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Testimony Before the Subcommittee on Oversight and Investigations, 
Committee on Armed Services, House of Representatives: 

United States Government Accountability Office: 
GAO: 

For Release on Delivery: 
Expected at 2:00 p.m. EDT:
Tuesday, March 23, 2010: 

Iraq And Afghanistan: 

Agencies Face Challenges in Tracking Contracts, Grants, Cooperative 
Agreements, and Associated Personnel: 

Statement of John P. Hutton, Director: 
Acquisition and Sourcing Management: 

GAO-10-509T: 

GAO Highlights: 

Highlights of GAO-10-509T, a testimony before the Subcommittee on 
Oversight and Investigations, Committee on Armed Services, House of 
Representatives. 

Why GAO Did This Study: 

The Departments of Defense (DOD) and State (State) and the U.S. Agency 
for International Development (USAID) have relied extensively on 
contractors, grantees, and cooperative agreement recipients to support 
troops and civilian personnel and carry out reconstruction efforts in 
Iraq and Afghanistan. This reliance increases the importance of 
agencies having reliable data to inform decision-making and oversee 
the work performed. 

To help increase oversight of activities supporting DOD, State, and 
USAID’s efforts in Iraq and Afghanistan, the National Defense 
Authorization Act for Fiscal Year 2008, as amended, required the 
agencies to identify common databases of information on their 
contracts, grants, cooperative agreements, and associated personnel. 
In their July 2008 memorandum of understanding (MOU), the three 
agencies designated the Synchronized Predeployment and Operational 
Tracker (SPOT) as their system for tracking the required information. 

GAO’s testimony addresses (1) how a lack of information hinders agencies
’ management and oversight of contracts, grants, cooperative 
agreements, and associated personnel, (2) the status of the agencies’ 
continued efforts to implement SPOT, and (3) GAO’s prior 
recommendation to improve SPOT’s implementation. It is drawn primarily 
from GAO’s prior work on contracting in contingency operations. 

What GAO Found: 

GAO has reported extensively on the need for agencies to have reliable 
information to manage and oversee work being performed to address 
challenges related to using contracts and grants. The lack of such 
information may inhibit planning, increase costs, and introduce 
unnecessary risk. For example, GAO reported last year that by not 
having insight into contractor provided services, DOD may lack needed 
information to efficiently allocate contracted services to support 
remaining U.S. forces in Iraq. GAO also previously determined that by 
not considering contractor and grantee resources in developing an 
Afghan assistance strategy, USAID’s ability to make resource 
allocation decisions was impaired. Many of GAO’s prior recommendations 
on contractors supporting contingency operations focused on increasing 
agencies’ ability to track contracts and contractor personnel. Agency 
officials have indicated that SPOT has the potential of consolidating 
dispersed information to help them better manage and oversee 
contractors. SPOT may offer the same potential for grants and 
cooperative agreements as information on them and their personnel are 
similarly dispersed. 

Although the agencies have made progress in implementing SPOT, the 
database falls short of providing information to facilitate oversight 
and fulfill statutory requirements. GAO reported in October 2009 that 
the criteria used to determine which personnel are entered into SPOT 
varied and not all personnel were being entered as required. In 
particular, the agencies cited the need for a SPOT-generated letter of 
authorization as the primary factor for deciding whether personnel 
were entered, but not all personnel, particularly local nationals, 
need this authorization. As a result, officials from the three 
agencies acknowledge that SPOT data are incomplete, with some 
questioning the need for detailed data on all contractors. Because of 
SPOT’s limitations, the agencies have relied on other sources, such as 
periodic surveys, for data on contractor personnel, but we have found 
these sources to be unreliable. Although contract information is being 
entered into SPOT, the system continues to lack the capability to 
accurately import information from other sources as agreed to in the 
MOU. For example, because SPOT does not require users to enter 
contract information in a standardized manner, our work has shown that 
there will be challenges in identifying which contracts’ dollar values 
and competition information should be imported. While our prior 
findings are specific to contracts and their personnel, together with 
our ongoing work they point to challenges the agencies will face in 
using SPOT to track similar data on grants, cooperative agreements, 
and their personnel. 

