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United States Government Accountability Office: 
GAO: 

Testimony: 

Before the Committee on Foreign Affairs, House of Representatives: 

For Release on Delivery: 
Expected at 9:30 a.m. EDT:
Thursday, March 17, 2011: 

Nuclear Nonproliferation: 

More Progress Needed in Implementing Recommendations for IAEA's 
Technical Cooperation Program: 

Statement of Gene Aloise, Director:
Natural Resources and Environment: 

GAO-11-482T: 

GAO Highlights: 

Highlights of GAO-11-482T, a testimony before the Committee on Foreign 
Affairs, House of Representatives. 

Why GAO Did This Study: 

A key mission of the International Atomic Energy Agency (IAEA) is 
promoting the peaceful uses of nuclear energy through its Technical 
Cooperation (TC) program, which provides equipment, training, 
fellowships, and other services to its member states. The United 
States provides approximately 25 percent of the TC program’s annual 
budget. While the vast majority of TC projects have not involved the 
transfer of sensitive nuclear materials and technology, TC assistance 
has been provided to countries of proliferation concern. In March 
2009, GAO reported on potential proliferation and management concerns 
related to the program (GAO-09-275). This testimony discusses (1) 
GAO’s findings and recommendations to the Department of State and IAEA in 
that report and (2) agency progress made to implement those 
recommendations to address these concerns. This testimony is based on 
GAO’s 2009 report and updated in March 2011 by (1) reviewing 
documentation on actions taken by State and IAEA in response to the 
report’s recommendations and (2) interviewing State and Department of 
Energy (DOE) officials. 

GAO is making no new recommendations at this time and continues to 
believe that implementation of the recommendations in its March 2009 
report could substantially reduce potential proliferation and 
management concerns related to the TC program. 

What GAO Found: 

As GAO reported in 2009, neither State nor IAEA seeks to 
systematically limit TC assistance to countries that (1) the United 
States has designated as state sponsors of terrorism—-Cuba, Iran, 
Sudan, and Syria; (2) are not party to the Treaty on the Non-
Proliferation of Nuclear Weapons-—India, Israel, and Pakistan; and (3) 
have not completed comprehensive safeguards or additional protocol 
agreements with IAEA. The former head of the TC program told GAO that 
requests for TC assistance are evaluated strictly on technical merits. 
GAO found that the lack of sufficient and timely information provided 
by IAEA on project proposals limits the ability of DOE and the 
national laboratories to fully assess potential proliferation concerns 
associated with the program. In addition, GAO identified limitations 
in how the program is managed, including the failure of many member 
states to pay their full share of support to IAEA’s Technical 
Cooperation Fund (TCF) and the use of outdated program metrics. GAO 
asked Congress to consider directing State to withhold a proportionate 
share of the U.S. voluntary contribution to the TC program that is 
equivalent to the amounts of TCF funding that would otherwise be made 
available to U.S.-designated state sponsors of terrorism, as the 
United States currently does with Cuba and has done in the past with 
other countries and territories. GAO recommended that State, working 
with IAEA, undertake eight actions to address proliferation and 
management concerns related to the program, such as establishing a 
mechanism to facilitate greater and more timely information sharing on 
proposals. GAO made two additional recommendations to State, including 
enhancing its record-keeping on project proposals identified as having 
potential proliferation concerns, and developing formal guidance to 
evaluate requests from TC fellows to study nuclear issues in the 
United States. 

State and IAEA have made some progress in implementing several of the 
recommendations in GAO’s report. This progress includes, among other 
things, (1) IAEA providing proposal information to the United States 
and other member states earlier in the project approval process; (2) 
IAEA pursuing efforts to promote results-based management of TC 
projects; (3) State doing better tracking of TC proposals that may 
contain proliferation concerns; and (4) State developing new guidance 
and criteria for accepting or denying requests by foreign TC fellows 
to study in the United States. State, however, continues to strongly 
oppose GAO’s suggestion that Congress consider requiring State to 
withhold a proportionate share of U.S. voluntary contributions to the 
fund for TC program assistance provided to U.S.-designated state 
sponsors of terrorism. GAO continues to believe that Congress should 
give serious consideration to this matter because there is a precedent 
for such a withholding and because such action would foster a more 
consistent and cohesive U.S. policy toward such nations that the 
United States chooses not to engage directly in trade, assistance, and 
other forms of cooperation. 

