stafford Disaster Relief and Emergency Assistance 
Act.[Footnote 2] FEMA determines whether individuals or households meet 
eligibility requirements for IHP assistance after they apply for 
registration either online or over the telephone. Applicants must 
submit identification information, including name, Social Security 
Number (SSN), and date of birth. Applicants must also provide a 
legitimate address affected by the hurricane; FEMA guidelines specify 
that eligibility for housing assistance is predicated on the registrant 
being displaced from his or her primary residence. 

IHP assistance can include temporary housing, home repair and personal 
property replacement, and other necessary expenses related to a 
disaster. For Hurricanes Katrina and Rita, FEMA also activated 
expedited assistance to provide immediate cash--in the form of $2,000 
payments--to eligible disaster victims to help with emergency needs for 
food, shelter, clothing, and personal necessities. Activating expedited 
assistance allowed FEMA to provide aid to disaster victims without 
requiring proof of property damage or other losses. FEMA did not 
activate expedited assistance for Hurricanes Gustav and Ike, although 
it did offer limited fast-track payments for individuals with critical 
needs as a result of Hurricane Gustav.[Footnote 3] As of March 2009, 
FEMA states that it has distributed approximately $665 million in IHP 
assistance to victims of Hurricanes Gustav and Ike, as compared to 
almost $8 billion for Hurricanes Katrina and Rita. This amount includes 
rental assistance, lodging, repairs, replacement, and other needs 
assistance. 

FEMA Has Significantly Improved Fraud Prevention Controls over Disaster 
Assistance, but Weaknesses Still Exist: 

Since Hurricanes Katrina and Rita, FEMA has improved its controls over 
identity and address verification and inspections, housing assistance 
in FEMA-paid-for hotels, and duplicate registrations. Improvements in 
these three key areas have reduced FEMA's risk of making payments based 
on fraudulent disaster assistance registrations. For example, for 
Hurricanes Ike and Gustav, FEMA conducted identity and address 
verification on all applications and required inspections prior to 
approving rental assistance. In addition, FEMA required individuals in 
need of housing assistance to provide valid registration numbers before 
checking into FEMA-paid-for hotels. FEMA has also taken steps to flag 
duplicate registrations submitted for the same disaster. Although these 
improvements are significant, our work shows that an identity thief or 
a persistent fraudster with basic counterfeiting skills could still 
obtain rental or hotel assistance by exploiting existing weaknesses in 
the registration and approval processes. In particular, we were able to 
bypass verification controls by submitting more sophisticated bogus 
identities and by providing FEMA with fictitious documentation to 
validate our registration information. For one of our registrations, 
these weaknesses allowed us to obtain thousands of dollars in rental 
assistance, approval for transitional housing, and duplicate 
reimbursements for fictitious hotel expenses. We were successful on 
this application not only because we submitted fictitious 
documentation, but also because FEMA's inspector failed to properly 
inspect our bogus damaged address. For other applications, falsified 
supporting documentation allowed us to obtain approval for transitional 
housing, and in one case we subsequently checked into two different 
hotels. Finally, we found that FEMA was unable to prevent duplicate 
registrations submitted for more than one disaster. 

Identity and Address Verification and Inspections: 

The following information describes (1) the control weaknesses related 
to identity and address verification and inspections that we identified 
during our work on Hurricanes Katrina and Rita, (2) the improvements we 
found as a result of our undercover tests during Hurricanes Gustav and 
Ike, and (3) flaws that still exist in the identity and address 
verification and inspection processes. 

Weaknesses in Address and Identity Verification and Inspections 
Identified after Hurricanes Katrina and Rita: As we reported 
previously, we found significant flaws in the process that FEMA used to 
approve individuals for disaster assistance payments after Hurricanes 
Katrina and Rita. For example, although FEMA subjected Internet 
applications to an identification verification process, it did not use 
this verification process for phone applications. Specifically, for 
Internet applications, a FEMA contractor used credit and other 
information to confirm that (1) the applicant's SSN matched with an SSN 
in public records and (2) that the SSN did not belong to a deceased 
individual. Applicants who were rejected through the Internet were 
advised to apply over the phone. However, phone applications were 
exempt from any identity verification. In addition, prior to providing 
assistance payments, FEMA did not use public records or inspections to 
verify the physical location of damaged addresses, nor did it confirm 
that applicants actually occupied a damaged address at the time of the 
disasters. 

