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United States Government Accountability Office: 
GAO: 

Testimony: 

Before the Committee on Veterans' Affairs, House of Representatives: 

For Release on Delivery: 
Expected at 10:30 a.m. EDT:
Tuesday, April 5, 2011: 

VA Real Property: 

Realignment Progressing, but Greater Transparency about Future 
Priorities Is Needed: 

Statement of Lorelei St. James:
Acting Director, Physical Infrastructure Issues: 

GAO-11-512T: 

GAO Highlights: 

Highlights of GAO-11-521T, a testimony before the Committee on Veterans’
Affairs, House of Representatives. 

Why GAO Did This Study: 

The Department of Veterans Affairs (VA) has undertaken various 
planning efforts to realign its real property portfolio, including the 
Capital Asset Realignment for Enhanced Services (CARES), creation of a 
5-year capital plan, and its newest effort, the Strategic Capital 
Investment Planning process (SCIP). Through these efforts, VA has 
identified numerous real property priorities it believes should be 
completed if the agency’s facilities are to meet veterans’ needs for 
services now and in the future. In January 2011, GAO reported on the 
extent to which VA’s capital planning efforts (1) have resulted in 
changes to its real property portfolio and (2) follow leading 
practices and provide information for informed decision making. This 
statement summarizes the results of this report. To perform the work 
for the report, GAO reviewed leading capital planning practices and 
data on VA’s real property portfolio and future priorities. GAO also 
interviewed VA officials and veterans service organizations and 
visited sites in 5 of VA’s 21 veterans integrated service networks. 

What GAO Found: 

GAO reported that, through its capital planning efforts, VA had taken 
steps to realign its real property portfolio from hospital based, 
inpatient care to outpatient care, but a substantial number of costly 
projects and other long-standing challenges also remain. Several of VA’
s most recent capital projects-—such as community based outpatient 
clinics, rehabilitation centers for blind veterans, and a spinal cord 
injury center—-were based on its CARES efforts and subsequent capital 
planning. VA officials and veterans service organizations GAO 
contacted agreed that these facilities have had a positive effect on 
veterans’ access to services. However, VA had identified several high-
cost priorities such as facility repairs and projects that have not 
yet been funded. For example, VA reported in its 5-year capital plan 
for fiscal years 2010-2015 that it had a backlog of $9.4 billion of 
facility repairs. The 5-year plan further identified an additional 
$4.4 billion in funding to complete 24 of the 69 ongoing major 
construction projects. Besides substantial funding priorities, GAO 
also found that VA, like other agencies, has faced underlying 
obstacles that have exacerbated its real property management 
challenges and can also impact its ability to fully realign its real 
property portfolio. GAO previously reported that such challenges 
include competing stakeholder interests, legal and budgetary 
limitations, and capital planning processes that did not always 
adequately address such issues as excess and underutilized property. 

VA’s capital planning efforts generally reflected leading practices, 
but lacked transparency about the cost of future priorities that could 
better inform decision making. For example, VA’s 2010-2015 capital 
plan linked its investments with its strategic goals, assessed the 
agency’s capital priorities, and evaluated various alternatives. Also, 
SCIP strengthened VA’s capital planning efforts by extending the 
horizon of its 5-year plan to 10 years and providing VA with a longer 
range picture of the agency’s future real property priorities. VA 
officials told GAO that SCIP builds on its existing capital planning 
processes, addresses leading practices, and further strengthens VA’s 
efforts in some areas. GAO has not fully assessed SCIP and it remains 
to be seen what impact SCIP will have on the results of VA’s capital 
planning efforts. While these changes were positive steps, GAO found 
that VA’s planning efforts lacked transparency regarding the magnitude 
of costs of the agency’s future real property priorities, which may 
limit the ability of VA and Congress to make informed funding 
decisions among competing priorities. For instance, for potential 
future projects, VA’s 2010-2015 capital plan only listed project name 
and contained no information on what these projects were estimated to 
cost or the priority VA had assigned to them beyond what was then the 
current budget year. Transparency about future requirements would 
benefit congressional decision makers by putting individual project 
decisions in a long-term, strategic context, and placing VA’s fiscal 
situation within the context of the overall fiscal condition of the 
U.S. government. 