View GAO-11-482T or key components. For more information, contact Gene 
Aloise at (202) 512-3841 or aloisee@gao.gov. 

[End of section] 

Madam Chairman and Members of the Committee, 

I am pleased to be here today to discuss the findings and 
recommendations from our March 2009 report on the International Atomic 
Energy Agency's (IAEA) Technical Cooperation (TC) program and the 
actions the Department of State and IAEA have taken to implement the 
recommendations in that report.[Footnote 1] In March 2011, we reviewed 
documentation provided by State and IAEA and interviewed State and 
Department of Energy (DOE) officials to obtain updated information on 
actions taken to implement our 2009 recommendations. 

IAEA is an independent international organization based in Vienna, 
Austria, affiliated with the United Nations. It has the dual mission 
of promoting the peaceful uses of nuclear energy and verifying that 
nuclear technologies and materials intended for peaceful purposes are 
not diverted to weapons development efforts. The TC program is a main 
pillar of IAEA's mission to promote the peaceful uses of nuclear 
energy. To that end, the TC program helps IAEA member states achieve 
their sustainable development priorities by furnishing them with 
relevant nuclear technologies and expertise, and the program plays a 
role in facilitating Article IV of the Treaty on the Non-Proliferation 
of Nuclear Weapons (NPT), which affirms that all states party to the 
treaty have a right to participate in the exchange of equipment, 
materials, and scientific and technological information for peaceful 
uses of nuclear energy. Through the TC program, IAEA has supported the 
development of nuclear technology for peaceful applications in a 
variety of areas, including energy, human health, food and 
agriculture, and nuclear safety. TC projects have supported efforts to 
eradicate tsetse flies and other insect pests in certain regions, 
control communicable diseases in developing countries, and develop 
higher-yielding agricultural crops. In 2007, the TC program disbursed 
over $93 million in nuclear technical assistance to 122 countries and 
territories. All IAEA member states are eligible for TC assistance; 
however, not all countries request assistance. The United States 
participates as a donor and is the largest financial contributor to 
the TC program, providing approximately 25 percent of its budget, or 
approximately $19.8 million, in 2007.[Footnote 2] 

In our 1997 report on the TC program, we found that while the vast 
majority of TC projects did not involve the transfer of sensitive 
nuclear materials and technologies, nuclear assistance had been 
provided to countries that posed proliferation risks.[Footnote 3] 
Proliferation concerns about the TC program have persisted because of 
the assistance it has provided to certain countries, including four 
countries--Cuba, Iran, Sudan, and Syria--that the United States has 
designated as state sponsors of terrorism, and because nuclear 
equipment, technology, and expertise can be dual-use--capable of 
serving peaceful purposes, such as the production of medical isotopes, 
but also useful in contributing to nuclear weapons development. For 
example, in 2006, IAEA refused to support a TC proposal from Iran 
requesting assistance for a heavy water reactor near the town of Arak. 
Iran stated that the reactor was intended for the production of 
medical isotopes, but the United States and other IAEA members 
objected due to concerns that the plant could serve as a source of 
plutonium for use in nuclear weapons. 

Background: 

IAEA's policy-making bodies--the General Conference and the Board of 
Governors--set overall policy direction for the TC program. The United 
States is a permanent member of the Board of Governors. IAEA's 
Secretariat--led by a Director General and structured into six 
functional departments, including the Department of Technical 
Cooperation--is responsible for implementing policies established by 
the General Conference and the Board of Governors.[Footnote 4] 

Typically, the TC program develops and approves new projects on a 2- 
year cycle. Member states begin submitting project proposal concepts 
to IAEA in September of the year prior to approval. IAEA officials 
screen proposal concepts through the fall, and member states develop 
and refine their proposals through March of the approval year. By 
July, IAEA's Secretariat comes to a final agreement on TC project 
proposals that it will back for approval by the Technical Assistance 
and Cooperation Committee and the Board of Governors. The TC project 
proposals are discussed with member states in bilateral and regional 
group meetings during IAEA's General Conference, which is held in 
September. In November, the Technical Assistance and Cooperation 
Committee and the Board of Governors give final approval to the 
proposed TC projects. This approval covers the entire life cycle of 
the project. 

As of June 2008, 1,290 TC projects were under way, with each project 
lasting, on average, 3 to 4 years. A TC project typically has several 
components, including equipment procurement, provision of expert 
services, training, and fellowships. Each year, about 1,600 
individuals around the world are granted fellowships by the TC 
program, allowing them to pursue specialized nuclear studies at 
universities, institutes, and other facilities outside their home 
countries. 