As a result of these weaknesses, we were able to receive disaster 
assistance by using fictitious names and nonexistent addresses. For 
example, for one of our Hurricane Katrina applications, we used an 
empty lot in Louisiana as our damaged address. Although this damaged 
property address was clearly bogus, FEMA notified us that an inspector 
had confirmed that the property was damaged and subsequently sent us 
thousands of dollars in rental assistance. Through data mining, we 
identified cases where other applicants received assistance by using 
SSNs belonging to deceased individuals and by using storefronts, post 
office boxes, cemeteries, and nonexistent apartments as damaged 
addresses. Other cases we identified involved applicants that claimed 
to live at valid damaged addresses, even though they were actually 
incarcerated or living in states not affected by the Hurricanes. 

Improvements Identified during the Response to Hurricanes Gustav and 
Ike: FEMA made several improvements to the verification and inspection 
processes. For example, FEMA told us that the same identity- 
verification process is now automatically performed when an applicant 
applies through the Internet and over the phone. In addition, both 
Internet and phone applications are now subject to automatic address 
and occupancy verification. Address verification includes checks to 
confirm that an address is deliverable; is not a post office box or a 
business address; and is not a "high-risk," address such as a tattoo 
parlor, or a pawn shop. Occupancy/ownership verification confirms that 
an applicant occupies or owns the property through a check of property 
records. Applicants who register over the telephone and fail any of 
these verification tests still receive registration numbers, but FEMA 
requests additional documentation prior to any payments being made. 
According to FEMA, applicants can verify their identities by submitting 
tax forms, marriage licenses, or government-issued identification. 
Address and occupancy can be verified by submitting documents such as 
drivers' licenses, utility bills, and property-tax records. An 
applicant can fax the supporting documentation to FEMA or wait and 
provide them to an inspector. FEMA also told us that even if an 
applicant passed both identity and address verification, an inspector 
must meet with an applicant to further verify occupancy and to confirm 
that a property was damaged in order to be eligible for rental 
assistance. 

Our undercover applications for Hurricanes Gustav and Ike confirm these 
improvements, as described in the following examples: 

* Five of our 10 applications initially failed identity verification. 
For these 5 applications, we used falsified identification information 
similar to what we used for Hurricanes Katrina and Rita. Specifically, 
for these applications, we used either completely fabricated names and 
SSNs, or names with valid dates of birth and SSNs but without any 
credit history, such as credit card or bank activity. We could not 
successfully register some identities by using the Internet and were 
instructed to apply by phone.[Footnote 4] At the end of the phone 
application process, FEMA call center operators provided us with 
registration numbers but also told us that there were "verification 
errors" associated with our registrations. Although the operators told 
us that inspectors would be contacting us to schedule an inspection of 
our property, we were instructed to provide additional documentation to 
validate our identities. 

* All 10 of our applications initially failed address and occupancy 
verification. For all 10, we used fabricated address information, 
including street addresses that did not exist and the addresses of 
local municipal buildings. When we later reviewed our applications with 
FEMA, we found that all 10 were flagged as having errors, in part 
because the addresses we used were not deliverable or because the names 
we used did not match property records associated with the addresses. 

* The inspection process prevented us from receiving rental assistance 
for 9 of our 10 applications. Specifically, the 9 addresses we selected 
for these applications were either not private residences or they were 
not actually damaged by the hurricanes. Therefore, although FEMA 
inspectors left messages requesting that we schedule inspections, we 
did not meet with them. For example, for 1 of our applications we used 
the address of a Texas elementary school in an area affected by 
Hurricane Ike. Prior to scheduling an inspection, the inspector called 
us from the school requesting clarification as to where we resided. We 
discontinued the application as a result of this call. 

Continued Weaknesses in Address and Identity Verification and 
Inspections: We were able to circumvent FEMA's initial controls by 
using valid identities with credit histories and by submitting 
fabricated identification and address information. For one of our 
registrations, these weaknesses, coupled with FEMA's failure to 
correctly inspect our fictitious address, allowed us to obtain rental 
assistance and duplicate reimbursements for fictitious hotel expenses. 

* Six of our 10 applications passed identity-verification controls on 
the first try through the Internet and over the phone, in part because 
we simulated the actions of an identity thief by using identities with 
legitimate dates of birth, SSNs, and credit histories.[Footnote 5] 
Because some of these identities were valid, FEMA appropriately did not 
find any verification errors. However, FEMA also did not identify the 
fact that one of the identities with a credit history showed that we 
lived outside the areas affected by the hurricanes. For 1 of our 
applications, we used a name and SSN that were linked to credit records 
in Virginia, with no record of activity in Texas or the surrounding 
area. In this way, a fraudster could steal an identity from anyone in 
the country and use it to pass FEMA's identity tests. 

