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United States Government Accountability Office: 
GAO: 

Testimony: 

Before the Subcommittee on Financial Services and General Government, 
Committee on Appropriations, U.S. Senate: 

For Release on Delivery: 
Expected at 2:00 p.m. EDT:
Thursday, July 28, 2011: 

Climate Change Adaptation: 

Aligning Funding with Strategic Priorities: 

Statement of David C. Trimble, Director:
Natural Resources and Environment: 

GAO-11-876T: 

GAO Highlights: 

Highlights of GAO-11-876T, a testimony before the Subcommittee on 
Financial Services and General Government, Committee on 
Appropriations, U.S. Senate. 

Why GAO Did This Study: 

A 2009 assessment by the United States Global Change Research Program 
(USGCRP) found that many types of extreme weather events, such as heat 
waves and regional droughts, have become more frequent and intense 
during the past 40 to 50 years. According to the assessment, changes 
in extreme weather and climate events will affect many aspects of 
society and the natural environment, such as infrastructure. In 
addition, the Department of Defense found that climate change may act 
as an accelerant of instability or conflict, placing a burden to 
respond on militaries around the world. 

According to the National Academies, USGCRP, and others, greenhouse 
gases already in the atmosphere will continue altering the climate 
system into the future regardless of emissions control efforts. 
Therefore, adaptation-—defined as adjustments to natural or human 
systems in response to actual or expected climate change-—is an 
important part of the response to climate change. 

This testimony addresses (1) the actions federal, state, and local 
authorities are taking to adapt to climate change; (2) the challenges 
that federal, state, and local officials face in their efforts to 
adapt and actions federal agencies could take to help address these 
challenges; and (3) the extent to which federal funding for adaptation 
and other climate change activities is consistently tracked and 
reported and aligned with strategic priorities. The information in 
this testimony is based on prior work, largely on GAO’s recent reports 
on climate change adaptation and federal climate change funding. 

What GAO Found: 

Federal, state, and local authorities are beginning to take steps to 
adapt to climate change. Federal agencies are beginning to respond to 
climate change systematically through an Interagency Climate Change 
Adaptation Task Force formed to recommend key components for inclusion 
in a national adaptation strategy. Individual agencies are also 
beginning to consider adaptation actions. For example, in May 2009, 
the Chief of Naval Operations created Task Force Climate Change to 
address the naval implications of a changing Arctic and global 
environment. Some state and local government authorities were 
beginning to plan for and respond to climate change impacts, GAO 
reported in 2009. For example, the state of Maryland had a strategy 
for reducing vulnerability to climate change, which focused on 
protecting habitat and infrastructure from future risks associated 
with sea level rise and coastal storms. In another example, King 
County, Washington, established a countywide flood control zone 
district to upgrade flood protection facilities and increase the 
county’s resilience to future flooding, among other things. 

Federal, state, and local officials face numerous challenges in their 
efforts to adapt to climate change, and further federal action could 
help them make more informed decisions. These challenges include a 
focus of available attention and resources on more immediate needs and 
insufficient site-specific data—such as local projections of expected 
climate changes. The lack of such data makes it hard to understand the 
impacts of climate change and thus hard for officials to justify the 
cost of adaptation efforts, since future benefits are potentially less 
certain than current costs. GAO’s October 2009 report identified 
potential federal actions for improving adaptation efforts, including 
actions to provide and interpret site-specific information, which 
could help officials understand the impacts of climate change at a 
scale that would enable them to respond. In a May 2008 report on the 
economics of policy options to address climate change, GAO identified 
actions Congress and federal agencies could take, such as reforming 
insurance subsidy programs in areas vulnerable to hurricanes or 
flooding. 

Funding for adaptation and other federal climate change activities 
could be better tracked, reported, and aligned with strategic 
priorities. GAO’s report on federal climate change funding suggests 
that methods for defining and reporting such funding are not 
consistently interpreted and applied across the federal government. 
GAO also identified two key factors that complicate efforts to align 
funding with priorities. First, officials across a broad range of 
federal agencies lack a shared understanding of priorities, partly due 
to the multiple, often inconsistent messages articulated in different 
policy documents, such as strategic plans. Second, existing mechanisms 
intended to align funding with governmentwide priorities are 
nonbinding and limited when in conflict with agencies’ own priorities. 
Federal officials who responded to a Web-based questionnaire, 
available literature, and stakeholders involved in climate change 
funding identified several ways to better align federal climate change 
funding with strategic priorities. These include a governmentwide 
strategic planning process that promotes a shared understanding among 
agencies of strategic priorities by articulating what they are 
expected to do within the overall federal response to climate change. 