Financing of TC projects is generally supported through the annual 
voluntary contributions of member states to IAEA's Technical 
Cooperation Fund (TCF).[Footnote 5] Each member state is expected to 
meet an annual financial pledge to the TCF, which is set as a 
percentage of the total TCF target budget. The U.S. target rate has 
been set at 25 percent of the TCF target budget, while many of the 
least developed countries are expected to contribute less than 1 
percent of the TCF budget. Contributions to the TCF are fungible--that 
is, they are not designated for, and cannot be traced to, specific TC 
projects. 

In the United States, State and DOE are the two principal agencies 
involved in TC issues. U.S. funding to the TC program--including its 
contribution to the TCF, extrabudgetary funding for specific projects, 
and "in-kind" contributions--is provided from State's budget as part 
of the overall annual U.S. "voluntary contribution" to IAEA.[Footnote 
6] In addition to providing funding to IAEA, State coordinates U.S. 
policy toward the TC program by working through the U.S. Mission to 
International Organizations in Vienna. 

In our 1997 report on the TC program, we asked Congress to consider 
requiring State to withhold a proportional share of its voluntary 
funds to IAEA that would otherwise go to countries of concern, as 
defined by section 307(a) of the Foreign Assistance Act of 1961, if it 
wished to make known that the United States does not support IAEA's 
technical assistance projects in those nations. In addition, we 
recommended that the Secretary of State direct the U.S. interagency 
group on IAEA technical assistance to systematically review all 
proposals for TC projects in countries of concern prior to their 
approval by IAEA to determine whether the projects are consistent with 
U.S. nuclear nonproliferation goals. In response, an interagency 
process was established, involving State, DOE, and the DOE national 
laboratories, to evaluate proposed and active TC projects for 
proliferation risks. State leads the reviews of TC project proposals 
and ongoing projects. DOE provides technical input to this process 
using the technical expertise of its national laboratories to assess 
the projects' proliferation risks and reports its findings to State. 

GAO's 2009 Findings and Recommendations on Potential Proliferation and 
Management Concerns Surrounding the TC Program: 

In our 2009 report, we identified potential proliferation concerns 
with the TC program, including concerns about certain countries 
receiving TC assistance--such as those designated by the United States 
as state sponsors of terrorism--and lack of sufficient and timely 
information from IAEA on TC project proposals to allow the United 
States or other member states to assess the proliferation risks of the 
proposed projects. We also identified several limitations in how the 
TC program is managed, which could undermine its long-term 
effectiveness, including the use of outdated program metrics and 
financial resource constraints. 

GAO's Findings on Potential Proliferation and Management Concerns in 
the TC Program: 

In our 2009 report, we found that neither State nor IAEA sought to 
systematically limit or prevent TC assistance to countries that (1) 
have been identified as sponsors of terrorism, (2) are not parties to 
the NPT, and (3) have not completed comprehensive safeguards or 
additional protocol agreements with IAEA. Specifically: 

* State officials told us that the United States did not 
systematically try to limit TC projects in Cuba, Iran, Sudan, and 
Syria--which the department designated as sponsors of terrorism. These 
four countries received more than $55 million in TC assistance from 
1997 through 2007. Moreover, IAEA officials told us that the agency 
did not seek to limit or condition TC assistance in countries such as 
Iran and Syria that have been found or suspected by IAEA of having 
violated their safeguards commitments and may be engaged in undeclared 
nuclear activities. Under U.S. law, however, State withholds a portion 
of its contributions, except for certain projects, to the TCF equal to 
the U.S. proportionate share of TC expenditures in Cuba. In addition, 
in the past, State has withheld a proportionate share of its TCF 
contribution for Iran, Libya, and the Territories Under the 
Jurisdiction of the Palestinian Authority. Regarding Iran, State 
reported in 2007 that three TC projects in that country were directly 
related to the Iranian nuclear power plant at Bushehr. IAEA's former 
Deputy Director General for the TC program told us that requests for 
TC assistance are evaluated strictly on technical merits and the 
contributions of the proposed projects to a nation's development 
priorities. 

* From 1997 through 2007, the TC program disbursed approximately $24.6 
million in assistance to India, Israel, and Pakistan, although these 
states are not party to the NPT. IAEA officials told us that NPT 
membership is not required for IAEA member states to receive TC 
assistance under the agency's statute. State officials told us that 
the United States did not attempt to systematically limit TC program 
support to countries that are not signatories to the NPT. 