* Five of our 10 applications eventually passed either identity or 
address verification or both because FEMA accepted fabricated 
supporting documents we submitted as legitimate. For example, for 1 of 
the applications, we registered by phone using a completely fake name, 
date of birth, and "999-XX-XXXX" as our SSN. FEMA requested that we 
provide additional documentation to prove our identity, so we faxed in 
a bogus college transcript. When we subsequently reviewed our 
applications with FEMA, we found that this bogus transcript was deemed 
sufficient proof of identification. Similarly, we were able to submit 
fabricated tax forms and utility bills to prove address and occupancy. 
When we asked FEMA officials about the process for handling supporting 
documentation, they told us they do not take any steps to verify the 
documents. The officials said that they only check to see whether the 
document appears to be tampered with. If it does, FEMA case workers or 
contractors will verify the document by calling any phone numbers 
listed on the document or performing Internet research. If the document 
appears to be valid, then no additional checks are performed. According 
to FEMA, our fabricated documents did not appear to be tampered with 
and therefore were immediately accepted as legitimate. 

* One of our applications received thousands of dollars in rental 
assistance because FEMA accepted our fabricated supporting documents 
and because FEMA approved the application without the inspector 
correctly inspecting the property or meeting with us in person. This 
application was also approved for a free hotel room and received 
duplicate payments for previously incurred hotel expenses. 

For this application, we used a name with a valid date of birth and 
SSN, but without any credit history. For our damaged address, we used a 
nonexistent street number on a real street in an area of Texas affected 
by Hurricane Ike. In response to FEMA's request for identity 
verification, we submitted an IRS form 1099, which can easily be found 
on the Internet, claiming that we worked for a bogus landscaping 
company on a nonexistent street. We also submitted a fabricated utility 
bill to verify our occupancy. A FEMA inspector attempted to contact us 
to schedule a date for an inspection, but we never set up a meeting. 
Ultimately, we were notified that we were eligible for rental 
assistance and housing assistance in a FEMA-paid-for hotel. However, 
because the approved dates for obtaining a hotel room were about to 
expire, we subsequently asked FEMA to reimburse us for previously 
incurred hotel expenses. As proof of our stay in the hotel, we 
submitted a bogus bill we created by changing the name and address on a 
letterhead from a hotel in the Washington, D.C., area. 

In total, we received just over $6,600 in assistance from FEMA for this 
application, including $4,465 for rental assistance and $2,197 for 
hotel-expense reimbursements. The $2,197 in hotel-expense 
reimbursements we received included duplicate reimbursements for our 
hotel expenses: one check for $1,098.50 from FEMA and another check in 
the same amount from FEMA's hotel contractor. Figure 1 depicts one of 
the rental assistance checks. 

Figure 1: Rental Assistance Check Obtained from Undercover Application: 

[Refer to PDF for image: copy of check] 

Source: GAO. 

[End of figure] 

In reviewing this application with FEMA officials, we asked why we 
received rental assistance without an inspection. FEMA told us that the 
inspector had performed an inspection and noted that the entire street 
where our fictitious address was supposed to be was destroyed. Although 
FEMA initially blocked us from receiving assistance because we were not 
present during the inspection, the case worker chose to override this 
decision because the case worker believed that the destruction of the 
entire street indicated that we had an immediate need for assistance. 
FEMA officials emphasized that the case worker should not have taken 
this action and we should not have received rental assistance. 

Finally, with regard to the duplicate payments we received for hotel 
expenses, FEMA told us that we may have received these payments because 
of a breakdown in the reimbursement process. Specifically, both FEMA 
and its lodging contractor made payments for expenses incurred at 
hotels by approved disaster applicants. FEMA typically sends a list of 
payments it has already made to the contractor. Using a manual process, 
the contractor reviews this list to determine what payments need to be 
made. With regard to the duplicate payment we received, the FEMA 
officials we spoke with speculated that the contractor simply missed 
the payment by FEMA during its review. After we brought this issue to 
their attention, FEMA officials told us that they were already 
conducting a review of the process to determine if the duplicate 
payment problem was widespread. As a result of this review, FEMA found 
that the lodging contractor made four additional duplicate payments. 
FEMA has flagged these payments for recoupment. 