Last year GAO recommended that the agencies develop a plan for 
addressing the shortcomings identified in SPOT’s implementation. While 
the agencies agreed coordination is important, they disagreed with the 
need for a plan. GAO continues to believe that a plan with timeframes 
that provides consistent criteria and standards is necessary for 
ensuring that SPOT meets statutory requirements and helping the 
agencies identify their information needs to manage and oversee 
contracts, grants, and cooperative agreements. 

View [hyperlink, http://www.gao.gov/products/GAO-10-509T] for key 
components. For more information, contact John P. Hutton at (202) 512-
4841 or huttonj@gao.gov. 

[End of section] 

Mr. Chairman and Members of the Subcommittee: 

Thank you for inviting me here today to discuss efforts by the 
Department of Defense (DOD), the Department of State (State), and the 
U.S. Agency for International Development (USAID) to track information 
on contracts, grants, cooperative agreements, and the personnel 
working under them in Iraq and Afghanistan. Reliable, meaningful data 
related to contractors, grantees, cooperative agreement recipients, 
and the services they provide are a starting point for informing 
agency decisions and ensuring proper management and oversight. The 
significant reliance on contracts, grants, and cooperative agreements 
to support troops and civilian personnel and to carry out 
reconstruction efforts in Iraq and Afghanistan increases the 
importance of such data. Since 2008, GAO has reported on the three 
agencies' efforts to implement a database to reliably track 
statutorily-required data on contracts and contractor personnel in 
Iraq and Afghanistan.[Footnote 1] While our past work focused on 
tracking contracts and contractor personnel, we are currently 
reviewing the agencies' efforts to track grants, cooperative 
agreements, and associated personnel as part of our annual mandated 
review of contracting in Iraq and Afghanistan.[Footnote 2] Our prior 
findings along with our ongoing review provide insights into the 
continued challenges the agencies face in implementing a database for 
tracking information on contracts, grants, cooperative agreements, and 
their associated personnel that can inform management decisions and 
facilitate oversight. 

My statement focuses on (1) how a lack of information hinders 
agencies' management and oversight of contracts, grants, cooperative 
agreements, and associated personnel and (2) the status of DOD, State, 
and USAID's efforts to track statutorily-required information on 
personnel and contracts, grants, and cooperative agreements in Iraq 
and Afghanistan. I will also provide some observations regarding our 
2009 recommendation to address shortcomings in the agencies' efforts 
to track contracts and contactor personnel. While informed by our 
ongoing work, this statement is drawn from our prior work related to 
contracting in contingency operations. Both our ongoing and prior 
performance audits have been conducted in accordance with generally 
accepted government auditing standards. Those standards require that 
we plan and perform the audits to obtain sufficient, appropriate 
evidence to provide a reasonable basis for our findings and 
conclusions based on our audit objectives. We believe the evidence 
obtained provides a reasonable basis for our findings and conclusions 
based on our audit objectives. 

Background: 

Section 861 of the National Defense Authorization Act for Fiscal Year 
2008 (NDAA for FY2008) directed the Secretary of Defense, the 
Secretary of State, and the USAID Administrator to sign a memorandum 
of understanding (MOU) related to contracting in Iraq and Afghanistan. 
[Footnote 3] The law specified a number of issues to be covered in the 
MOU, including the identification of common databases to serve as 
repositories of information on contract and contractor personnel. The 
NDAA for FY2008 required the databases to track the following, at a 
minimum: 

* for each contract that involves work performed in Iraq or 
Afghanistan for more than 14 days, 

- a brief description of the contract, 

- its total value, and: 

- whether it was awarded competitively; and: 

* for contractor personnel working under contracts in Iraq or 
Afghanistan, 

- total number employed, 

- total number performing security functions, and: 

- total number killed or wounded. 