View [hyperlink, http://www.gao.gov/products/GAO-11-876T] or key 
components. For more information, contact David Trimble at (202) 512-
3841or trimbled@gao.gov. 
[End of section] 

Chairman Durbin, Ranking Member Moran, and Members of the Subcommittee: 

I am pleased to be here today to discuss the extent to which federal 
long-term budget planning contemplates changes in the frequency and 
severity of weather events that may occur as a result of changes in 
the climate. A 2009 assessment by the United States Global Change 
Research Program (USGCRP) found that many types of extreme weather 
events, such as heat waves and regional droughts, have become more 
frequent and intense during the past 40 to 50 years and that changes 
in these kinds of extreme weather and climate events are among the 
most serious challenges to our nation in coping with a changing 
climate.[Footnote 1] According to the assessment, changes in extreme 
weather and climate events will affect human health, water supply, 
agriculture, coastal areas, and many other aspects of society and the 
natural environment. 

Federal, state, and local agencies are tasked with a wide array of 
responsibilities, such as managing natural resources, that will be 
affected by a changing climate. Climate change also has implications 
for the fiscal health of the federal government, affecting federal 
crop and flood insurance programs, and placing new stresses on 
infrastructure. Further, in February 2010 the Department of Defense 
(DOD) issued its Quadrennial Defense Review report.[Footnote 2] That 
report noted that: 

"while climate change alone does not cause conflict, it may act as an 
accelerant of instability or conflict, placing a burden to respond on 
civilian institutions and militaries around the world. In addition, 
extreme weather events may lead to increased demands for defense 
support to civil authorities for humanitarian assistance or disaster 
response both within the United States and overseas." 

In recent years, climate change adaptation--defined as adjustments to 
natural or human systems in response to actual or expected climate 
change--has begun to receive more attention because the greenhouse 
gases already in the atmosphere are expected to continue altering the 
climate system into the future, regardless of efforts to control 
emissions. According to the National Research Council, however, 
individuals and institutions whose futures will be affected by climate 
change are unprepared both conceptually and practically for meeting 
the challenges and opportunities it presents. In this context, 
adapting to climate change requires making policy and management 
decisions that cut across traditional economic sectors, jurisdictional 
boundaries, and levels of government. We have previously reported that 
when agencies do not collaborate well when addressing a complicated, 
interdisciplinary issue like climate change, they may carry out 
programs in a fragmented, uncoordinated way, resulting in a patchwork 
of programs that can limit the overall effectiveness of the federal 
effort.[Footnote 3] 

My testimony today addresses (1) the actions federal, state, and local 
authorities are taking to adapt to climate change; (2) the challenges 
that federal, state, and local officials face in their efforts to 
adapt and actions federal agencies could take to help address these 
challenges; and (3) the extent to which federal funding for adaptation 
and other climate change activities is consistently tracked and 
reported and aligned with strategic priorities. The information in 
this testimony is based on prior work, largely on our recent reports 
on climate change adaptation and federal climate change funding. 
[Footnote 4] Additional information on our scope and methodology is 
available in each issued product. All of the work on which this 
statement is based was performed in accordance with generally accepted 
government auditing standards. 

Federal, State, and Local Authorities Are Beginning to Take Steps to 
Adapt to Climate Change: 

Our October 2009 report on climate change adaptation found no 
coordinated national approach to adaptation, but our May 2011 report 
on climate change funding cited indications that federal agencies were 
beginning to respond to climate change more systematically.[Footnote 
5] About the same time as the issuance of our October 2009 report, 
Executive Order 13514 on Federal Leadership in Environmental, Energy, 
and Economic Performance called for federal agencies to participate 
actively in the Interagency Climate Change Adaptation Task Force. 
[Footnote 6] The task force, which began meeting in Spring 2009, is co-
chaired by the Council on Environmental Quality (CEQ), the National 
Oceanic and Atmospheric Administration (NOAA), and the Office of 
Science and Technology Policy (OSTP), and includes representatives 
from more than 20 federal agencies and executive branch offices. The 
task force was formed to develop federal recommendations for adapting 
to climate change impacts both domestically and internationally and to 
recommend key components to include in a national strategy. 