* According to IAEA, Article III of the NPT requires all nonnuclear 
weapon states to conclude comprehensive safeguards agreements with the 
agency, and the United States and IAEA have recognized an inherent 
linkage between nonnuclear weapon states' rights to access peaceful 
nuclear technology and their obligation to accept safeguards on their 
nuclear activities.[Footnote 7] We found, however, that nonnuclear 
weapon state members of IAEA are not required to complete 
comprehensive safeguards or additional protocol agreements with IAEA 
to be eligible for TC assistance, even though U.S. and IAEA officials 
have stressed the need for all countries to bring such arrangements 
into force as soon as possible.[Footnote 8] We found that 17 states 
and territories without comprehensive safeguards agreements in force 
in 2007 received approximately $6.7 million in TC program assistance 
that year, while 62 states and territories without an additional 
protocol in force in 2007 received approximately $43.2 million in 
assistance that same year. 

We also found that the proliferation concerns associated with the TC 
program were difficult for the United States to fully identify, 
assess, and resolve for the following reasons: 

* Lack of sufficient and timely information on TC project proposals. 
State, DOE, and national laboratory officials told us that there was 
no formal mechanism for obtaining TC project information from IAEA 
during the proposal development phase. Of the 1,565 proposed TC 
projects DOE and the national laboratories reviewed for possible 
proliferation risks from 1998 through 2006, information for 1,519 
proposals, or 97 percent, consisted of only project titles. DOE and 
national laboratory officials told us that a TC project proposal title 
alone is generally insufficient to reliably assess proliferation risk. 
In addition, DOE and national laboratory officials told us that in 
recent years they had received less information about proposed TC 
projects and that the information they did receive is arriving closer 
to the time when such projects must be approved by IAEA's Technical 
Assistance and Cooperation Committee and the Board of Governors. 
State, DOE, and national laboratory officials told us that it is 
preferable to raise potential proliferation concerns about TC 
proposals with IAEA officials early in the development cycle, when 
project proposals can be modified more readily. Finally, while IAEA's 
Safeguards Department reviews TC proposals and ongoing projects, we 
were told the results of these reviews are confidential and are not 
shared with the United States or other governments. We were unable to 
assess the effectiveness of this IAEA internal review process because 
IAEA officials declined to provide us with certain basic information 
regarding the results of the review, including the total number of TC 
proposals the Safeguards Department identified as having potential 
proliferation concerns. 

* Limited State documentation on how proliferation concerns of TC 
proposals were resolved. From 1998 through 2006, DOE and the national 
laboratories identified 43 of the 1,565 TC proposals they reviewed as 
having some degree of potential proliferation risk. IAEA approved 34 
of these 43 proposals. However, we were unable to determine if State 
addressed DOE's and the national laboratories' concerns because--with 
the exception of one case--State could not document how it responded 
to these findings. State officials told us that as a result of a 2005 
reorganization of the department's arms control and nonproliferation 
bureaus, the office that monitors TC program issues has fewer staff to 
conduct IAEA oversight. 

* Shortcomings in U.S. policies and IAEA procedures related to TC 
program fellowships. From 1997 through 2007, we found that of 1,022 TC 
program fellows who studied nuclear issues at universities or other 
organizations in the United States, 23 were from non-NPT member 
states, such as Israel and Pakistan, or from U.S.-designated state 
sponsors of terrorism, such as Syria. We found that State's Office of 
Multilateral Nuclear and Security Affairs lacked a formal policy and 
specific criteria to serve as the basis for approving or rejecting 
requests from TC fellows to study nuclear issues in the United States. 
[Footnote 9] In addition, we found shortcomings in the extent to which 
IAEA monitored the proliferation risks of TC fellowships. 
Specifically, IAEA did not systematically track individuals who 
completed fellowships to determine whether they were still working on 
peaceful nuclear programs in their home country, and how the knowledge 
and expertise they obtained is being applied. 

In the 2009 report, we also identified management challenges limiting 
the TC program's long-term effectiveness in three areas: program 
performance metrics, financial resource constraints, and project and 
program sustainability. Specifically: 

* Inadequate program performance metrics. IAEA did not have adequate 
metrics for measuring the TC program's impact. For example, IAEA 
officials told us that performance metrics developed in 2002 did not 
assess the impact of TC projects in meeting specific member state 
development and other needs, such as the number of additional cancer 
patients treated or the number of new nuclear security safety 
regulations promulgated. IAEA's internal auditor also reported that 
the TC program lacked appropriate performance indicators. 