In July 2008, DOD, State, and USAID signed an MOU in which they agreed 
the Synchronized Predeployment and Operational Tracker (SPOT) would be 
the system of record for the statutorily-required contract and 
personnel information. The MOU specified SPOT would include 
information on DOD, State, and USAID contracts with more than 14 days 
of performance in Iraq or Afghanistan or valued at more than the 
simplified acquisition threshold, which the MOU stated was $100,000, 
as well as information on the personnel working under those contracts. 

Since the signing of the July 2008 MOU, the requirements of section 
861 have been amended. The Duncan Hunter National Defense 
Authorization Act for Fiscal Year 2009 added additional matters to be 
covered in the agencies' MOU to address criminal offenses committed by 
or against contractor personnel.[Footnote 4] According to the law, the 
MOU was to be modified by February 11, 2009. Additionally, the 
National Defense Authorization Act for Fiscal Year 2010 (NDAA for 
FY2010) amended the original requirements by redefining "contract in 
Iraq and Afghanistan" to include grants and cooperative agreements and 
redefining "contractor" for these purposes, to include grantees and 
cooperative agreement recipients.[Footnote 5] The NDAA for FY2010 also 
revised the minimum threshold for tracking contracts, task and 
delivery orders, grants, and cooperative agreements from 14 days of 
performance in Iraq or Afghanistan to 30 days. DOD, State, and USAID 
have drafted a new MOU to address the changes from the NDAAs for FY 
2008 and FY 2010, but as of March 19, 2010, the MOU has not been 
signed by all three agencies. 

SPOT is a Web-based system that was initially developed by DOD to 
provide greater visibility over contractors deployed with U.S. forces. 
DOD is responsible for all maintenance and upgrades to the database, 
but as agreed in the July 2008 MOU, it is the responsibility of each 
agency to require its contractors to accurately input data elements 
related to contractor personnel, such as the number of personnel 
employed on each contract in Iraq or Afghanistan. Although the law 
only directs the agencies to track aggregate data, DOD configured SPOT 
in a manner that requires users to manually enter detailed information 
for each covered person working in Iraq or Afghanistan. SPOT tracks 
individuals by name and records information such as contracts they are 
working under, deployment dates, blood type, next of kin, and whether 
an individual has been killed or injured. To track contract-related 
information, such as value and extent of competition, the agencies 
agreed in the MOU to import data into SPOT from the Federal 
Procurement Data System - Next Generation (FPDS-NG), the federal 
government's system for tracking information on contracting actions. 

Lack of Information on Contracts, Grants, and Cooperative Agreements 
and Associated Personnel Can Hinder Agencies' Management and Oversight: 

DOD, State, and USAID's significant reliance on contracts, grants, 
cooperative agreements, and their associated personnel makes it 
critical that agency officials have accurate and reliable information 
to inform decision making and properly oversee work being performed in 
Iraq and Afghanistan. We have reported extensively on the management 
and oversight challenges of using contracts and grants to help 
agencies carry out their missions during contingency operations. As 
our prior work has shown, the agencies' lack of complete and accurate 
information may inhibit planning, increase costs, and introduce 
unnecessary risk: 

* Limited visibility over contractors obscures how extensively 
agencies rely on them to support operations and carry out missions. In 
our 2006 review of DOD contractors supporting deployed forces, we 
reported that a battalion commander in Iraq was unable to determine 
the number of contractor-provided interpreters available to support 
his unit.[Footnote 6] This limited visibility can create challenges 
for planning and carrying out missions. Further, a lack of visibility 
into the extent to which agencies rely on contractors can hinder their 
ability to plan for the role of contractors. For example, we reported 
in November 2009 that without insight into services provided by 
contractors as part of the drawdown in Iraq, DOD planners may lack 
information necessary to efficiently allocate contracted services to 
support the remaining U.S. forces as the drawdown progresses.[Footnote 
7] 

* Without incorporating information on contractors and grantees into 
planning efforts, agencies risk making uninformed programmatic 
decisions. As we noted in our 2004 and 2005 reviews of Afghanistan 
reconstruction efforts, when developing its interim development 
assistance strategy, USAID did not incorporate information on the 
contractor and grantee resources required to implement the 
strategy.[Footnote 8] We determined this impaired USAID's ability to 
make informed decisions on resource allocations for the strategy. 