On October 14, 2010, the task force released its interagency report 
outlining recommendations to the President for how federal policies 
and programs can better prepare the United States to respond to the 
impacts of climate change. The report recommends that the federal 
government implement actions to expand and strengthen the nation's 
capacity to better understand, prepare for, and respond to climate 
change. These recommended actions include making adaptation a standard 
part of agency planning to ensure that resources are invested wisely 
and services and operations remain effective in a changing climate. 
According to CEQ officials, the task force will continue to meet as an 
interagency forum for discussing the federal government's adaptation 
approach and to support and monitor the implementation of recommended 
actions in the progress report. The task force is due to release 
another report in October 2011 that documents progress toward 
implementing its recommendations and provides additional 
recommendations for refining the federal approach to adaptation, as 
appropriate, according to CEQ officials.[Footnote 7] 

Individual agencies are also beginning to consider adaptation actions. 
For example, in May 2009, the Chief of Naval Operations created Task 
Force Climate Change to address the naval implications of a changing 
Arctic and global environment. The Task Force was created to make 
recommendations to Navy leadership regarding policy, investment, and 
action, and to lead public discussion. In addition, the U.S. 
Department of the Interior issued an order in September 2009 designed 
to address the impacts of climate change on the nation's water, land, 
and other natural and cultural resources.[Footnote 8] Among other 
things, the order requires each bureau and office in the department to 
consider and analyze potential climate change impacts when undertaking 
long-range planning exercises, setting priorities for scientific 
research and investigations, developing multi-year management plans, 
and making major decisions regarding potential use of resources. In 
another example, according to NOAA, its Regional Integrated Sciences 
and Assessments (RISA) program supports climate change research to 
meet the needs of decision makers and policy planners at the national, 
regional, and local levels. 

In October 2009, we reported that some state and local authorities 
were beginning to plan for and respond to climate change impacts. 
[Footnote 9] We visited three U. S. sites in doing the work for that 
report--New York City; King County, Washington; and the state of 
Maryland--where state and local officials were taking such steps. We 
have not evaluated the progress of these initiatives since the 
issuance our 2009 report. 

* New York City: New York City's adaptation efforts stemmed from a 
growing recognition of the vulnerability of the city's infrastructure 
to natural disasters, such as the severe flooding in 2007 that led to 
widespread subway closures. At the time of our October 2009 report, 
New York City's adaptation efforts typically had been implemented as 
facilities were upgraded or as funding became available. For example, 
the city's Department of Environmental Protection (DEP), which manages 
water and wastewater infrastructure, had begun to address flood risks 
to its wastewater treatment facilities. These and other efforts are 
described in DEP's 2008 Climate Change Program Assessment and Action 
Plan.[Footnote 10] Many of New York City's wastewater treatment 
plants, such as Tallman Island, are vulnerable to sea level rise and 
flooding from storm surges because they are located in the floodplain 
next to the bodies of water into which they discharge. In response to 
this threat, DEP planned to, in the course of scheduled renovations, 
raise sensitive electrical equipment, such as pumps and motors, to 
higher levels to protect them from flood damage. 

* King County, Washington: According to officials from the King County 
Department of Natural Resources and Parks (DNRP), the county took 
steps to adapt to climate change because its leadership was highly 
aware of climate impacts on the county. For example, in November 2006, 
the county experienced severe winter storms that caused a series of 
levees to crack. The levees had long needed repair, but the storm 
damage helped increase support for the establishment of a countywide 
flood control zone district, funded by a dedicated property tax. 
[Footnote 11] The flood control zone district planned to use the 
funds, in part, to upgrade flood protection facilities to increase the 
county's resilience to future flooding. In addition to more severe 
winter storms, the county expected that climate change would lead to 
sea level rise; reduced snowpack; and summertime extreme weather such 
as heat waves and drought, which can lead to power shortages because 
hydropower is an important source of power in the region. The 
University of Washington Climate Impacts Group, funded by NOAA's RISA 
program, has had a long-standing relationship with county officials 
and worked closely with them to provide regionally specific climate 
change data and modeling, such as a 2009 assessment of climate impacts 
in Washington, as well as decision-making tools.[Footnote 12] 