What GAO Recommends: 

In the report, GAO recommended that VA annually provide to Congress 
the full results of its SCIP process and any subsequent capital 
planning efforts, including details on estimated costs of future 
projects. VA concurred with this recommendation. 

View [hyperlink, http://www.gao.gov/products/GAO-11-521T] or key 
components. For more information, contact Lorelei St. James at (202) 
512-2834 or stjamesl@gao.gov. 

[End of section] 

Chairman Miller, Ranking Member Filner, and Members of the Committee: 

I am pleased to be here today as you examine construction planning 
issues related to the Department of Veterans Affairs (VA). VA is one 
of the largest federal property-holding agencies, with more than 
33,000 acres of land and over 5,500 buildings. VA uses this diverse 
inventory of real property to ensure that veterans receive medical 
care, benefits, social support, and lasting memorials. Over time, VA 
has recognized the need to modernize its facilities and realign its 
real property portfolio to provide accessible, high-quality, and cost- 
effective access to its services. Its Capital Asset Realignment for 
Enhanced Services (CARES) planning effort, which began over a decade 
ago, was designed to assess its building and land ownership in 
response to changing veterans' inpatient and outpatient demand for 
care. Since its 2004 CARES decision report, VA has undertaken 
additional planning efforts to realign its real property portfolio. 
For example, with its annual budget submission to Congress, VA began 
including 5-year capital plans that included information about 
projects it was seeking to start, as well as the estimated costs from 
first year through completion. More recently, VA developed a Strategic 
Capital Investment Planning (SCIP) process, which is intended to 
continue VA's efforts to prioritize its most urgent real property 
priorities. Through these capital planning efforts, VA has identified 
numerous real property priorities that it believes should be completed 
if the agency's facilities are to meet veterans' demand for services. 

This statement is primarily based on our January 2011 report, which 
addressed the impact of CARES and the effectiveness of VA's capital 
planning process.[Footnote 1] This statement addresses the following 
questions also covered in the report: 

1. To what extent have VA's capital planning efforts resulted in 
changes to its real property portfolio and what priorities remain? 

2. To what extent do VA's capital planning efforts follow leading 
federal practices and provide the information needed for informed 
decision making? 

To perform this work, we reviewed leading capital planning practices 
and data on VA's real property portfolio and future priorities. We 
also interviewed VA officials and veterans service organizations, and 
visited sites in 5 of VA's 21 veterans integrated service networks. 
More detailed information on our scope and methodology can be found in 
appendix I of the report. 

Our work was performed in accordance with generally accepted 
government auditing standards. This report did not assess the results 
of VA's capital planning proposals that are reflected in the 
President's fiscal year 2012 budget, which was released after our 
report was issued. 

In summary, we found that through its capital planning efforts, VA had 
taken steps to realign its real property portfolio from hospital 
based, inpatient care to outpatient care, but a substantial number of 
costly projects and other long-standing challenges also remain. 
Several of VA's most recent capital projects--such as community based 
outpatient clinics, rehabilitation centers for blind veterans, and a 
spinal cord injury center--were based on its CARES efforts and 
subsequent capital planning. VA officials and veterans service 
organizations we contacted agreed that these facilities have had a 
positive effect on veterans' access to services. However, VA had 
identified several high-cost priorities such as facility repairs and 
projects that have not yet been funded. For example, VA reported in 
its 5-year capital plan for fiscal years 2010-2015 that it had a 
backlog of $9.4 billion of facility repairs. The 5-year plan further 
identified an additional $4.4 billion in funding to complete 24 of the 
69 ongoing major construction projects. Besides substantial funding 
priorities, we also found that VA, like other agencies, has faced 
underlying obstacles that have exacerbated its real property 
management challenges and can also impact its ability to fully realign 
its real property portfolio. We have previously reported that such 
challenges include competing stakeholder interests, legal and 
budgetary limitations, and capital planning processes that did not 
always adequately address such issues as excess and underutilized 
property. 