Housing Assistance in FEMA-Paid-for Hotels: 

The following information describes (1) the control weaknesses related 
to FEMA's hotel housing program that we identified during our work on 
Hurricanes Katrina and Rita, (2) the improvements we found as a result 
of our undercover tests during Hurricanes Gustav and Ike, and (3) flaws 
that still exist in the hotel-assistance approval process. 

Weaknesses in the Hotel-Assistance Approval Process Identified after 
Hurricanes Katrina and Rita: Following Hurricane Katrina, FEMA provided 
displaced individuals with free hotel accommodations. However, FEMA did 
not require the hotels to collect registration information (such as 
FEMA registration numbers or SSNs) on individuals staying in the free 
rooms. Without this information, FEMA was not able to ensure that only 
valid disaster victims were receiving free hotel accommodations. As a 
result, we found that individuals stayed in free hotel rooms even 
though they were not eligible to receive any type of disaster 
assistance because they had never lived in residences damaged by the 
hurricanes. 

Improvements Identified during the Response to Hurricanes Gustav and 
Ike: According to FEMA, it strengthened controls over hotel assistance 
by requiring applicants seeking free lodging to (1) obtain a 
registration number from FEMA and (2) pass both identity and address 
verification. Once registrants received approval to check in to a 
hotel, they had to provide the hotel with a valid registration number, 
picture ID, and the last four digits of an SSN so that the hotel could 
check this information against a database maintained by FEMA's hotel 
contractor. Our undercover work confirmed that these controls were 
effective. For example, without applying for assistance and obtaining 
registration numbers, our investigators tried seven times to obtain 
hotel rooms just by claiming that they were victims of Hurricane Ike 
and showing bogus Texas drivers' licenses. They were denied rooms every 
time. In addition, when we tried to obtain hotel rooms with FEMA 
registration numbers that had not passed the identity and address- 
verification process, we were again denied rooms. 

Continued Weaknesses in the Hotel Assistance Approval Process: Despite 
the improvements we identified, we were still approved for hotel 
assistance on 4 of our 10 applications after we obtained registration 
numbers and passed identity and address verification using bogus 
supporting documentation. For one of these applications, we still 
received approval for transitional housing even though FEMA noted that 
the utility bill we submitted to prove our address was illegible. 
Ultimately, we checked into two different hotels using one of our bogus 
identities.[Footnote 6] 

Duplicate Registrations: 

The following information describes (1) the control weaknesses related 
to duplicate payments and registrations we identified during our work 
on Hurricanes Katrina and Rita, (2) the improvements we found as a 
result of our undercover tests during Hurricanes Gustav and Ike, and 
(3) flaws that still exist in the process FEMA uses to detect duplicate 
registrations. 

Weaknesses in Detecting Duplicate Registrations Identified after 
Hurricanes Katrina and Rita: FEMA did not detect duplicate 
registrations or prevent duplicate payments after Hurricanes Katrina 
and Rita. We identified instances where FEMA made more than one payment 
to the same household that shared the same last name and damaged and 
current addresses. FEMA also made millions of dollars in duplicate 
payments to thousands of individuals who submitted claims for damages 
to the same primary residences for both Hurricanes Katrina and Rita. 
FEMA officials explained that victims of both disasters are allowed 
only one set of IHP payments for the same damaged address and therefore 
only entitled to payments based on a single registration. 

Improvements Identified during the Response to Hurricanes Gustav and 
Ike: Improved data checks enabled FEMA to successfully prevent us from 
applying twice for Hurricane Gustav using the same identity. For 
example, we used the same damaged and current address information for 
two of our applications. When we subsequently reviewed our applications 
with FEMA officials, we saw that one of the applications had been 
flagged as being a duplicate and was about to be canceled. 

Continued Weaknesses in Detecting Duplicate Registrations: Although 
FEMA's controls prevented us from submitting duplicate information for 
the same disaster, FEMA did not detect that we submitted duplicate 
information for different disasters. Specifically, we were able to 
submit applications with the same name, SSN, and date of birth for both 
Hurricanes Gustav and Ike. Ultimately, we received approval for 
transitional housing for this identity for Hurricane Ike, even though 
we had previously used the same identity with a different address to 
apply for assistance for Hurricane Gustav. Using the same address for 
two disasters in different states should have been an indicator of 
possible fraud. If the controls FEMA uses for duplicate registrations 
within a disaster would have been applied to duplicate registrations 
across disasters, our registration would have been flagged immediately. 