* Maryland: Maryland officials took a number of steps to formalize 
their response to climate change effects. An executive order in 2007 
established the Maryland Commission on Climate Change, which released 
the Maryland Climate Action Plan in 2008.[Footnote 13] As part of this 
effort, the Maryland Department of Natural Resources (DNR) chaired an 
Adaptation and Response Working Group, which issued a report on sea 
level rise and coastal storms.[Footnote 14] The 2008 Maryland Climate 
Action Plan calls for future adaptation strategy development to cover 
other sectors, such as agriculture and human health. Additionally, 
Maryland provided guidance to coastal counties to assist them with 
incorporating the effects of climate change into their planning 
documents. For example, DNR funded guidance documents to three coastal 
counties--Dorchester, Somerset, and Worcester Counties--on how to 
address sea level rise and other coastal hazards in their local 
ordinances and planning efforts.[Footnote 15] 

Government Officials Face Numerous Challenges When Considering 
Adaptation Efforts, and Further Federal Action Could Help Them Make 
More Informed Decisions: 

In our prior work, we found that the challenges faced by federal, 
state, and local officials in their efforts to adapt to climate change 
fell into several categories: 

* Focusing on immediate needs. Available attention and resources were 
focused on more immediate needs, making it difficult for adaptation 
efforts to compete for limited funds. For example, several federal, 
state, and local officials who responded to a questionnaire we 
prepared for our October 2009 report on adaptation noted how difficult 
it is to convince managers of the need to plan for long-term 
adaptation when they are responsible for more urgent concerns that 
have short decision-making time frames. One federal official explained 
that "it all comes down to resource prioritization. Election and 
budget cycles complicate long-term planning such as adaptation will 
require. Without clear top-down leadership setting this as a priority, 
projects with benefits beyond the budget cycle tend to get raided to 
pay current-year bills to deliver results in this political cycle." 

* Insufficient site-specific data. Without sufficient site-specific 
data, such as local projections of expected changes, it is hard to 
predict the impacts of climate change and thus hard for officials to 
justify the current costs of adaptation efforts for potentially less 
certain future benefits. This is similar to what we found in past work 
on climate change on federal lands. Specifically, our August 2007 
report demonstrated that land managers did not have sufficient site- 
specific information to plan for and manage the effects of climate 
change on the federal resources they oversee.[Footnote 16] In 
particular, the managers lacked computational models for local 
projections of expected changes. For example, at the time of our 
review, officials at the Florida Keys National Marine Sanctuary said 
that they did not have adequate modeling and scientific information to 
enable managers to predict the effects of climate change on a small 
scale, such as that occurring within the sanctuary.[Footnote 17] 
Without such modeling and information, most of the managers' options 
for dealing with climate change were limited to reacting to already- 
observed effects on their units, making it difficult to plan for 
future changes. Furthermore, these resource managers said that they 
generally lacked detailed inventories and monitoring systems to 
provide them with an adequate baseline understanding of the plant and 
animal species that existed on the resources they manage. Without such 
information, it is difficult to determine whether observed changes are 
within the normal range of variability. 

* Lack of clear roles and responsibilities. Adaptation efforts are 
constrained by a lack of clear roles and responsibilities among 
federal, state, and local agencies. Of particular note, about 70 
percent (124 of 178) of the federal, state, and local officials who 
responded to a questionnaire we prepared for our October 2009 report 
on adaptation rated the "lack of clear roles and responsibilities for 
addressing adaptation across all levels of government" as very or 
extremely challenging. For example, according to one respondent, 
"there is a power struggle between agencies and levels of government…
Everyone wants to take the lead rather than working together in a 
collaborative and cohesive way." 

These challenges make it harder for officials to justify the current 
costs of adaptation efforts for potentially less certain future 
benefits. A 2009 report by the National Research Council discusses how 
officials are struggling to make decisions based on future climate 
scenarios instead of past climate conditions.[Footnote 18] According 
to the report, requested by the Environmental Protection Agency and 
NOAA, usual practices and decision rules (for building bridges, 
implementing zoning rules, using private motor vehicles, and so on) 
assume a stationary climate--a continuation of past climate 
conditions, including similar patterns of variation and the same 
probabilities of extreme events. According to the National Research 
Council report, that assumption, which is fundamental to the ways 
people and organizations make their choices, is no longer valid; 
Climate change will create a novel and dynamic decision environment. 

