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entitled 'Disaster Recovery: FEMA's Public Assistance Grant Program 
Experienced Challenges with Gulf Coast Rebuilding' which was released 
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Report to the Committee on Homeland Security and Governmental Affairs, 
U.S. Senate: 

United States Government Accountability Office: 
GAO: 

December 2008: 

Disaster Recovery: 

FEMA's Public Assistance Grant Program Experienced Challenges with Gulf 
Coast Rebuilding: 

GAO-09-129: 

GAO Highlights: 

Highlights of GAO-09-129, a report to the Committee on Homeland 
Security and Governmental Affairs, U.S. Senate. 

Why GAO Did This Study: 

The devastation caused by the 2005 Gulf Coast hurricanes presented the 
nation with unprecedented rebuilding challenges. The Federal Emergency 
Management Agency’s (FEMA) Public Assistance (PA) grant program is a 
key tool for providing funds to support recovery, including rebuilding 
public schools, roads, and utilities. 

GAO was asked to examine the amount of PA grants FEMA has provided for 
rebuilding the Gulf Coast; challenges in the day-to-day operation of 
the PA program; and human capital challenges; as well as actions taken 
to address them. Toward this end, GAO reviewed relevant laws, PA 
regulations and procedures, and analyzed data from FEMA’s National 
Emergency Management Information System. GAO also interviewed federal 
officials from FEMA and the Department of Homeland Security’s (DHS) 
Office of the Federal Coordinator for Gulf Coast Rebuilding as well as 
more than 60 officials from state government and eight localities in 
Louisiana and Mississippi. 

What GAO Found: 

Funding for PA grants related to the 2005 Gulf Coast hurricanes is 
already more than $11 billion, surpassing that of any previous 
disaster, and will likely be higher than FEMA’s total cost estimate of 
$13.2 billion. About 90 percent of these funds have gone to the states 
of Louisiana and Mississippi, about half of which have passed from the 
states to grant applicants to date. GAO identified challenges in the 
following broad areas, many of which contributed to slowing down 
rebuilding projects. 

* Project Development. Challenges in the development of PA projects 
included difficulties (1) determining the amount of damage that was 
disaster-related, (2) using PA program flexibilities to rebuild in a 
way that meets post-disaster needs, (3) assessing project scope 
including whether to repair or replace damaged structures, (4) 
estimating project costs, and (5) having sufficient resources to 
initiate projects. For example, assessing the damage to New Orleans’s 
water and sewer system was complicated by the difficulty distinguishing 
disaster-related from preexisting damage. Estimating the cost of PA 
projects presented special challenges because of unusual market 
conditions for labor and materials in the post-disaster economy. 

* Information Sharing and Tracking. GAO identified challenges in 
sharing information among federal, state, and local participants in the 
PA process as well as in tracking the status of projects. For example, 
in Louisiana, information sharing was made more difficult in the 
absence of an effective document-sharing system and because key FEMA 
and state officials who review PA applications are located in different 
cities. 

* Project Approvals and Appeals. FEMA’s approval decisions on some 
projects were reversed after applicants had already moved ahead with 
construction. In addition, decisions on appeals were often not made 
within required time frames due to the large number of rebuilding 
projects. 

* Human Capital. Human capital challenges at all levels of government 
underlie many of the above challenges and also slowed rebuilding 
projects. Shortages of experienced and knowledgeable staff were 
particularly problematic during the initial stages of rebuilding. 
FEMA’s early reliance on temporary rotating staff did not provide the 
level of continuity needed for the complex demands of Gulf Coast 
rebuilding. 

Among the actions DHS has taken to address these challenges are the 
finalization of a PA catastrophic disaster recovery concept plan that 
recognizes the need to more easily tailor projects to meet post-
disaster conditions; the development of new management information 
systems to better track and manage projects and increase the 
transparency of PA funding; and the creation of a credentialing program 
for employees. 

What GAO Recommends: 

GAO makes several recommendations to the Secretary of Homeland Security 
including to direct FEMA to improve information sharing within the PA 
process and to further enhance continuity and communication when staff 
rotate on and off PA projects. In commenting on a draft of this report 
DHS generally agreed with our recommendations. 

To view the full product, including the scope and methodology, click on 
[hyperlink, http://www.gao.gov/cgi-bin/getrpt?GAO-09-129]. For more 
information, contact Stanley J. Czerwinski at (202) 512-6806 or 
czerwinskis@gao.gov. 