Some Disaster Victims Had Difficulty Registering for Assistance: 

We observed several deficiencies in the customer service FEMA provided 
to disaster victims. Specifically, had we been real disaster victims 
without Internet access, we would probably have been unable to obtain 
assistance in the immediate aftermath of the hurricanes. We also called 
actual disaster victims, many of whom told us that they experienced 
similar problems. According to FEMA, these problems occurred in part 
because the initial call center staffing model it developed for the 
2008 hurricane season was overwhelmed by members of the media and high- 
level government officials encouraging the public to contact FEMA. 
However, data we received from FEMA show that these call centers were 
actually staffed well below FEMA's own estimates of peak staffing needs 
following the hurricanes. FEMA told us that this staffing deficiency 
was caused, in part, by difficulties associated with one of its 
contractors, but also stated that it had not planned to staff call 
centers up to levels necessary to handle peak call-volume needs. 
Despite problems we noted with FEMA's customer service following the 
hurricanes, it intends to rely on the same operational plan for the 
2009 hurricane season. 

Difficulties Experienced by Undercover GAO Applicants and Real Disaster 
Victims: 

Although we encountered little or no difficulty when applying for 
assistance over the Internet, we observed several problems with FEMA's 
customer service when we made applications by phone. The following 
examples describe some of the problems we encountered: 

* Busy phone lines and long wait times. We could not immediately get 
through to the call centers when applying by phone. For one of our 
Hurricane Ike applications, an investigator had to call nine times over 
the course of 3 days before being able to speak to a call center staff 
member. During these calls, the investigator either got a recording 
saying "all agents are busy; try later" or was put on hold for 15 to 20 
minutes before hanging up. On another Hurricane Ike application, the 
investigator called five times over the course of three days before 
getting through to a call center, experiencing similar busy messages 
and wait times. On a Hurricane Gustav application, the investigator had 
to call after 1:00 a.m. in order to speak with an operator. We 
identified similar problems when calling FEMA's help line to check on 
the status of our applications. For example, one investigator called 
the help line 13 times over the course of 8 days but never got through 
to an operator. 

* Incorrect information. Call center staff did not always give us 
accurate information. For example, although some of our fictitious 
applicants were told that inspectors would call to schedule inspections 
even though the applicant did not know the extent of damage to his 
property, one of our investigators was told he would not be scheduled 
for an inspection unless he provided a more precise account of his 
property damages. For another application, we had to fax supporting 
documentation in multiple times because we were initially given an 
incorrect fax number. 

* Delayed notification for hotel assistance. For two of our 
registrations that were approved for temporary housing, FEMA did not 
notify us in a timely manner, which prevented us from obtaining a hotel 
room. 

In an effort to understand the experiences of actual disaster victims, 
we contacted registrants chosen from a database provided by FEMA. About 
half of the individuals we spoke with told us that they did not 
experience any problems with FEMA's application process; the other half 
confirmed that they encountered delays in getting through to FEMA 
operators, problems scheduling inspections, and difficulties obtaining 
hotel rooms once they had been approved. FEMA permits registration for 
assistance over the Internet, but power outages may have forced many 
victims to seek assistance over the telephone. Table 1 highlights 10 of 
our conversations with disaster victims. 

Table 1: Customer-Service Problems Described by Disaster Victims: 

Call: 1; 
Hurricane: Ike; 
Application type: Internet; 
Details: 
* Registrant was unable to check into a FEMA-sponsored hotel in the 
affected area because there were no vacancies. 

Call: 2; 
Hurricane: 
Ike; 
Application type: Internet; 
Details: 
* Registrant was repeatedly "kicked off" the FEMA Web page when trying 
to register for disaster assistance; 
* Registrant was unable to check into a FEMA-sponsored hotel in the 
affected area because there were no vacancies. 

Call: 3; 
Hurricane: 
Ike; 
Application type: Internet; 
Details: 
* Registrant could only get through to speak to a FEMA helpline 
operator by placing calls between 2:00 a.m. and 4:00 a.m. 