We reached similar conclusions in a March 2007 report that highlighted 
how historical information may no longer be a reliable guide for 
decision making.[Footnote 19] We reported on the Federal Emergency 
Management Agency's (FEMA) National Flood Insurance Program, which 
insures properties against flooding, and the U.S. Department of 
Agriculture's (USDA) Federal Crop Insurance Corporation, which insures 
crops against drought or other weather disasters. Among other things, 
the report contrasted the experience of private and public insurers. 
We found that many major private insurers were proactively 
incorporating some near-term elements of climate change into their 
risk management practices. In addition, other private insurers were 
approaching climate change at a strategic level by publishing reports 
outlining the potential industry-wide impacts and strategies to 
proactively address the issue. 

In contrast, we noted that the agencies responsible for the nation's 
two key federal insurance programs had done little to develop the kind 
of information needed to understand their programs' long-term exposure 
to climate change for a variety of reasons. As a FEMA official 
explained, the National Flood Insurance Program is designed to assess 
and insure against current--not future--risks. Unlike the private 
sector, neither this program nor the Federal Crop Insurance 
Corporation had analyzed the potential impacts of an increase in the 
frequency or severity of weather-related events on their operations 
over the near-or long-term. The proactive view of private insurers in 
our 2007 report was echoed on March 17, 2009, by the National 
Association of Insurance Commissioners, which adopted a mandatory 
requirement that insurance companies disclose to regulators the 
financial risks they face from climate change, as well as actions the 
companies are taking to respond to those risks. We have not studied 
the progress of these specific programs in managing the nation's long-
term exposure to climate change since the issuance of our 2007 report. 

Based on information obtained from studies, visits to sites pursuing 
adaptation efforts, and responses to a Web-based questionnaire sent to 
federal, state, and local officials knowledgeable about adaptation, 
our October 2009 report identified three categories of potential 
federal actions for addressing challenges to adaptation efforts: 

* First, training and education efforts could increase awareness among 
government officials and the public about the impacts of climate 
change and available adaptation strategies. A variety of programs are 
trying to accomplish this goal, such as the Chesapeake Bay National 
Estuarine Research Reserve (partially funded by NOAA), which provides 
education and training on climate change to the public and local 
officials in Maryland. 

* Second, actions to provide and interpret site-specific information 
could help officials understand the impacts of climate change at a 
scale that would enable them to respond. About 80 percent of the 
respondents to our Web-based questionnaire rated the "development of 
state and local climate change impact and vulnerability assessments" 
as very or extremely useful. 

* Third, Congress and federal agencies could encourage adaptation by 
clarifying roles and responsibilities. About 71 percent of the 
respondents to our Web-based questionnaire rated the development of a 
national adaptation strategy as very or extremely useful. Furthermore, 
officials we spoke with and officials who responded to our 
questionnaire said that a coordinated federal response would also 
demonstrate a federal commitment to adaptation. Importantly, our 
October 2009 report recommended that within the Executive Office of 
the President the appropriate entities, such as CEQ, develop a 
national adaptation plan that includes setting priorities for federal, 
state, and local agencies. CEQ generally agreed with our 
recommendation. 

Some of our other recent climate change-related reports offer 
additional examples of the types of actions federal agencies and the 
Congress could take to assist states and communities in their efforts 
to adapt. Our August 2007 report, for example, recommended that 
certain agencies develop guidance advising managers on how to address 
the effects of climate change on the resources they manage.[Footnote 
20] Furthermore, our May 2008 report on the economics of policy 
options to address climate change identified actions Congress and 
federal agencies could take, such as reforming insurance subsidy 
programs in areas vulnerable to hurricanes or flooding.[Footnote 21] 

Funding for Adaptation and Other Federal Climate Change Activities 
Could be Better Tracked, Reported, and Aligned with Strategic 
Priorities: 

Our May 2011 report on federal climate change funding found that (1) 
agencies do not consistently interpret methods for defining and 
reporting the funding of climate change activities, (2) key factors 
complicate efforts to align such funding with strategic priorities, 
and (3) options are available to better align federal funding with 
strategic priorities, including governmentwide strategic planning. 
[Footnote 22] Any effective federal climate change adaptation strategy 
will need to ensure that federal funds are properly tracked and that 
funding decisions are aligned with strategic priorities. Given the 
interdisciplinary nature of the issue, such alignment is a challenge 
as formidable as it is necessary to address. 