* A lack of accurate financial information on contracts impedes 
agencies' ability to create realistic budgets. As we reported in July 
2005, despite the significant role of private security providers in 
enabling Iraqi reconstruction efforts, neither DOD, State, nor USAID 
had complete data on the costs associated with using private security 
providers.[Footnote 9] Agency officials acknowledged such data could 
help them identify security cost trends and their impact on the 
reconstruction projects, as increased security costs resulted in the 
reduction or cancellation of some projects. 

* Lack of visibility into the services being performed increases 
agencies' risk of duplicative efforts. In our May 2009 review of DOD 
funding for humanitarian and reconstruction projects in Afghanistan, 
we found that DOD lacked visibility into development projects being 
undertaken by USAID.[Footnote 10] In particular, by not having a 
centralized, interagency database of all ongoing projects in 
Afghanistan, the U.S. government may not be in a position to fully 
leverage the resources available and risks duplicating reconstruction 
efforts. 

Many recommendations from our prior work on contractors supporting 
contingency operations focused on increasing agencies' ability to 
track contracts and contractor personnel so decision makers--whether 
in the field or at headquarters--can better understand the extent to 
which they rely on contractors, better plan, and better account for 
costs. While they have taken actions to address our recommendations, 
DOD, State, and USAID officials told us access to information on 
contracts and associated personnel still needs improvement. 
Specifically, information on contracts and the personnel working on 
them in Iraq and Afghanistan may reside solely with the contractors, 
be stored in a variety of data systems, or exist only in paper form in 
scattered geographic regions. These officials indicated SPOT has the 
potential to bring some of this dispersed information together so it 
can be used to better manage and oversee contractors. SPOT may offer 
the same potential for managing grants and cooperative agreements 
since data on them and their associated personnel in Iraq and 
Afghanistan are similarly dispersed. 

Though SPOT Implementation Continues, Challenges Remain in Tracking 
Personnel and Contracts, Grants, and Cooperative Agreements: 

DOD, State, and USAID have made progress in implementing SPOT, but as 
we reported in October 2009, the agencies' ongoing implementation of 
SPOT falls short of providing information that would help facilitate 
oversight and inform decision making as well as fulfill statutory 
requirements. Specifically, we found the criteria for deciding which 
contractor personnel in Iraq and Afghanistan are entered into the 
system varied and as a result, not all required personnel have been 
entered. Additionally, information on contractor personnel killed or 
wounded in either country still is not systematically tracked in SPOT. 
Because of SPOT's limitations, the agencies have relied on other 
sources, such as periodic surveys, for information on contractor 
personnel, including those that were killed or wounded, but we have 
found these sources to be unreliable as well. Regarding contracts, we 
found SPOT lacks the capability to track required contract information 
as agreed to in the MOU. Although our prior findings are specific to 
tracking contracts they point to challenges the agencies may face as 
they use SPOT to track similar information on grants, cooperative 
agreements, and the personnel working on them. 

Tracking Information on Personnel Working in Iraq and Afghanistan: 

DOD, State, and USAID have been phasing in the July 2008 MOU 
requirement to use SPOT to track information on contracts with 
performance in Iraq and Afghanistan and the personnel working on them. 
Specifically, all three agencies currently require their contractors 
in Iraq to enter personnel data into SPOT. DOD and State contractors 
also have this requirement for work performed in Afghanistan. However, 
USAID has not yet imposed a similar requirement on its contractors in 
Afghanistan but is developing a plan to do so. 