Call: 4; 
Hurricane: 
Gustav; 
Application type: Phone; 
Details: 
* Registrant called FEMA over a dozen times before getting through to 
an operator to register for disaster assistance; 
* Registrant faxed FEMA documents to verify occupancy and receipts for 
reimbursement on five or six different occasions; 
* Each time the registrant called to confirm receipt of the faxed 
documents, a FEMA helpline operator would say the documents had not 
been received and would need to be refaxed; 
* Because of the many difficulties when trying to call or fax FEMA for 
assistance, the registrant stopped seeking disaster assistance from 
FEMA. 

Call: 5; 
Hurricane: Ike; 
Application type: Phone; 
Details: 
* Registrant called FEMA around six or eight times before getting 
through to an operator to register for disaster assistance; 
* Registrant was put on hold several times: once waiting 30 minutes 
before the FEMA operator returned to the line; 
* FEMA inspectors failed to show up to their appointment with 
registrant on five different occasions; 
* In order to finally get the property inspected, the registrant waited 
for over 2 hours at a local FEMA office to get an inspector to come out 
and inspect the damaged home. 

Call: 6; 
Hurricane: Gustav; 
Application type: Internet/phone; 
Details: 
* Registrant called FEMA six or seven times before getting through to 
an operator to register for disaster assistance; 
* Registrant said when she checks her status online, FEMA's system 
states she is approved for disaster assistance; however, telephone 
operators stated that the application was still being processed. 

Call: 7; 
Hurricane: Ike; 
Application type: Internet/phone; 
Details: 
* Registrant called FEMA several times before being able to register 
for disaster assistance; 
* Although FEMA scheduled an inspection of the registrant's property, 
an inspection never took place because the inspector did not show for 
the inspection appointment. 

Call: 8; 
Hurricane: Ike; 
Application type: Phone; 
Details: 
* Registrant called FEMA multiple times throughout the day for 2 weeks 
before getting through to an operator to register for disaster 
assistance; 
* Registrant said FEMA operators were never able to tell him if his 
home was located in a disaster area. 

Call: 9; 
Hurricane: Gustav and Ike; 
Application type: Phone; 
Details: 
* Registrant was placed on hold for 20 minutes before a FEMA operator 
returned to the line; 
* Registrant said FEMA operators were not able to answer her questions 
about the registration process and IHP. 

Call: 10; 
Hurricane: Ike; 
Application type: Internet; 
Details: 
* Registrant could only get through to FEMA when she called at 4:00 
a.m. 
* FEMA said a home inspection would occur within 2 weeks. However, she 
waited 6 weeks for the inspector to perform a home inspection; 
* Registrant received conflicting information about the registration 
process from FEMA operators. Specifically, one operator stated she 
needed to register with the Small Business Administration before she 
could register with FEMA. Another operator told the registrant that 
FEMA and the Small Business Administration were the same entity. 

Source: GAO. 

[End of table] 

FEMA's Staffing Models and Call Center Operational Plan: 

FEMA cited several factors that contributed to poor customer service in 
the aftermath of Hurricanes Ike and Gustav: a higher-than-expected call 
volume, unmet staffing needs, contractor failure, and problems with its 
automatic call system. FEMA told us that although it intends to use a 
different contractor for the 2009 hurricane season, the agency will 
make no other changes to its call center operational plan. 

Higher-than-Expected Call Volume: FEMA told us that they received what 
they described as an overwhelming number of calls, especially from 
individuals that may not have otherwise asked for assistance, because 
the media and high-level government officials strongly encouraged the 
public to contact FEMA. For example, FEMA estimated that it would 
receive approximately 530,291 calls requesting assistance for 
Hurricanes Gustav and Ike, but it actually received a total of 
1,195,213 calls--125 percent more than expected. FEMA officials also 
stated that many individuals who called FEMA had unrealistic 
expectations as a result of the widespread coverage of hurricane 
Katrina. In particular, many applicants called because they expected to 
receive an immediate $2,000 expedited assistance payment. 