[End of section] 

Contents: 

Letter: 

Results in Brief: 

Background: 

Cost and Scope of PA for Gulf Coast Rebuilding Is Very Large and Will 
Likely Increase: 

Challenges in the Day-to-Day Operation of the PA Program Slowed 
Rebuilding: 

Human Capital Challenges Contributed to Delays: 

Conclusions: 

Recommendations for Executive Action: 

Agency Comments: 

Appendix I: Objectives, Scope, and Methodology: 

Appendix II: Comments from the Department of Homeland Security: 

Appendix III: GAO Contact and Staff Acknowledgments: 

Tables: 

Table 1: FEMA-Reported Number of Projects (Which Include Versions) 
Compared to Numbers of Unique Project Worksheets: 

Table 2: Number of Preparers Working on Large Permanent Work PA 
Projects: 

Figures: 

Figure 1: Overview of the Public Assistance Process: 

Figure 2: Comparison of Total PA Funds for Selected Large Disasters: 

Figure 3: Louisiana and Mississippi Federal PA Dollars Available: 

Figure 4: Public Assistance Funds Paid to Applicants in Louisiana and 
Mississippi: 

Figure 5: FEMA's Public Assistance Appeal Process: 

Abbreviations: 

EMMIE: Emergency Management Mission Integrated Environment: 

FEMA: Federal Emergency Management Agency: 

GOHSEP: Governor's Office of Homeland Security and Emergency 
Preparedness: 

MEMA: Mississippi Emergency Management Agency: 

NEMIS: National Emergency Management Information System: 

PA: Public Assistance: 

PKEMRA: Post-Katrina Emergency Management Reform Act of 2006: 

Stafford Act: Robert T. Stafford Disaster Relief and Emergency 
Assistance Act: 

[End of section] 

United States Government Accountability Office: 
Washington, DC 20548: 

December 18, 2008: 

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

The size and scope of the devastation caused by the 2005 Gulf Coast 
hurricanes presented the nation with unprecedented rebuilding 
challenges, and an example of how catastrophic events can overwhelm the 
capacity of federal, state, and local resources in both response and 
recovery. More than 3 years after the disaster and as the Gulf Coast 
again undertakes recovery efforts in the wake of Hurricanes Ike and 
Gustav, critical aspects of recovery, such as rebuilding the 
infrastructure of state and local schools, roads, and utilities, 
continue to require federal, state, and local government involvement. 

You asked us to examine the federal government's support of state and 
local efforts to restore Gulf Coast public infrastructure and 
facilities through the Federal Emergency Management Agency's (FEMA) 
Public Assistance (PA) grant program. The PA program funds both 
emergency work projects, such as debris removal, and permanent work 
projects, such as the restoration of damaged buildings, roads, and 
public utilities. In response to your request, we report on: (1) the 
amount of PA grants FEMA has provided, or plans to provide, for 
rebuilding the Gulf Coast; (2) challenges federal, state, and local 
governments experienced in the day-to-day operation of the PA program, 
especially in developing projects, sharing and tracking project 
information, and making key project decisions, and the actions that 
have been taken to address these challenges; and (3) the human capital 
challenges and successes federal, state, and local governments 
experienced with the program during Gulf Coast rebuilding and the 
actions taken to address them. 

To conduct our review we obtained and reviewed PA regulations and 
procedures and interviewed federal officials from FEMA, the Department 
of Homeland Security's (DHS) Office of the Inspector General, and 
Office of the Federal Coordinator for Gulf Coast Rebuilding. We also 
obtained and analyzed PA data from FEMA's National Emergency Management 
Information System (NEMIS) providing information on projects including 
cost estimates, status of projects, and project location. Further, to 
obtain information on the experiences of state and local officials 
involved in the implementation of the PA program, we interviewed more 
than 60 state and local officials from eight localities in Louisiana 
and Mississippi. These two states were most affected by the 2005 Gulf 
Coast hurricanes and were the focus of our review.[Footnote 1] We 
interviewed and obtained information from key state grantees and local 
applicants who had knowledge of, experience with, or a leadership role 
in the PA program in these two states. For more information on our 
scope and methodology see appendix I. We conducted this performance 
audit from August 2007 through November 2008 in accordance with 
generally accepted government auditing standards. Those standards 
require that we plan and perform the audit to obtain sufficient, 
appropriate evidence to provide a reasonable basis for our findings and 
conclusions based on our audit objectives. We believe that the evidence 
obtained provides a reasonable basis for our findings and conclusions 
based on our audit objectives. 