Our prior work has shown that the criteria DOD, State, and USAID used 
for determining which contractor personnel are entered into SPOT 
varied and were not always consistent with the MOU. Specifically, DOD, 
State, and USAID officials stated the primary factor, particularly in 
Iraq, for deciding which contractor personnel were entered into SPOT 
was whether a contractor needed a SPOT-generated letter of 
authorization (LOA).[Footnote 11] Not all contractor personnel, 
particularly local nationals, need LOAs and agency officials informed 
us that information on such personnel is generally not entered into 
SPOT. Furthermore, in some instances we found the determining factor 
for entering personnel into SPOT was the result of other agency 
directives. For example, DOD officials from one contracting command in 
Afghanistan stated they followed DOD's 2007 guidance on the use of 
SPOT, which requires contractor personnel working on contracts valued 
over $25,000 be entered into SPOT--as opposed to the MOU's $100,000 
threshold--and as a result, local nationals were being entered into 
the system despite not needing an LOA. 

Officials from the three agencies expressed confidence that their SPOT 
data were relatively complete for contractor personnel needing LOAs in 
Iraq, with DOD and State expressing similar confidence for personnel 
in Afghanistan. However, they acknowledged that since local nationals 
generally do not need LOAs, they are generally not being entered into 
SPOT. As a result, SPOT does not fully reflect the number of local 
nationals working on the agencies' contracts. Agency officials further 
explained that ensuring SPOT contains information on local nationals 
is challenging because their numbers tend to fluctuate due to the use 
of day laborers and local firms do not always track the individuals 
working for them. Further, USAID has not begun entering information on 
local nationals into SPOT because of concerns that doing so could pose 
a threat to local nationals' safety, should the database be 
compromised. To help address USAID's security concern, DOD is 
currently testing a classified version of SPOT and expects the system 
to be fully active this month. However, USAID officials told us the 
agency's limited access to classified computers would make it 
difficult to use a classified system. To address similar security 
concerns, State developed an alternative that assigns a unique 
identification number for local nationals entered into SPOT in place 
of using their names. 

Varying criteria and practices about who to include in SPOT stem in 
part from differing agency views on the need to collect detailed data 
on all contractor personnel. SPOT collects data that is more detailed 
than what was required by the NDAA for FY 2008 or what was agreed upon 
by the agencies in the July 2008 MOU. USAID officials questioned the 
need for entering detailed information into SPOT because personnel 
working on its contracts, particularly in Afghanistan, typically have 
limited interaction with U.S. government personnel or do not receive 
support services from the U.S. government. Similarly, some DOD 
officials we spoke with questioned the need to track individual 
personnel by name as opposed to their total numbers given the high 
cost of collecting detailed data compared to the minimal benefit of 
having this information. DOD officials responsible for SPOT informed 
us the agencies did not conduct any analyses of what information 
should be entered into SPOT prior to the agencies' designating it as 
the system of record in the MOU. 

Even though DOD, State, and USAID agreed in their July 2008 MOU to use 
SPOT for tracking contractor personnel, the agencies have relied on 
periodic surveys of their contractors to obtain data on the number of 
contractors in Iraq and Afghanistan. However, our prior work has shown 
that data from these surveys are generally incomplete and unreliable, 
and, therefore, should not be used to identify trends or draw 
conclusions about the number of contractor personnel in each country. 
For example, while U.S. Central Command's quarterly census provides 
the most comprehensive information on the number of DOD contractor 
personnel in Iraq and Afghanistan, DOD officials acknowledged that it 
represents only a rough approximation of the actual number contractor 
personnel in each country.[Footnote 12] Officials from all three 
agencies stated that they lack the resources to verify the information 
reported by the contractors, particularly for work performed at remote 
sites where security conditions make it difficult for U.S. government 
officials to regularly visit. 