Projected Call Center Needs Unmet: Data provided by FEMA show that FEMA 
fell short of its anticipated peak staffing needs. According to FEMA, 
call centers are typically staffed with a baseline number of personnel 
before a disaster takes place. To determine staffing, FEMA primarily 
relies on historical models, and the type and the size of a disaster. 
If FEMA determines that additional staff are needed after a disaster 
occurs, it relies on an interagency agreement with the Internal Revenue 
Service (IRS) and on contractors. According to FEMA, its four call 
centers[Footnote 7] were staffed with a baseline of 684 staff before 
Hurricanes Gustav and Ike hit. In preparation for Hurricane Gustav, 
FEMA determined that peak staffing levels at the call centers could be 
as high as 6,300 staff by September 4, 2008, 3 days after the hurricane 
would make landfall. However, FEMA data show that actual staffing 
levels were just below 1,100. In addition, FEMA determined that peak 
staffing levels at the call centers could be nearly 11,000 staff by 
September 15 in order to handle calls for both Hurricanes Ike and 
Gustav. However, once Hurricane Ike made landfall on September 13, FEMA 
data show there were only 1,378 personnel staffed at the call centers--
75 percent below staffing estimates for that day. When asked about the 
significant difference between staff on hand and anticipated staffing 
requirements, FEMA officials stated staffing to meet short-term peaks 
is inefficient as it would require substantial resources to hire and 
train staff to peak levels, only to release them shortly thereafter due 
to decreased call volume. 

Contractor Failures: FEMA said that one contractor was not able to 
supply a sufficient number of staff in a short period of time, 
resulting in a lack of staff available at call centers. Specifically, 
FEMA told us that it entered into a temporary service contract awarded 
through the General Services Administration (GSA) to augment its call 
center staff. This contract limited the proposals to only those 
companies on the GSA schedule that were small businesses--businesses 
that FEMA believes were not equipped to handle its staffing issues. 
FEMA said that by the time it learned that only small businesses were 
under consideration, it could not afford to consider alternative 
routes. In addition, FEMA said that one of the small businesses it 
chose to work with indicated that it intended to team up with a large 
national staffing services company with greater resources, which 
initially gave FEMA confidence that the contractor could meet its 
staffing needs. However, FEMA said that it took over 2 weeks for the 
contractor to supply the numbers of temporary workers required to 
address the large call volume. In addition, as a change after Hurricane 
Katrina, call center operators had to undergo security screening prior 
to being able to work at the call centers. Before Katrina, operators 
could start work while the security check was in progress. FEMA said 
that this heightened security check prevented the contractor from 
providing additional staff in a timely fashion. FEMA officials told us 
they will not be using the same contractor for the upcoming hurricane 
season. 

Automatic Call System Issues: With regard to the issues we identified 
related to obtaining timely hotel approval, FEMA officials said that 
they received a large number of requests for free lodging. As a result, 
they established (1) a separate fax line to accept verification 
documentation and (2) an auto-dial system to inform people they were 
approved to check into a hotel. However, according to FEMA, there were 
problems with the auto-dial system, and therefore some individuals were 
not promptly informed that they were eligible for housing assistance. 

Conclusions: 

This investigation shows that FEMA has made significant progress in 
addressing the challenge of providing urgent disaster relief to 
individuals and communities in need of assistance, while simultaneously 
safeguarding its programs from fraud and abuse. By improving controls 
over IHP, FEMA has taken steps to provide reasonable assurance that 
fraud and abuse in this program is minimized. Given that the current 
hurricane season has begun, FEMA should incorporate lessons learned 
from our investigation to continue to improve its fraud-prevention 
program and address all of the customer-service issues we identified. 

Recommendations for Executive Action: 

We recommend that the Secretary of Homeland Security direct the 
Administrator of FEMA to take the following two actions: 

* Establish random checks to assess the validity of supporting 
documentation submitted by applicants to verify identity and address. 

* Assess the customer-service findings from this investigation and make 
improvements for future hurricane seasons in areas such as contractor 
readiness. 

Agency Comments: 

In written comments on a draft of this report, the Department of 
Homeland Security concurred with and agreed to implement both of our 
recommendations. 

We are sending copies of this report to the Secretary of Homeland 
Security, the FEMA Administrator, and interested committees. In 
addition, the report will be available at no charge on GAO's Web site 
at [hyperlink, http://www.gao.gov]. If you or your staff have any 
questions regarding this report, please contact me at (202) 512-6722 or 
kutzg@gao.gov. Contact points for our Offices of Congressional 
Relations and Public Affairs may be found on the last page of this 
report. 