Results in Brief: 

Due to the massive size and unprecedented scope of the devastation 
caused by the 2005 Gulf Coast hurricanes, federal funding for PA grants 
is already more than $11 billion, surpassing that of any previous 
disaster. The final cost will likely exceed FEMA's estimate of $13.2 
billion because this figure does not reflect additional projects that 
have yet to be approved, and the final cost for projects already 
approved may be higher than the agency's initial estimates. Moreover, 
the true cost of the PA program in the Gulf Coast is unknown since FEMA 
does not track its administrative expenses by program, and these costs 
are likely to be significant. The vast majority of PA funding made 
available to the Gulf Coast states has gone to Louisiana and 
Mississippi, and most of this has been dedicated to large rebuilding 
projects. To date, about half of all funds provided to these two states 
have been passed along to local entities. One reason for this is that 
the state often reimburses local entities for large rebuilding projects 
after work is performed, which can take many years to complete. Another 
is that, at times, the funding process has been slowed because of 
challenges in developing projects, sharing information, and making 
decisions regarding project approvals and appeals discussed below. 
Finally, as is the case with overall cost, the number of PA projects in 
the Gulf Coast is also very large. However, we found the way FEMA 
reports on this specific metric to Congress and the public is 
potentially misleading. Specifically, the figure provided in PA data 
reports regularly issued by the agency does not represent the number of 
unique PA projects, but also includes revisions that have been made to 
these projects, which roughly doubles the number reported. 

Federal, state, and local officials told us that they experienced a 
wide range of challenges in the day-to-day operation of the PA program, 
many of which were magnified because of the sheer number of rebuilding 
projects following the 2005 Gulf Coast hurricanes. These challenges 
related to three broad areas: developing projects, sharing information, 
and making key project decisions. In addition, human capital challenges 
at the federal, state, and local level underlie many of these day-to- 
day operational difficulties. 

First, we identified several challenges involving the process of 
developing PA projects which, at times, contributed to delays and 
increased costs particularly for many large permanent work projects. 
These included difficulties in: (1) determining the amount of damage 
that was actually disaster-related, (2) using PA program flexibilities 
to rebuild to the post-disaster needs of PA grant applicants, (3) 
assessing project scope and deciding whether to repair or rebuild, (4) 
estimating project costs, and (5) obtaining resources to initiate 
projects. For example, estimating the cost of rebuilding projects was 
made particularly difficult because of the unusual labor and material 
costs of the post-disaster economy. Low cost estimates required the 
reassessment of damage later in the project development process, 
resulting in delays. Also, many cash-strapped localities lost their 
revenue base following the disaster and faced challenges in initiating 
rebuilding projects, resulting in project delays, particularly since 
the PA program is geared toward reimbursement after construction. For 
each of these challenges, the scope of the damage and the magnitude of 
the rebuilding that followed the 2005 Gulf Coast hurricanes 
considerably worsened the effect. 

Second, because the PA process is complex and requires collaboration 
among federal, state, and local officials, effective sharing of project 
information is especially important. We identified challenges to 
sharing project information among intergovernmental participants during 
project development, and limitations in how the status of projects is 
tracked. For example, PA applicants in Louisiana told us of the need to 
repeatedly resubmit estimates, receipts, and invoices due to the lack 
of an effective system for sharing such documentation. In contrast, in 
Mississippi, participants used a secure online accounting system to 
manage and share supporting documentation. Also, information sharing 
was made more challenging in Louisiana because key officials from FEMA 
and the state agency responsible for reviewing and approving PA 
applications were not located in the same city. In Mississippi, state 
and local officials administered the program from the same facilities, 
which they said had multiple benefits for information sharing including 
facilitating regular meetings on project development issues. In 
addition, FEMA does not routinely track project status after funds are 
made available to the state and before project closeout, nor does it 
obtain information by specific building site. While we recognize that 
this approach toward tracking PA projects may be appropriate for most 
disasters, in this case such information is important due to the high 
level of interest from Congress and the public in following the 
progress of Gulf Coast rebuilding. 

Third, FEMA's approach to making decisions regarding project approvals 
and appeals also presented challenges to moving forward with 
rebuilding. For example, in some cases after applicants received 
approval for their projects from FEMA and had already moved ahead with 
construction, the agency decided to reconsider and ultimately reverse 
its decision. As a result of these reversals, some applicants told us 
that they were hesitant to move forward on other projects. Further, 
decisions on project appeals were sometimes not made within the time 
frames required under the Robert T. Stafford Disaster Relief and 
Emergency Assistance Act (Stafford Act). 