* Financial resource constraints. Many member states did not pay their 
full share of support to the TCF but nevertheless received TC 
assistance, while some high-income countries also received support 
from the TC program. The TCF experienced a shortfall in 2007 of $3.5 
million, or 4 percent, of the $80 million total target budget because 
62 member states did not pay their full contributions, including 47 
countries that made no payment at all. In addition, in 2007, 13 member 
states that the UN defined as high-income received a total of $3.8 
million in assistance from the program, or 4 percent of the total TC 
disbursements that year. While IAEA officials told us it would be 
helpful if more developed countries shifted from TC recipients to 
donors, IAEA had not developed a policy or criteria for determining 
when such countries should be graduated from assistance. 

* TC project and program sustainability challenges. IAEA did not 
systematically review completed TC projects to determine or verify 
whether the host country is sustaining project activities and results. 
In addition, the TC program overall faced sustainability challenges 
because program funding was distributed across 18 different technical 
areas, making it difficult for IAEA to set clear program priorities 
and to maximize the impact of limited TC program resources. Finally, 
IAEA had developed outreach strategies to engage new potential 
partners and donors--primarily from international development 
organizations--to help sustain the TC program. However, this effort 
faced several limitations and shortcomings, including a focus on 
attracting TC program donors and partners in the economic and social 
development communities--rather than private sector partnerships--and 
failure to evaluate long-term commercial potential of TC projects. 

GAO's Recommendations to Address Potential Proliferation and 
Management Concerns in the TC Program: 

Based on our findings, we asked Congress to consider directing State 
to withhold a proportionate share of future U.S. voluntary 
contributions to the TC program that is equivalent to the amounts of 
TCF funding that would otherwise be made available to U.S.-designated 
state sponsors of terrorism and other countries of concern, as it 
currently does with Cuba and has done in the past with Iran, Libya, 
and the Territories Under the Jurisdiction of the Palestinian 
Authority. Alternatively, we noted that if Congress wishes to obtain 
additional information before making this decision, it could require 
State to report to Congress explaining its rationale for not 
withholding a proportionate share of the U.S. contribution to the TCF 
for U.S.-designated state sponsors of terrorism. 

In addition, we recommended that the Secretary of State, working with 
IAEA and member states through the Board of Governors, explore 
undertaking the following eight actions to address the range of 
proliferation and management concerns related to the TC program: 

* Establish a formal mechanism to facilitate greater and more timely 
information sharing on TC project proposals between IAEA and the 
United States and other countries--including detailed information on 
the TC proposals themselves, as well as the results of IAEA's internal 
proliferation reviews of the proposals--so that proliferation and 
other concerns can be identified and addressed early in the project 
development cycle. 

* Promote a regular and systematic process for obtaining, retaining, 
and updating information on prior TC project fellows to better track 
where and how the knowledge and expertise they have obtained is being 
applied. 

* Strengthen the TC program's mechanisms for collecting member states' 
contributions to the TCF to include withholding from nonpaying states 
a percentage of TC assistance equivalent to the percentage of their 
target rate that they fail to contribute to the TCF. 

* Establish criteria for determining when member states, especially 
those defined as high-income countries, no longer need TC assistance 
in particular fields and when such states could be graduated from 
further TC support altogether. 

* Seek to implement new results-based performance metrics for the TC 
program that establish specific national, regional, and interregional 
social and economic needs and measure the collective impact of TC 
projects in meeting those objectives. 

* Focus the TC program on a more limited number of high-priority 
technical areas to maximize the impact of program resources. 

* Encourage the TC program to reach out to private sector entities as 
part of its new partner and donor development strategy. 

* Request member states to assess in their TC project proposals the 
prospects for commercialization of and private sector investment in 
the results of the projects. Such steps could include requiring 
information in the proposals on potential business plans, marketing 
strategies, and strategies for attracting commercial partners once 
IAEA support has concluded. 

Finally, to clarify and improve U.S. oversight of the TC program, we 
recommended that the Secretary of State undertake the following two 
actions: 

* Enhance record-keeping and formally document management actions 
regarding the discussion, action, and disposition of TC project 
proposals that DOE and the national laboratories identify as having 
potential proliferation concerns. 