In addition to agreeing to use SPOT to track contractor personnel 
numbers, the agencies agreed to use SPOT to track information on 
contractor personnel killed or wounded. Although SPOT was upgraded in 
January 2009 to track casualties, officials from the three agencies 
informed us they are not relying on the database for this information 
because contractors are generally not updating the status of their 
personnel to indicate whether any of their employees were killed, 
wounded, or are missing. In the absence of using SPOT to identify the 
number of contractor personnel killed or wounded in Iraq and 
Afghanistan, the agencies obtain these data from other sources. 
Specifically, in response to requests made as part of our ongoing 
review, State and USAID provided us with manually compiled lists of 
the number of personnel killed or wounded, whereas DOD provided us 
with casualty data for U.S citizens, but could not differentiate 
whether the individuals identified were DOD civilian employees or 
contractors. 

The agencies have begun implementing SPOT to obtain information on 
personnel working under grants and cooperative agreements. 
Specifically, prior to the NDAA for FY2010 changes, in January 2009, 
State issued a directive requiring assistance award recipients with 
personnel deploying to Iraq or Afghanistan to enter information into 
SPOT.[Footnote 13] Similarly, in April 2009, USAID issued a policy 
directive requiring all personnel deploying to Iraq to work under 
grants and cooperative agreements meeting the July 2008 MOU criteria 
to be entered into SPOT.[Footnote 14] This directive specified that 
information on Iraqi local nationals would not be entered into SPOT at 
this time. While DOD also plans to use SPOT to track personnel working 
on grants and cooperative agreements, DOD officials informed us that 
they do not plan to issue specific guidance on entering these 
personnel into SPOT because of DOD's limited use of grants and 
cooperative agreements in Iraq and Afghanistan. As the three agencies 
continue to implement SPOT for personnel working on grants and 
cooperative agreements, our ongoing work to date indicates that they 
will experience challenges similar to those with contractor personnel, 
such as ensuring consistent criteria for whom to enter and accounting 
for local nationals. 

Tracking Information on Contracts, Grants and Cooperative Agreements 
with Performance in Iraq and Afghanistan: 

Although the agencies are entering information on contracts into SPOT, 
the system continues to lack the capability to accurately import and 
track the contract data elements as agreed to in the MOU. While the 
MOU specifies that contract values, competition information, and 
descriptions of services would be pulled into SPOT from FPDS-NG, this 
capability is not expected to be available until October 2010. Even 
when a direct link with FPDS-NG is established, our prior work has 
shown that pulling data from FPDS-NG into SPOT may present challenges 
because SPOT users are not required to enter information, such as 
contract numbers, in a standardized manner. In our 2009 review of DOD, 
State, and USAID data, we determined that at least 12 percent of the 
contracts in SPOT had invalid contract numbers and, therefore, could 
not be matched to records in FPDS-NG.[Footnote 15] Furthermore, using 
contract numbers alone may be insufficient since specific task and 
delivery orders are identified through a combination of the contract 
and order numbers, but SPOT users are not required to enter task or 
delivery order numbers. For example, as we stated in our October 2009 
report, we reviewed one SPOT entry for a contract with 12 orders 
placed against it. Because only the contract number and no order 
numbers were included in SPOT, there was no way to determine the 
correct value and competition information that should be imported from 
FPDS-NG. 

When using SPOT to track information on grants and cooperative 
agreements, the agencies will face challenges similar to those faced 
with contracts. For example, as part of our ongoing work, State and 
USAID officials have informed us that complete information on their 
grants and cooperative agreements is not available from a single 
source, like FPDS-NG, but instead they rely on multiple databases to 
record information on their grants and cooperative agreements 
performed in Iraq and Afghanistan. Therefore, the agencies will need 
to determine how the information from multiple databases is to be 
entered or linked to SPOT. Additionally, the information contained in 
these databases is generally not maintained in a standardized manner, 
which may present additional difficulties if the agencies were to pull 
these data into SPOT. 