Human capital challenges at the federal, state, and local level 
underlie many of the difficulties we identified in the day-to-day 
operation of the PA program after the 2005 Gulf Coast hurricanes. Given 
the magnitude of these hurricanes, it is not surprising that all of the 
federal, state, and local officials with whom we spoke reported 
challenges associated with inadequate human capital capacity, 
especially early on in the recovery. As a result, FEMA and the states 
relied upon inexperienced staff to implement the PA program in 
Mississippi and Louisiana. Many of these inexperienced staff received 
abbreviated, or in some cases no, training on important PA processes, 
which affected their ability to effectively implement the program. For 
example, many FEMA staff responsible for developing projects were not 
trained on the cost-estimating method that FEMA preferred. In addition, 
limitations in local human capital capacity--especially early on in the 
recovery--hindered staff ability to actively participate in key aspects 
of the PA process including conducting damage assessments and preparing 
the significant documentation required during project development. 
Federal, state, and local human capital challenges at times slowed 
project development due to the lack of staff to conduct damage 
assessments and scope projects. The lack of continuity in FEMA staffing 
during project development also hindered rebuilding progress. FEMA's 
reliance on temporary rotating staff did not provide the level of 
continuity needed for the complex, long-term demands of Gulf Coast 
rebuilding. For example, in the absence of reliable electronic access 
to the case management files, rotating staff did not always document 
information and decisions about specific projects, which delayed 
project development because applicants then had to repeat discussions 
with their new FEMA representatives or provide duplicate documentation. 
Applicants also reported that there was often no notice of when a new 
FEMA representative was assigned to their projects and no "hand off" 
meeting with all parties to share project information. While several 
applicants told us that staff continuity has improved, challenges in 
this area early in the recovery process slowed the progress of 
rebuilding projects. 

In response to challenges in the day-to-day operation of the PA program 
on the Gulf Coast and to the human capital issues underlying many of 
these, FEMA is taking several actions. FEMA's Public Assistance 
Catastrophic Disaster Recovery Concept Plan, finalized in May 2008, 
recognizes the need for PA regulations to allow applicants to more 
easily tailor projects to meet post-disaster needs. In addition, the 
plan recognizes the need for FEMA, the state, and the applicant to 
develop more comprehensive damage descriptions in order to reduce 
conflicts regarding project cost estimates later in the process. FEMA 
officials told us that both of these efforts, along with a range of 
other initiatives related to the plan, are in development or underway 
and are expected to be complete by March 2009. FEMA managers in 
Transitional Recovery Offices in Mississippi and Louisiana have taken 
steps to more effectively gather and report on the status of PA 
projects. In addition, FEMA, working with the Office of the Federal 
Coordinator for Gulf Coast Rebuilding, established a transparency 
initiative in February of 2008 to make detailed information available 
on a publicly accessible Web site regarding selected buildings and 
projects in the Gulf Coast receiving PA funds. Furthermore, FEMA 
officials are also taking steps to improve national data collection 
through a new information-management system, called the Emergency 
Management Mission Integrated Environment (EMMIE), which, according to 
agency officials, will provide better tracking and management of PA 
projects for future disasters. 

FEMA has responded to challenges associated with project approval 
decisions by improving the timeliness of appeal decisions after 
creating a special appeals team in March 2006 dedicated to helping 
resolve a backlog of appeals. The agency also made changes to the 
appeals process within Louisiana so that an applicant's appeal is not 
reviewed by the same office that made the project decision in the first 
place, but rather by an appeals team outside of FEMA's Louisiana 
office. In response to human capital challenges, according to FEMA 
officials, the agency is using a cadre of more experienced staff to 
administer the PA program. Further, FEMA officials reported that they 
have implemented changes during recovery from the 2005 Gulf Coast 
hurricanes, which they recently institutionalized during the recovery 
of Hurricanes Gustav and Ike. These changes included recruiting and 
hiring more long-term staff to function as a single point of contact 
for these disasters. State and local officials in the Gulf Coast report 
that staff support from FEMA has improved. Finally, to help address 
concerns about the lack of continuity among staff, FEMA's Transitional 
Recovery Office in Louisiana has begun to use a team approach to 
sharing project information so that no one staff person is solely 
responsible for retaining knowledge about a specific project. 

To help DHS improve the operation of the Public Assistance grant 
program and build on some of the actions it has taken to date, we 
recommend that the Secretary of Homeland Security direct the 
Administrator of FEMA to take several actions to incorporate lessons 
learned from FEMA's experiences on the Gulf Coast by: (1) improving 
reporting on PA grants by better defining information presented in 
FEMA's regular reports to Congress and the public and by providing the 
number of unique PA projects in addition to the data currently reported 
by the agency; (2) improving collaboration and information sharing 
within the PA process by identifying and disseminating practices that 
facilitate more effective communication among federal, state, and local 
entities communicating and tracking PA project information; (3) 
developing protocols to improve information and document sharing among 
FEMA staff who rotate on and off projects; and (4) communicating the 
timing of expected FEMA staff rotations to applicants directly affected 
by those staffing changes. 