Furthermore, we found that VA's capital planning efforts generally 
reflected leading practices, but lacked transparency about the cost of 
future priorities that could better inform decision making. For 
example, VA's 2010-2015 capital plan linked its investments with its 
strategic goals, assessed the agency's capital priorities, and 
evaluated various alternatives. Also, SCIP strengthened VA's capital 
planning efforts by extending the horizon of its 5-year plan to 10 
years, and providing VA with a longer range picture of the agency's 
future real property priorities. VA officials told us that SCIP builds 
on its existing capital planning processes, addresses leading 
practices, and further strengthens VA's efforts in some areas. We have 
not fully assessed SCIP and it remains to be seen what impact SCIP 
will have on the results of VA's capital planning efforts. While these 
changes were positive steps, we found that VA's planning efforts 
lacked transparency regarding the magnitude of costs of the agency's 
future real property priorities, which may limit the ability of VA and 
Congress to make informed funding decisions among competing 
priorities. For instance, for potential future projects, VA's 2010-
2015 capital plan only listed project name and contained no 
information on what these projects were estimated to cost or the 
priority VA had assigned to them beyond what was then the current 
budget year. Transparency about future requirements would benefit 
congressional decision makers by putting individual project decisions 
in a long-term, strategic context, and placing VA's fiscal situation 
within the context of the overall fiscal condition of the U.S. 
government. It is important to note that providing future cost 
estimates to Congress for urgent, major capital programs is not 
without precedent in the federal government. Other federal agencies, 
such as the Department of Defense, have provided more transparent 
estimates to Congress regarding the magnitude of its future capital 
priorities beyond immediate budget priorities. 

We concluded in our report that billions of dollars have already been 
appropriated to VA to realign and modernize its portfolio. 
Furthermore, VA had identified ongoing and future projects that could 
potentially require several additional billion dollars over the next 
few years to complete. Given the fiscal environment, VA and Congress 
would benefit from a more transparent view of potential projects and 
their estimated costs. Such a view would enable VA and Congress to 
better evaluate the full range of real property priorities over the 
next few years and, should fiscal constraints so dictate, identify 
which might take precedence over the others. In short, more 
transparency would allow for more informed decision making among 
competing priorities, and the potential for improved service to 
veterans over the long term would likely be enhanced. To enhance 
transparency and allow for more informed decision making related to 
VA's real property priorities, we recommended that the Secretary of 
Veterans Affairs provide the full results of VA's SCIP process and any 
subsequent capital planning efforts, including details on the 
estimated cost of all future projects, to Congress on a yearly basis. 
VA concurred with the recommendation. We have not yet assessed the 
extent to which VA has implemented our recommendation in relation to 
the President's 2012 budget. 

Finally, I would also like to refer to a report we issued in December 
2009, on VA construction.[Footnote 2] This report may be relevant to 
today's discussion because it assessed VA's cost estimating approach 
for major projects. We found that while about half of 32 major ongoing 
construction projects we reviewed were within VA's budget, 18 projects 
experienced cost increases, and 11 had experienced schedule delays 
since they were first submitted to Congress. Five projects experienced 
a cost increase of over 100 percent. There were several reasons for 
construction project cost increases and schedule delays, including VA 
preparing initial cost estimates that were not thorough, significant 
changes to project scope after the initial estimate was submitted, and 
unforeseen events such as an increase in the cost of construction 
materials. VA had taken steps to improve initial construction project 
cost estimates, but we reported that it could better assess the risks 
to costs and schedules. We recommended that for all major projects, VA 
conduct a cost risk analysis, a schedule risk analysis when 
appropriate, and require the use of an integrated master schedule. VA 
concurred with our recommendations. 

Chairman Miller, Ranking Member Filner, and Members of the Committee, 
this concludes my prepared remarks. I would be happy to answer any 
questions that you may have. 

For further information regarding this statement, please contact 
Lorelei St. James at (202) 512-2834 or at stjamesl@gao.gov. Contact 
points for our Offices of Congressional Relations and Public Affairs 
may be found on the last page of this statement. David Sausville, 
Assistant Director; George Depaoli; and Erica Miles also made key 
contributions to this statement. 

[End of section] 

Footnotes: 

[1] GAO, VA Real Property: Realignment Progressing, but Greater 
Transparency about Future Priorities Is Needed, [hyperlink, 
http://www.gao.gov/products/GAO-11-197] (Washington, D.C.: Jan. 31, 
2011). 

[2] GAO, VA Construction: VA Is Working to Improve Project Cost 
Estimates, but Should Analyze Cost and Schedule Risks, [hyperlink, 
http://www.gao.gov/products/GAO-10-189] (Washington D.C.: Dec, 14, 
2009). 

[End of section] 

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