* Issue formal guidance with well-defined criteria--such as countries 
designated by State as sponsors of terrorism or gross human rights 
violators--that State should use as the basis for approving or 
rejecting TC fellowship requests for nuclear studies in the United 
States. This guidance could include, among other things, a list of 
specific countries from which State would not approve TC fellows that 
could be updated and revised annually, or as other circumstances 
warrant. 

State Continues to Oppose Withholding a Proportionate Share of U.S. 
Funding for the TC Program, but State and IAEA have Made Some Progress 
in Implementing Our Other Recommendations: 

State officials told us that they continue to strongly oppose our 
matter for congressional consideration to require State to withhold a 
proportionate share of the U.S. voluntary contribution to the TC 
program that is equivalent to the amounts of TCF funding that would 
otherwise be made available to U.S.-designated state sponsors of 
terrorism and other countries of concern. In its comments on our 2009 
report, State objected to the matter for a number of reasons, noting 
that (1) it would be counterproductive to a separate recommendation we 
made in the report encouraging all states to pay their full share to 
the TCF; (2) it would not stop TC projects in targeted countries 
because TCF funding is fungible; (3) Congress has exempted IAEA 
contributions from this type of proportionate withholding; (4) none of 
the TC projects in state sponsors of terrorism have been shown to have 
contributed to a WMD program; (5) there are adequate safeguards within 
IAEA's Secretariat to prevent TC projects from contributing to a WMD 
program; and (6) it would negatively impact the ability of the United 
States to achieve other critical objectives within IAEA. 

We continue to believe that Congress should give serious consideration 
to this matter, and that it is not unique or unprecedented. As we 
noted in our report, U.S. law currently requires the withholding of a 
proportionate share of the U.S. contribution to the TCF for certain 
projects in Cuba, and has required withholding in the past for Iran, 
Libya, and the Territories Under the Jurisdiction of the Palestinian 
Authority. Moreover, we believe there is a fundamental principle at 
stake. As we described in our report, the United States has applied 
several types of sanctions limiting foreign assistance and trade to 
states it has designated as sponsors of terrorism and to other 
countries. To avoid the appearance of an inconsistent approach and to 
foster greater cohesion in U.S. policy toward such nations, we believe 
that it is fair for Congress to consider requiring State to withhold a 
share of the U.S. contribution to the TCF for program activities in 
countries that the United States chooses not to engage directly in 
trade, assistance, and other forms of cooperation. The United States 
would almost certainly continue to be the largest donor to the TC 
program even with such a withholding, and State could deflect 
potential criticism from other member states by offsetting the amount 
of funding it withholds from the TCF by increasing the amount of 
funding provided through its extrabudgetary contribution for "footnote 
a/" TC projects.[Footnote 10] In this way, total U.S. financial 
support to the TC program--and U.S. political commitment to the IAEA 
mandate and the NPT--could be preserved. To give Congress greater 
flexibility and more information on this matter, we suggested that 
Congress could consider the alternative option of requiring State to 
report on its rationale for not withholding a proportionate share of 
the U.S. contribution to the TCF for U.S.-designated state sponsors of 
terrorism. 

Despite its disagreement with our matter for congressional 
consideration, State has taken our other 2009 report recommendations 
seriously and has communicated directly with IAEA officials on their 
potential implementation. For instance, we reviewed correspondence 
from 2010 between State and IAEA officials in which State underscored 
its support for most of our recommendations. In addition, in March 
2011, State officials told us they were optimistic that the new IAEA 
Director General and new Deputy Director General for the Technical 
Cooperation Program will continue to be receptive to changes to the 
management of the TC program. Nevertheless, State officials commented 
that while the United States remains the largest TC program donor, 
State has limited ability to influence IAEA's decision-making and 
cannot direct or require IAEA to implement our recommendations. 
Moreover, in the correspondence between State and IAEA we reviewed, 
IAEA officials indicated that while they are supportive of some of our 
recommendations--such as phasing out highly-developed nations from 
further TC assistance--fully implementing them could require changes 
in IAEA policies that must be decided by IAEA's governing bodies, not 
by the Secretariat itself. 