We provided a draft of this report to the Secretary of Homeland 
Security for comment and DHS generally agreed with our recommendations. 
The department also provided technical comments, which we incorporated 
where appropriate. DHS's written response is provided in appendix II. 
We also provided drafts of relevant sections of this report to state 
and local officials involved in the specific PA examples cited in this 
report. We incorporated their comments as appropriate. 

Background: 

The Stafford Act defines FEMA's role during response and recovery after 
a major disaster.[Footnote 2] One of the principal programs that FEMA 
operates to fulfill its role is the PA program. Under the program, FEMA 
provides grants to state and local government agencies, Indian tribes, 
authorized tribal organizations, and specific types of nonprofit 
organizations. In this process, one of FEMA's key objectives is to 
maintain proper management controls, thereby creating a climate of 
stewardship and accountability in the use of federal funds. 

As in the case of many federal grant programs, FEMA provides funds to a 
state government, which, in turn, passes these funds along to a local 
grant applicant. Unlike a typical federal grant program, there are no 
caps on the amount of funding an applicant can receive under the PA 
program as long as the project meets eligibility requirements.[Footnote 
3] The PA program categorizes funds into broad groups: emergency work 
(such as debris removal or emergency protective measures to preserve 
life and property) and permanent work (such as repairing and replacing 
damaged buildings, utilities, roads and bridges, recreational 
facilities, and water-control facilities). 

PA is a complex and multistep grant program administered through a 
partnership between FEMA and the state grantee. In Gulf Coast recovery, 
the role of Louisiana's state grantee was initially carried out by the 
Governor's Office of Homeland Security and Emergency Preparedness 
(GOHSEP). In January 2008, Louisiana's Governor assigned the Louisiana 
Recovery Authority as the lead state agency working with FEMA on 
recovery operations. In Mississippi, this role is carried out by the 
Mississippi Emergency Management Agency (MEMA). The program is 
structured to provide financial assistance while ensuring a high level 
of accountability and control over spending. Thus, it entails an 
extensive paperwork and review process based upon a number of specific 
eligibility rules that outline the types of damage that can be 
reimbursed by the federal government and steps that federal, state, and 
local governments must take in order to document eligibility. 

After a disaster, FEMA typically works with the affected state 
government to set up a field office at or near the disaster site to 
administer PA grants. FEMA staffing usually consists of (1) permanent 
full or part-time employees, (2) nonpermanent reserve staff,[Footnote 
4] and (3) technical-assistance contractors. In addition, the field 
office is staffed by the affected state's emergency management 
personnel. In general, the majority of FEMA staff assigned to the field 
office consists of nonpermanent reserve staff and can be used in any 
capacity, depending upon their skills, and are typically deployed for 
shorter-term assignments (i.e., 90 to 120 days). Technical-assistance 
contractors typically provide assistance in specialized areas such as 
structural, mechanical, and civil engineering. 

Federal, state, and local officials each play a significant role in 
carrying out many of the steps of the PA funding process (see fig. 1). 
In this process, the state is the official "grantee," while the local 
government or equivalent entity is the "subgrantee" or "applicant" that 
ultimately receives the funding. After a disaster is declared, FEMA and 
state representatives brief applicants on the program, and FEMA assigns 
a Public Assistance Coordinator as well as Project Officers and 
technical specialists to assist the applicant through the PA funding 
process. After determining that the applicant and type of facility are 
eligible for funding, FEMA, the state, and the applicant work together 
to develop a project worksheet describing the scope of work and 
estimated cost. As part of FEMA's approval process, the agency also 
conducts historical and environmental reviews. 

FEMA generally defines a project in its 2007 Public Assistance Guide as 
a logical grouping of work that will be funded as a unit. Under this 
definition, a project may cover work for one damage site (e.g., all of 
the damage to a single school) or for similar types of damage that one 
contractor may repair at various locations (e.g., all sewer pump 
stations in a city). The Stafford Act provides a simplified procedure 
for smaller projects whose cost estimate is under a certain dollar 
threshold.[Footnote 5] 

After FEMA approves a project, funds are obligated--that is, they are 
made available--to the state grantee, which, in turn, passes the funds 
along to applicants.[Footnote 6] For large projects, funds are 
generally distributed to applicants on a reimbursable basis after 
project work is completed, although PA program rules allow applicants 
to receive PA funds from states earlier under certain conditions. For 
small projects, funds are provided up front to the applicant based on 
FEMA's approval of the project's cost estimate. 