Prior Recommendation for Executive Action and Concluding Observations: 

To address the shortcomings of the agencies' implementation of SPOT to 
track contracts and contractor personnel, we recommended in October 
2009 that the Secretaries of Defense and State and the USAID 
Administrator jointly develop and execute a plan with associated 
timeframes to continue implementing the NDAA for FY2008 requirements. 
Specifically, we recommended: 

* ensuring the agencies' criteria for entering contracts and 
contractor personnel into SPOT are consistent with the NDAA for FY2008 
and with the agencies' respective information needs for overseeing 
contracts and contractor personnel; 

* revising SPOT's reporting capabilities to ensure they fulfill 
statutory requirements and agency information needs; and: 

* establishing uniform requirements on how to enter contract numbers 
into SPOT so contract information can accurately be pulled from FPDS-
NG as agreed to in the MOU. 

DOD, State, and USAID agreed that coordination among the three 
agencies is important, but DOD and State disagreed that they needed a 
plan to address the issues we identified. They cited their ongoing 
coordination efforts and anticipated upgrades to SPOT as sufficient. 
USAID cited a number of steps it has taken that would facilitate SPOT 
implementation but did not address our recommendation. 

We also believe continued coordination among the three agencies is 
important as they attempt to obtain greater visibility into their 
reliance on contractors, grantees, and cooperative agreement 
recipients in dynamic and complex environments. However, continued 
coordination without additional actions is not sufficient. By jointly 
developing and executing a plan with specific time frames, the 
agencies can identify the concrete steps needed to assess their 
progress in ensuring that SPOT collects the data necessary to fulfill 
statutory requirements. In developing this plan, each agency should 
further consider its respective information needs. By working with 
potential users of SPOT data to better understand their information 
needs, each agency can help ensure the information entered into the 
system is sufficiently but not overly detailed and will assist it in 
managing and overseeing contracts, grants, and cooperative agreements 
in Iraq and Afghanistan. Otherwise, not only do the agencies risk not 
collecting the information they need but also collecting detailed data 
they will not use. 

Mr. Chairman, this concludes my prepared statement. I would be happy 
to respond to any questions you or other members of the subcommittee 
may have. 

GAO Contacts and Acknowledgment: 

For further information about this statement, please contact John P. 
Hutton (202) 512-4841 or huttonj@gao.gov. Contact points for our 
Offices of Congressional Relations and Public Affairs may be found on 
the last page of this statement. Individuals who made key 
contributions to this statement include Johana R. Ayers, Assistant 
Director; Noah Bleicher; Raj Chitikila; Kathryn Edelman; David Greyer; 
Christopher Kunitz; Heather B. Miller; and Morgan Delaney Ramaker. 

[End of section] 

Footnotes: 

[1] GAO, Contingency Contracting: DOD, State, and USAID Contracts and 
Contractor Personnel in Iraq and Afghanistan, [hyperlink, 
http://www.gao.gov/products/GAO-09-19] (Washington, D.C.: Oct. 1, 
2008); GAO, Contingency Contracting: DOD, State, and USAID Are Taking 
Actions to Track Contracts and Contractor Personnel in Iraq and 
Afghanistan, [hyperlink, http://www.gao.gov/products/GAO-09-538T] 
(Washington, D.C.: Apr. 1, 2009); GAO, Contingency Contracting: DOD, 
State, and USAID Continue to Face Challenges in Tracking Contractor 
Personnel and Contracts in Iraq and Afghanistan, [hyperlink, 
http://www.gao.gov/products/GAO-10-1] (Washington, D.C.: Oct. 1, 
2009); GAO, Contingency Contracting: Further Improvements Needed in 
Agency Tracking of Contractor Personnel and Contracts in Iraq and 
Afghanistan, [hyperlink, http://www.gao.gov/products/GAO-10-187] 
(Washington, D.C.: Nov 2, 2009). 