In our report, we identified three methods for defining and reporting 
climate change funding, foremost of which is guidance contained in 
OMB's Circular A-11.[Footnote 23] The circular directs agencies to 
report funding that meet certain criteria in three broad categories-- 
research, technology, and international assistance. According to OMB 
staff, Circular A-11 is the primary method for defining and reporting 
long-standing "cross-cuts" of funding for climate change activities. 
Interagency groups, such as USGCRP have collaborated in the past with 
OMB to clarify the definitions in Circular A-11, according to comments 
from CEQ, OMB, and OSTP.[Footnote 24] 

Our work suggests that existing methods for defining and reporting 
climate change funding are not consistently interpreted and applied 
across the federal government.[Footnote 25] Specifically, for our May 
2011 report, we sent a Web-based questionnaire to key federal 
officials involved in defining and reporting climate change funding, 
developing strategic priorities, or aligning funding with strategic 
priorities. Most of these respondents indicated that their agencies 
consistently applied methods for defining and reporting climate change 
funding. Far fewer respondents indicated that methods for defining and 
reporting climate change funding were applied consistently across the 
federal government. Some respondents, for example, noted that other 
agencies use their own interpretation of definitions, resulting in 
inconsistent accounting across the government. Respondents generally 
identified key reasons agencies may interpret and apply existing 
methods differently, including difficulty determining which programs 
are related to climate change.[Footnote 26] In comments to our May 
2011 report, CEQ, OMB, and OSTP noted that consistency likely varies 
by method of reporting, with Circular A-11 being the most consistent 
and other methods being less so. 

In addition, our work identified two key factors that complicate 
efforts to align federal climate change funding with strategic 
priorities across the federal government. First, federal officials 
lack a shared understanding of priorities, partly due to the multiple, 
often inconsistent messages articulated in different sources, such as 
strategic plans.[Footnote 27] Our review of these sources found that 
there is not currently a consolidated set of strategic priorities that 
integrates climate change programs and activities across the federal 
government. As we stated in our May 2011 report, in the absence of 
clear, overarching priorities, federal officials are left with many 
different sources that present climate change priorities in a more 
fragmented way. The multiple sources for communicating priorities 
across the climate change enterprise may result in conflicting 
messages and confusion. 

The second key factor that complicates efforts to align federal 
funding with priorities is that existing mechanisms intended to do so 
are nonbinding, according to respondents, available literature, and 
stakeholders. For example, some respondents noted that the interagency 
policy process does not control agency budgets and that agencies with 
their own budget authority may pay little attention to federal 
strategic priorities. In other words, federal strategic priorities set 
through an interagency process may not be reflected in budget 
decisions for individual agencies. 

As OSTP officials acknowledged to us, "The major challenge is the need 
to connect climate science programs with broader inter-and intra-
agency climate efforts." In comments to our report, OSTP stated that 
while significant progress is being made in linking the climate 
science-related efforts, individual agencies still want to advance 
initiatives that promote or serve their agency missions. This, 
according to OSTP, yields a broader challenge of tying climate-related 
efforts (science, mitigation, and adaptation) together into a coherent 
governmentwide strategy. 

Our May 2011 report identified several ways to better align federal 
climate change funding with strategic priorities, including: (1) 
options to improve the tracking and reporting of climate change 
funding, (2) options to enhance how strategic climate change 
priorities are set, (3) the establishment of formal coordination 
mechanisms, and (4) continuing efforts to link related climate change 
activities across the federal government.[Footnote 28] Specific 
options are discussed in detail in our May 2011 report and include a 
governmentwide strategic planning process that promotes a shared 
understanding among agencies of strategic priorities by articulating 
what they are expected to do within the overall federal response to 
climate change. Also discussed in detail is an integrated budget 
review process that better aligns these priorities with funding 
decisions through a more consistent method of reporting and reviewing 
climate change funding. 

Federal entities are beginning to implement some of these options. For 
example, there has been some recent progress on linking related 
federal climate change programs, according to OSTP. Specifically, OSTP 
stated that the science portion of the CEQ, NOAA, and OSTP-led Climate 
Change Adaptation Task Force is being integrated within USGCRP. OSTP 
also stated that it is working to create an interagency body that will 
bring together agencies that provide climate services to allow for 
better links between climate services and other federal climate-
related activities. 