The cost estimate or scope of work may change after project approval 
when new information comes to light. For example, if an applicant 
discovers that the actual costs for a project are higher than FEMA's 
estimate, the applicant may apply to FEMA for additional funds. 
However, if the actual cost is lower than FEMA's estimate, the 
applicant will receive only the actual costs incurred. In another 
example, FEMA may approve the scope of work for repairing damage to 
part of a wall or ceiling, but when an applicant seeks bids to repair 
the damage a contractor might conclude the entire wall or ceiling must 
be replaced in order to maintain the integrity of the building. Under 
these circumstances, a scope of work and cost adjustment might be 
approved by FEMA. 

Figure 1: Overview of the Public Assistance Process: 

[Refer to PDF for image] 

This figure is an illustration of an overview of the Public Assistance 
Process. The following process is depicted: 

1. President declares disaster; 

2. State briefs applicant (FEMA may join briefing); 

3. Applicant submits request for public assistance to state; 

4. State reviews and submits application for public assistance to FEMA; 

5. FEMA, state, and applicant have kick off meeting to discuss 
projects; 

6. FEMA, state, and applicant conduct site inspection and began project 
worksheet formulation; 

7. FEMA, state, and applicant draft version of the project worksheet; 

8. Applicant submits supporting documentation for project worksheet 
estimate to state; 

9. State reviews and submits supporting documentation for project 
worksheet estimate to FEMA. 

10. FEMA reviews and approves project worksheet; (For projects over $1 
million, additional review by Congress; 

[Steps 8, 9, and 10 in the process may be repeated] 

11. FEMA obligates funds to state 9Applicant may file appeal[A]); 

12. State monitors and inspects projects; 

13. State disperses obligated funds to applicant[B]; 

14. Applicant receives funds and distributes to contractors as work is 
completed; 

[Steps 12, 13, and 14 in the process may be repeated] 

15. Applicant submits eligible large project cost documentation; 

16. State reviews eligible large project cost documentation; 

17. FEMA reviews eligible large project cost documentation and adjusts 
obligations as necessary; 

[Steps 15, 16, and 17 in the process may be repeated] 

18. Process closed out. 

Source: GAO analysis of FEMA information. 

[A] See fig. 5 for PA appeals process description. 

[B] Partial payments may be made to the applicant during the execution 
of the projects. For small projects (equal to or under $55,500), the 
state may disburse the federal share at this step. 

[End of figure] 

In October 2006 Congress passed the Post-Katrina Emergency Management 
Reform Act of 2006 (PKEMRA) which, among other changes, reorganized 
FEMA, elevated FEMA's position within DHS, and increased FEMA's 
independence.[Footnote 7] PKEMRA gave FEMA new human capital 
authorities and responsibilities, including requiring FEMA to develop a 
strategic plan on human capital, authorizing recruitment and retention 
bonuses for difficult-to-fill positions, and providing for the 
professional development of FEMA employees through rotations within 
DHS. Further, FEMA was to establish a Surge Capacity Force of trained 
individuals prepared to respond to disasters. PKEMRA also made specific 
changes to the Public Assistance program such as authorizing incentives 
for the timely closing of PA projects and making educational nonprofit 
facilities eligible for PA funds. PKEMRA also authorizes FEMA to 
conduct a PA pilot program intended to reduce the cost, increase the 
flexibility, and expedite the provision of assistance. FEMA established 
new procedures under the pilot program and waived certain Stafford Act 
provisions and PA regulations for the purposes of the program. 

To respond to the 2005 Gulf Coast hurricanes the federal government has 
already committed a historically high level of resources--more than 
$126 billion as of August 2008. More than half of this assistance was 
directed to emergency assistance and meeting shorter-term needs arising 
from the hurricanes, such as relocation assistance, emergency housing, 
immediate levee repair, and debris removal efforts. FEMA's PA grant 
program is a significant federal tool to support longer-term recovery 
efforts. One year after the disaster, the Brookings Institution 
estimated that approximately $35 billion of the federal resources had 
been provided to support longer-term rebuilding efforts. In addition to 
the PA program, other examples of federal longer-term rebuilding 
assistance include the U.S. Department of Housing and Urban 
Development's Community Development Block Grant program primarily to 
help rebuild homes and apartments; the U.S. Department of 
Transportation's funding for roads, bridges, and aviation facilities; 
U.S. Small Business Administration's low-cost disaster loan program; 
and tax incentives and relief for hurricane victims and small 
businesses through the Gulf Opportunity Zone Act.[Footnote 8] 

Cost and Scope of PA for Gulf Coast Rebuilding Is Very Large and Will 
Likely Increase: 