Nevertheless, State and IAEA officials were able to cite varying 
levels of progress concerning implementation of our recommendations. 
[Footnote 11] Progress was reported by State and IAEA in 7 of our 
recommendations, as follows: 

* Establishing a formal mechanism to facilitate greater and more 
timely information sharing on TC project proposals between IAEA and 
the United States and other countries. Although no formal mechanism 
has yet been established, according to State officials, IAEA's 
Secretariat took steps to ensure that descriptions of TC project 
proposals were provided to all IAEA member states during the September 
2010 Board of Governors meeting. State officials told us that 
receiving the TC proposal descriptions 5 weeks in advance of the 
November 2010 Technical Assistance and Cooperation Committee and Board 
of Governors meetings, during which the proposals were approved, was a 
significant improvement from the previous practice, in which proposal 
information was typically made available to member states 2 weeks 
prior to these meetings. IAEA officials indicated in documentation 
provided to us in March 2011 that the Secretariat is aiming to provide 
proposals 5 to 6 weeks in advance of the 2011 November Technical 
Assistance and Cooperation Committee and Board of Governors meetings. 
A DOE official, who coordinates efforts by DOE and its national 
laboratories to assess proliferation concerns with the TC program, 
confirmed that information on TC project proposals was provided 
earlier by IAEA and that this additional amount of time was helpful to 
the U.S. proliferation review process. This official believed, 
however, that the amount and usefulness of information provided by 
IAEA about the proposed projects had not significantly improved since 
our report was issued in 2009. As a result, the DOE official told us 
that DOE generally considered TC proposal information alone to be 
insufficient to allow DOE and its national laboratories to reliably 
assess the proliferation risks of the TC proposals. The DOE official 
noted that the U.S. government has continued efforts to obtain more 
information from IAEA on TC proposals, although he said that it 
remains to be seen whether such efforts will bear fruit. 

* Promoting a regular and systematic process for obtaining, retaining, 
and updating information on prior TC project fellows. Documentation 
IAEA provided to us in March 2011 highlighted a new IAEA system called 
the "InTouch Platform" launched in early 2011 that will allow IAEA to 
remain in contact with TC fellows. State officials told us that the 
usefulness of this system, however, depends on the willingness of TC 
fellows to voluntarily report and update information on their 
whereabouts and activities. 

* Seeking to implement new results-based performance metrics for the 
TC program. According to State officials, IAEA officials in the TC 
Department have undertaken steps to foster results-based performance 
metrics for TC projects. These steps have included IAEA sponsorship of 
an interregional TC project and issuance of guidelines that are 
designed to promote results-based management of TC projects by IAEA 
member states. Documentation IAEA provided to us in March 2011 noted 
that the TC program is working on standard performance indicators for 
each of the TC program's 30 fields of activities, and that the 2012- 
2013 cycle of TC projects will include strengthened monitoring and 
reporting requirements on project results. 

* Focusing the TC program on a more limited number of high-priority 
technical areas to maximize the impact of program resources. In 
documentation provided to us in March 2011, IAEA reported that it has 
consolidated the field of activities covered by the TC program from 
140 fields to 30 fields, notified member states that no more than 8 
active TC projects will be supported per country, and undertaken a 
major management effort to close long-standing TC projects. According 
to IAEA, these steps are expected to lead to a smaller overall 
portfolio of TC projects. 

* Requesting member states to assess in their TC project proposals the 
prospects for commercialization of and private sector investment in 
the results of the projects. While no formal mechanism for assessing 
commercialization or private sector investment potential appears to 
have been incorporated into the TC proposal development process, in 
documentation IAEA provided to us in March 2011 it was noted that 
there have been instances where TC project commercialization has been 
realized, including mutation breeding of rice varieties in Vietnam and 
Pakistan. 

* Enhancing State record-keeping and formally documenting management 
actions regarding the discussion, action, and disposition of TC 
project proposals having potential proliferation concerns. State has 
implemented a new e-mail and cable management system since our report 
that State officials said they believe will improve storage and 
retrievability of their records regarding the discussion, action, and 
disposition of TC project proposals that DOE and its national 
laboratories identified during the interagency review process as 
having potential proliferation concerns. 

* Issuing formal guidance with well-defined criteria that State should 
use as the basis for approving or rejecting TC fellowship requests for 
nuclear studies in the United States. State has developed formal 
guidance establishing criteria for accepting or denying applications 
from TC fellows from foreign countries requesting opportunities to 
study nuclear issues at institutions in the United States. Among other 
things, this guidance states that TC fellowship applications for 
nuclear studies in the United States from countries listed as state 
sponsors of terrorism and from countries deemed gross human rights 
violators would not be approved. 