To further improve the coordination and effectiveness of federal 
climate change programs and activities, we recommended in our May 2011 
report that the appropriate entities within the Executive Office of 
the President, in consultation with Congress, clearly establish 
federal strategic climate change priorities and assess the 
effectiveness of current practices for defining and reporting related 
funding. 

Chairman Durbin, Ranking Member Moran, and Members of the 
Subcommittee, this concludes my prepared statement. I would be happy 
to respond to any questions that you or other Members of the 
Subcommittee may have. 

Contacts and Acknowledgments: 

For further information about this testimony, please contact David 
Trimble at (202) 512-3841 or trimbled@gao.gov. Contact points for our 
Congressional Relations and Public Affairs offices may be found on the 
last page of this statement. Steve Elstein, Cindy Gilbert, Ben Shouse, 
Jeanette Soares, Kiki Theodoropoulos, and J. Dean Thompson also made 
key contributions to this statement. 

[End of section] 

Footnotes: 

[1] USGCRP coordinates and integrates federal research on changes in 
the global environment--including climate change--and their 
implications for society. According to a simplified National 
Aeronautics and Space Administration description, "Weather is what 
conditions of the atmosphere are over a short period of time, and 
climate is how the atmosphere 'behaves' over relatively long periods 
of time. When we talk about climate change, we talk about changes in 
long-term averages of daily weather." 

[2] According to DOD, the Quadrennial Defense Review (QDR) is to set a 
long-term course for DOD as it assesses the threats and challenges 
that the nation faces and re-balances DOD's strategies, capabilities, 
and forces to address today's conflicts and tomorrow's threats. As 
required by law, the most recent QDR examined the capabilities of the 
armed forces to respond to the consequences of climate change, in 
particular, preparedness for natural disasters from extreme weather 
events and other missions the armed forces may be asked to support 
inside the U.S. and overseas. 

[3] GAO, Results-Oriented Government: Practices That Can Help Enhance 
and Sustain Collaboration among Federal Agencies, [hyperlink, 
http://www.gao.gov/products/GAO-06-15] (Washington, D.C.: Oct. 21, 
2005), and Managing for Results: Barriers to Interagency Coordination, 
[hyperlink, http://www.gao.gov/products/GAO/GGD-00-106] (Washington, 
D.C.: Mar. 29, 2000). 

[4] GAO. Climate Change Adaptation: Strategic Federal Planning Could 
Help Government Officials Make More Informed Decisions, [hyperlink, 
http://www.gao.gov/products/GAO-10-113], (Washington, D.C.: Oct. 7, 
2009), and Climate Change: Improvements Needed to Clarify National 
Priorities and Better Align Them with Federal Funding Decisions, 
[hyperlink, http://www.gao.gov/products/GAO-11-317], (Washington, 
D.C.: May 20, 2011). 

[5] See GAO-10-113 and GAO-11-317. For a list of federal adaptation 
efforts by agency as of 2009, see Climate Change Adaptation: 
Information on Selected Federal Efforts to Adapt To a Changing Climate 
([hyperlink, http://www.gao.gov/products/GAO-10-114SP], October 7, 
2009), an E-supplement to GAO-10-113, [hyperlink, 
http://www.gao.gov/products/GAO-10-114SP], (Washington, D.C.: October 
2009). 

[6] For more information about the Interagency Climate Change 
Adaptation Task Force, see [hyperlink, 
http://www.whitehouse.gov/administration/eop/ceq/initiatives/adaptation]
. 

[7] The White House Council on Environmental Quality, Progress Report 
of the Interagency Climate Change Adaptation Task Force: Recommended 
Actions in Support of a National Climate Change Adaptation Strategy 
(October 5, 2010). This report is available at [hyperlink, 
http://www.whitehouse.gov/sites/default/files/microsites/ceq/Interagency
-Climate-Change-Adaptation-Progress-Report.pdf]. 

[8] Secretarial Order No. 3289 (Sept. 14, 2009), as amended by 
Secretarial Order No. 3289, Amendment No. 1 (Feb. 22, 2010). As 
originally enacted, the order also designated eight regional Climate 
Change Response Centers, which were subsequently renamed Climate 
Science Centers. According to the Department of the Interior, these 
centers will synthesize existing climate change impact data and 
management strategies, help resource managers put them into action on 
the ground, and engage the public through education initiatives. 
Interior has also identified specific adaptation strategies and tools 
for natural resource managers. For example, Interior provided a number 
of adaptation-related policy options for land managers in reports 
produced for its Climate Change Task Force, a past effort that has 
since been expanded upon to reflect new priorities. 