Federal funding for the PA program in the Gulf Coast has already 
surpassed that of any previous disaster, and the total cost will likely 
be higher than FEMA's estimate. Costs are likely to increase because 
the agency's estimate of the total PA cost does not reflect additional 
projects that have yet to be approved or the final costs for already- 
approved projects, which may be higher than FEMA's original estimates. 
In addition, FEMA's estimates do not include its own administrative 
costs for the PA program. As in the case of costs, the number of PA 
projects in the Gulf Coast is unprecedented but FEMA's reporting to 
Congress and the public on the number of total projects may have been 
misleading. As of September 2008, about 90 percent of PA funding made 
available to the Gulf Coast states has gone to Louisiana and 
Mississippi primarily for large permanent rebuilding projects. Within 
these two states, about half of this funding has been provided to local 
PA applicants to date. This is because many large projects take several 
years to complete and PA generally reimburses applicants after work is 
complete, as well as the challenges that will be discussed later in 
this report. 

Cost for the PA Program in the Gulf Coast Has Surpassed Any Previous 
Disaster, and Is Likely to Increase Further: 

As of September 2008, FEMA had made $11.1 billion available to PA 
applicants in the Gulf Coast. FEMA estimates that PA funding in the 
Gulf Coast will reach approximately $13.2 billion, surpassing all 
previous disasters, but final costs will likely be even higher. The PA 
program accounts for a substantial amount of the federal assistance 
committed to longer-term rebuilding efforts in the Gulf Coast region. 
Already, FEMA's estimate for the PA program in the Gulf Coast has 
greatly surpassed PA funding for any prior disaster, including the $4.8 
billion of federal PA funds spent for the 9/11 terrorist attacks on the 
World Trade Center (see fig. 2). Furthermore, total PA funding will 
likely be higher than FEMA's estimate because: (1) some projects, not 
yet approved, are not reflected in FEMA's total; and (2) the cost of 
some projects already reflected in FEMA's recent estimate may turn out 
to be higher once FEMA has refined the scope and costs of these 
projects. For example, FEMA has already significantly increased its 
estimate of total cost from its projections of July 2007, when it 
estimated total spending of $10.3 billion. The gap between this 
estimate and FEMA's September 2008 estimate of $13.2 billion indicates 
that anticipated PA funding increased by $2.9 billion in the 
intervening 14 months. 

Figure 2: Comparison of Total PA Funds for Selected Large Disasters: 

[Refer to PDF for image] 

This figure is a vertical bar graph depicting the following data: 

Disaster: Hurricane Andrew (1993); 
PA Funds: $0.8 billion. 

Disaster: Northridge earthquake (1994); 
PA Funds: $4.4 billion. 

Disaster: 9/11 terrorist attack, WTC (2001); 
PA Funds: $4.8 billion. 

Disaster: Florida hurricanes (2004); 
PA Funds: $2.5 billion. 

Disaster: Hurricanes Katrina and Rita (2005); 
PA Funds: $11.1 billion. 

Source: FEMA data. 

Note: This graphic is in nominal dollars and is not adjusted for 
inflation. All above data are as of April 30, 2008, except for the 
figure for the 2005 Gulf Coast hurricanes, which is current up to 
September 11, 2008. The "Florida hurricanes" refers to Hurricanes 
Charley, Frances, Ivan, and Jeanne, as well as Tropical Storm Bonnie. 

[End of figure] 

In order to understand the entire cost of the PA program to the federal 
government, it is necessary to account for administrative costs as 
well. FEMA's estimate captures some of the administrative costs 
incurred by applicants and states.[Footnote 9] However, for a full 
accounting, it is also necessary to consider the cost to FEMA for its 
administration of the program. Given the large number of contract staff 
and FEMA employees involved in administering the program, these 
expenses are likely extensive. For example, during 2006, staffing for 
field locations in Louisiana and Mississippi exceeded 3,500 staff. FEMA 
provided us with the cost for contractors supporting the administration 
of the PA program in the Gulf Coast as $1.7 billion through April 2008. 
However, other administrative expenses such as FEMA salaries, travel 
allowances, and overhead are unknown because the agency estimates such 
costs centrally, rather than by program. 

Large Rebuilding Projects in Louisiana and Mississippi Account for the 
Vast Majority of PA Funds Made Available to Gulf Coast States: 

As of September 2008, the states of Louisiana and Mississippi have 
received about 90 percent of all PA funds distributed to the four Gulf 
Coast states. Specifically, Louisiana and Mississippi have received 
$7.2 billion and $2.9 billion respectively, while Texas has received 
$919 million and Alabama has received $116 million. (See fig. 3 for 
dollars made available to Louisiana and Mississippi for each PA 
category of damage.) The vast majority of the funding in Louisiana and 
Mississippi has gone toward large projects, even though small projects 
greatly outnumber larger projects. For instance, there were 23,886 
projects in Louisiana and Mississippi funded for less than $55,600 
whose total value equaled $222 million. On the other hand, 321 projects 
funded for $5 million or more had a total value of $5.2 billion. 