Signed by: 

Gregory D. Kutz: 
Managing Director, 
Forensic Audits and Special Investigations: 

List of Committees: 

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

The Honorable Bennie G. Thompson: 
Chairman: 
The Honorable Peter T. King: 
Ranking Member: 
Committee on Homeland Security: 
House of Representatives: 

The Honorable Edolphus Towns: 
Chairman: 
The Honorable Darrell Issa: 
Ranking Member: 
Committee on Oversight and Government Reform: 
House of Representatives: 

The Honorable Mary Landrieu: 
Chairman: 
The Honorable Lindsey Graham: 
Ranking Member: 
Ad Hoc Subcommittee on Disaster Recovery: 
Committee on Homeland Security and Governmental Affairs: 
United States Senate: 

The Honorable Thomas Carper: 
Chairman: 
Subcommittee on Federal Financial Management, Government Information, 
Federal Services, and International Security: 
Committee on Homeland Security and Governmental Affairs: 
United States Senate: 

The Honorable Henry Cuellar: 
Chairman: 
The Honorable Mike Rogers: 
Ranking Member: 
Subcommittee on Emergency Communications, Preparedness, and Response: 
Committee on Homeland Security: 
House of Representatives: 

[End of section] 

Appendix I: Comments from the Department of Homeland Security: 

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

June 11, 2009: 

Mr. Gregory Kutz: 
Managing Director: 
Forensic Audits and Special Investigations: 
U.S. Government Accountability Office: 
441 G Street, N.W. 
Washington, D.C. 20548-001: 

Dear Mr. Kutz: 

Thank you for the opportunity to review the U.S. Government 
Accountability Office's (GAO's) draft report; Hurricanes Gustav and Ike 
Disaster Assistance: FEMA Strengthened its Fraud Prevention Controls, 
but Customer Service Needs Improvement (GAO-09-671). 

We appreciate that the report concludes FEMA has made significant 
progress in addressing the challenge of providing urgent disaster 
relief to individuals and communities in need of assistance, while 
simultaneously safeguarding its programs from fraud and abuse. We 
concur with the report's two recommendations. We will: (1) establish 
random checks to assess the validity of supporting documentation 
submitted by applicants to verify identity and address; and (2) assess 
the customer service findings from this investigation to implement 
improvements for the current and future hurricane seasons. 

Thank you for your contributions to strengthening a program which 
delivers emergency financial benefits to thousands of disaster victims 
each year. If there are any questions, please contact Michael Wetklow 
in the Office of the Chief Financial Officer, at (202) 447-5196. 

Sincerely, 

Signed by: 
Peggy Sherry: 
Acting DHS Chief Financial Officer: 

[End of section] 

Footnotes: 

[1] GAO, Expedited Assistance for Victims of Hurricanes Katrina and 
Rita: FEMA's Control Weaknesses Exposed the Government to Significant 
Fraud and Abuse, [hyperlink, http://www.gao.gov/products/GAO-06-403T] 
(Washington, D.C.: Feb. 13, 2006); Hurricanes Katrina and Rita Disaster 
Relief: Improper and Potentially Fraudulent Individual Assistance 
Payments Estimated to Be Between $600 Million and $1.4 Billion, 
[hyperlink, http://www.gao.gov/products/GAO-06-844T] (Washington, D.C.: 
June 14, 2006); and Hurricanes Katrina and Rita Disaster Relief: 
Continued Findings of Fraud, Waste, and Abuse, [hyperlink, 
http://www.gao.gov/products/GAO-07-252T] (Washington, D.C.: Dec. 6, 
2006). 

[2] 42 U.S.C. §§ 5121-5207. 

[3] According to FEMA, it implemented the Critical Needs Assistance 
(CNA) program to distribute $500 assistance checks to individuals who 
were in need of basic necessities, such as food, water, and shelter, 
after Hurricane Gustav. To be eligible for CNA, individuals had to 
apply for disaster assistance, pass identification-verification 
controls, verify their residence was damaged, and demonstrate the need 
for critical assistance. 

[4] In addition to the 10 applications mentioned above, we attempted to 
register other bogus identities through the Internet. We could not 
successfully register these identities due to identification- 
verification errors and were instructed to apply by phone. 

[5] It is important to note that we did not use the identities or 
addresses of real people to submit these applications. The identities 
were developed in coordination with federal agencies and credit- 
reporting agencies in order to simulate what an identity thief would do 
in a similar situation. Addresses were fictitious or nonresidential 
addresses. 

[6] However, we were unable to register for more than one room at a 
time. Specifically, when we tried to register for a second hotel room 
using this registration, the hotel checked the registration number 
against the database maintained by FEMA's hotel contractor and informed 
us that the system showed we were currently checked into another hotel. 

[7] The call centers, located in Texas, Maryland, Virginia, and Puerto 
Rico, serviced calls for both Hurricanes Gustav and Ike. 

[End of section] 

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