[2] Pub. L. No. 110-181, § 863, requires GAO to annually review and 
report on DOD, State, and USAID's acquisition and assistance 
activities in Iraq and Afghanistan. Work on our third annual review is 
currently on-going and will be issued no later than October 1, 2010. 

[3] Pub. L. No. 110-181, § 861. 

[4] Pub. L. No. 110-417, § 854 (2008). 

[5] Pub. L. No. 111-84, § 813 (2009). 

[6] GAO, Military Operations: High-Level DOD Action Needed to Address 
Long-standing Problems with Management and Oversight of Contractors 
Supporting Deployed Forces, [hyperlink, 
http://www.gao.gov/products/GAO-07-145] (Washington, D.C.: Dec. 18, 
2006). 

[7] GAO, Operation Iraqi Freedom: Preliminary Observations on DOD 
Planning for the Drawdown of U.S. Forces from Iraq, [hyperlink, 
http://www.gao.gov/products/GAO-10-179] (Washington, D.C.: Nov. 2, 
2009). 

[8] GAO, Afghanistan Reconstruction: Deteriorating Security and 
Limited Resources Have Impeded Progress; Improvements in U.S. Strategy 
Needed, [hyperlink, http://www.gao.gov/products/GAO-04-403] 
(Washington, D.C.: June 2, 2004); GAO, Afghanistan Reconstruction: 
Despite Some Progress, Deteriorating Security and Other Obstacles 
Continue to Threaten Achievement of U.S. Goals, [hyperlink, 
http://www.gao.gov/products/GAO-05-742] (Washington, D.C.: July 28, 
2005). 

[9] GAO, Rebuilding Iraq: Actions Needed to Improve Use of Private 
Security Providers, [hyperlink, 
http://www.gao.gov/products/GAO-05-737] (Washington, D.C.: July 28, 
2005). 

[10] GAO, Military Operations: Actions Needed to Improve Oversight and 
Interagency Coordination for the Commander's Emergency Response 
Program in Afghanistan, [hyperlink, 
http://www.gao.gov/products/GAO-09-615] (Washington, D.C.: May 18, 
2009). 

[11] An LOA is a document issued by a government contracting officer 
or designee that authorizes contractor personnel to travel to, from, 
and within a designated area; and to identify any additional 
authorizations, privileges, or government support the contractor is 
entitled to under the contract. Contractor personnel need SPOT- 
generated LOAs to, among other things, enter Iraq, receive military 
identification cards, travel on U.S. military aircraft, or, for 
security contractors, receive approval to carry weapons. 

[12] CENTCOM is one of DOD's unified combatant commands. It is 
responsible for overseeing U.S. security interests in 20 countries-- 
including Iraq and Afghanistan--that stretch from the Arabian Gulf 
region into Central Asia. CENTCOM initiated its quarterly census of 
contractor personnel in June 2007 as an interim measure until SPOT is 
fully implemented. The census relies on contractor firms to self-
report their personnel data to DOD components, which then aggregate 
the data and report them to CENTCOM at the end of each quarter. 

[13] State Grants Policy Directive Number 33, Recipient Performance in 
a Designated Area of Combat Operations, January 6, 2009, as amended on 
August 13, 2009. State's amended policy provides an exemption for 
personnel working on assistance instruments for Public International 
Organizations. State considers an assistance award to be either a 
grant, cooperative agreement, or voluntary contribution. 

[14] USAID Acquisition & Assistance Policy Directive 09-01, Contract 
Clause and Assistance Provision for Awards in Iraq, April 1, 2009. 

[15] Contract numbers consist of 13 alphanumeric characters. For our 
review of SPOT data covering fiscal year 2008 and the first half of 
fiscal year 2009, we considered a contract number invalid if the 
contract number entered into SPOT had a different number of characters. 

[End of section] 

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