We are making no new recommendations at this time. In preparing for 
this hearing, we interviewed State officials on how our 
recommendations have been implemented. We also interviewed a DOE 
official for his views regarding changes in the quantity and 
timeliness of information DOE has received on TC proposals since our 
2009 report and whether this information has improved DOE's ability to 
assess proposed TC projects for potential proliferation concerns. We 
also reviewed documentation provided by State and IAEA concerning our 
recommendations and the steps taken to implement them. We discussed 
the factual information in this statement with State and DOE officials 
and incorporated their comments as appropriate. We conducted the 
performance audit work that supports this statement in accordance with 
generally accepted auditing standards. Those standards require that we 
plan and perform the audit to obtain sufficient, appropriate evidence 
to produce a reasonable basis for our findings and conclusions based 
on our audit objectives. We believe the evidence obtained provides a 
reasonable basis for our statement today. 

Madam Chairman, this concludes my prepared statement. I would be 
pleased to answer any questions that you or other Members of the 
Committee may have at this time. 

GAO Contact and Staff Acknowledgments: 

For further information about this testimony, please contact Gene 
Aloise at (202) 512-3841 or aloisee@gao.gov. Contact points for our 
Offices of Congressional Relations and Public Affairs may be found on 
the last page of this statement. Glen Levis, Assistant Director, and 
William Hoehn made key contributions to this statement. 

[End of section] 

Footnotes: 

[1] GAO, Nuclear Nonproliferation: Strengthened Oversight Needed to 
Address Proliferation and Management Challenges in IAEA's Technical 
Cooperation Program, [hyperlink, 
http://www.gao.gov/products/GAO-09-275] (Washington, D.C.: Mar. 5, 
2009). 

[2] In 2010, the United States' voluntary contribution to the IAEA 
Technical Cooperation Fund was $21 million. In addition, the United 
States provided approximately $10.3 million in technical cooperation 
extrabudgetary assistance in 2010. 

[3] GAO, Nuclear Nonproliferation and Safety: Concerns With the 
International Atomic Energy Agency's Technical Cooperation Program, 
[hyperlink, http://www.gao.gov/products/GAO/RCED-97-192] (Washington, 
D.C.: Sept. 16, 1997). 

[4] The other IAEA departments are the Departments of Management, 
Nuclear Sciences and Applications, Safeguards, Nuclear Energy, and 
Nuclear Safety and Security. 

[5] A TC project may be funded in whole or in part from the TCF, and 
can be supported through extrabudgetary funding provided by member 
states or international organizations. 

[6] The U.S. voluntary contribution to IAEA also supports other IAEA 
programs and activities, including safeguards, nuclear safety, and 
nuclear security. 

[7] The NPT requires nonnuclear weapon state parties to the treaty 
(defined as those countries that had not manufactured and detonated a 
nuclear device before January 1, 1967) to accept IAEA safeguards on 
all nuclear material used in peaceful activities so that the agency 
can verify that their nuclear programs are not being used for weapons 
purposes. Most countries have concluded "comprehensive safeguards 
agreements" with IAEA, under which governments declare their nuclear 
materials and activities to IAEA. The agency then verifies and 
monitors these declarations. 

[8] IAEA has sought to further strengthen its verification efforts 
through a complementary "additional protocol" to a country's 
comprehensive safeguards agreement. Under such protocols, states must 
provide IAEA with broader information and wider access rights on all 
aspects of their activities related to the nuclear fuel cycle. 

[9] However, we noted that TC fellows must apply for a U.S. 
nonimmigrant visa in order to enter the United States and begin their 
studies. State's Bureau of Consular Affairs handles the adjudication 
of these visa applications, and in some cases, the consular officers 
will request a security advisory opinion, known as a Visa Mantis, if 
there are concerns that a visa applicant may engage in the illegal 
transfer of sensitive technology. According to State, the key role of 
the Visa Mantis process is to protect U.S. national security, 
particularly in combating the proliferation of weapons of mass 
destruction, their delivery systems, and conventional weapons. 

[10] Projects that IAEA approves but that cannot be supported by 
available TCF resources are referred to as "footnote a/" projects. 
Extrabudgetary funding provided by member states or international 
organizations can be allocated directly to specific footnote 
a/projects. 

[11] We did not independently verify the progress made by IAEA in 
implementing our recommendations given the time constraints in 
preparing this testimony. 

[End of section] 

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