[9] [hyperlink, http://www.gao.gov/products/GAO-10-113]. 

[10] New York City Department of Environmental Protection Climate 
Change Program, with contributions by Columbia University's Center for 
Climate Systems Research and HydroQual Environmental Engineers & 
Scientists, P.C., Report 1: Assessment and Action Plan--A Report Based 
on the Ongoing Work of the DEP Climate Change Task Force (New York 
City, N.Y., 2008). 

[11] King County Ordinance 15728 (Apr. 25, 2007). The district is 
funded by a countywide ad valorem property tax levy of 10 cents per 
$1,000 assessed value. 

[12] University of Washington Climate Impacts Group, The Washington 
Climate Change Impacts Assessment: Evaluating Washington's Future in a 
Changing Climate (Seattle, Wash., 2009). 

[13] Maryland Commission on Climate Change, Climate Action Plan 
(Annapolis, Md., 2008). 

[14] Maryland Commission on Climate Change Adaptation and Response 
Working Group, Comprehensive Strategy for Reducing Maryland's 
Vulnerability to Climate Change Phase I: Sea Level Rise and Coastal 
Storms. 

[15] Wanda Diane Cole, Maryland Eastern Shore Resource Conservation & 
Development Council, Sea Level Rise: Technical Guidance for Dorchester 
County, a special report prepared at the request of the Maryland 
Department of Natural Resources, March 2008; URS and RCQuinn 
Consulting, Inc., Somerset County Maryland Rising Sea Level Guidance, 
a special report prepared at the request of Somerset County, Maryland, 
Annapolis, Md., 2008; and CSA International Inc., Sea Level Rise 
Response Strategy Worcester County, Maryland, a special report 
prepared at the request of Worcester County, Maryland Department of 
Comprehensive Planning, September 2008. 

[16] GAO. Climate Change: Agencies Should Develop Guidance for 
Addressing the Effects on Federal Land and Water Resources, 
[hyperlink, http://www.gao.gov/products/GAO-07-863], (Washington, 
D.C.: Aug. 7, 2007) 

[17] We conducted our work for GAO-07-863 between May 2006 and July 
2007. The agencies involved with this work are now beginning to 
consider climate change adaptation in planning decisions. 

[18] National Research Council (2009), Informing Decision in a 
Changing Climate. Panel on Strategies and Methods for Climate-Related 
Decision Support, Committee on the Human Dimensions of Global Change, 
Division of Behavioral and Social Sciences and Education. Washington, 
DC: The National Academies Press. 

[19] GAO, Climate Change: Financial Risks to Federal and Private 
Insurers in Coming Decades Are Potentially Significant, [hyperlink, 
http://www.gao.gov/products/GAO-07-285], (Washington, D.C.: Mar. 16, 
2007) 

[20] [hyperlink, http://www.gao.gov/products/GAO-07-863]. 

[21] Climate Change: Expert Opinion on the Economics of Policy Options 
to Address Climate Change, [hyperlink, 
http://www.gao.gov/products/GAO-08-605], (Washington, D.C.: May 9, 
2008). 

[22] [hyperlink, http://www.gao.gov/products/GAO-11-317]. 

[23] The other methods identified by respondents were guidance from 
interagency programs and periodic "data calls" to collect information 
for unique reporting needs. 

[24] CEQ, OMB, and OSTP submitted consolidated technical comments on 
our May 2011 report. These comments are reflected in this statement as 
appropriate. 

[25] In [hyperlink, http://www.gao.gov/products/GAO-11-317] we 
analyzed OMB funding reports and responses to a Web-based 
questionnaire sent to key federal officials with the assistance of the 
Executive Office of the President and interagency coordinating bodies. 

[26] These key reasons are discussed in detail in our May 2011 report: 
[hyperlink, http://www.gao.gov/products/GAO-11-317]. 

[27] These sources include (1) strategic plans for interagency 
programs and agencies, (2) executive-level guidance memoranda, (3) the 
development of new interagency initiatives, (4) regulations and 
guidance memoranda, (5) international commitments, and (6) testimony 
of federal executives before Congress. 

[28] These were identified by respondents, available literature, and 
stakeholders. 

[End of section] 

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