Figure 3: Louisiana and Mississippi Federal PA Dollars Available: 

[Refer to PDF for image] 

This figure is a multiple vertical bar graph depicting the following 
data: 

Louisiana and Mississippi Federal PA Dollars Available (dollars in 
millions): 

Emergency work: Debris removal, Louisiana: $1,171; 
Emergency work: Debris removal, Mississippi: $708. 

Emergency work: Proactive measures, Louisiana: $1,943; 
Emergency work: Proactive measures, Mississippi: $377. 

Permanent work: Roads and bridges, Louisiana: $89; 
Permanent work: Roads and bridges, Mississippi: $62. 

Permanent work: Water control facilities, Louisiana: $37; 
Permanent work: Water control facilities, Mississippi: $1. 

Permanent work: Public buildings, Louisiana: $2,860; 
Permanent work: Public buildings, Mississippi: $600. 

Permanent work: Public utilities, Louisiana: $289; 
Permanent work: Public utilities, Mississippi: $819. 

Permanent work: Recreational or other, Louisiana: $124; 
Permanent work: Recreational or other, Mississippi: $142. 

Administrative work: State management, Louisiana: $76; 
Administrative work: State management, Mississippi: $97. 

Source: GAO analysis of FEMA data as of July 2008. 

[End of figure] 

Of the four states affected by the 2005 Gulf Coast hurricanes, 
Louisiana and Mississippi have disbursed relatively the least amount of 
funding for projects (51 percent and 53 percent respectively). However, 
they are also the states with the largest amount of funding going 
toward permanent rebuilding projects, which can take several years to 
complete, and thus reimburse. For example, in Louisiana, PA applicants 
have received 77 percent of the $3.2 billion made available to the 
state for emergency work, while they have only received 29 percent of 
the $3.8 billion made available to the state for permanent rebuilding. 
Mississippi has a similar distribution of funds (see fig. 4). While 
there has been some concern about why more of these funds have not been 
distributed to applicants, there are at least two key reasons for this 
distribution of funds. Since the bulk of PA program dollars are 
distributed as reimbursements to the applicant, the applicant typically 
does not receive full funding for projects until costs have been 
incurred--even though FEMA has already made these funds available to 
the state. Most funds for emergency projects have already been passed 
along to applicants. However, permanent rebuilding projects can take 
several years to complete, so a significant portion of funds for these 
projects have not been passed on to applicants. Additional factors 
contributing to this gap include some of the operational challenges 
that we identify later in this report. 

Figure 4: Public Assistance Funds Paid to Applicants in Louisiana and 
Mississippi: 

[Refer to PDF for image] 

This figure is a stacked vertical bar graph depicting the following 
data: 

Public Assistance Funds Paid to Applicants in Louisiana and 
Mississippi: 

Louisiana: Emergency work; 
Funds available to the state: $3.2 billion; 
Funds paid to applicant: $2.5 billion. 

Louisiana: Permanent work; 
Funds available to the state: $3.8 billion; 
Funds paid to applicant: $1.1 billion; 

Louisiana: Total funds; 
Funds available to the state: $7.2 billion; 
Funds paid to applicant: $3.7 billion. 

Mississippi: Emergency work; 
Funds available to the state: $1.1 billion; 
Funds paid to applicant: $1.0 billion. 

Mississippi: Permanent work; 
Funds available to the state: $1.7 billion; 
Funds paid to applicant: $0.5 billion. 

Mississippi: Total funds; 
Funds available to the state: $2.9 billion; 
Funds paid to applicant: $1.5 billion. 

Source: FEMA data. 

Note: Data are from FEMA's September 2008 Global Report on Public 
Assistance in the Gulf Coast. 

[End of figure] 

Number of PA Projects in the Gulf Coast Is Very Large, but FEMA's 
Reporting of This May Be Misleading: 

As in the case of overall costs, the number of PA projects in the Gulf 
Coast is very large. The number of projects in the Gulf Coast, as 
reported by FEMA, is projected to be more than 81,000, with Louisiana 
alone accounting for more than 44,000. According to FEMA, the average 
number of projects for major disasters occurring between October 1998 
and January 2007 was just over 700. 

Although there is no question that the number of Gulf Coast rebuilding 
projects is very large, the figure reported by FEMA in its status 
report to Congress and the public may be misleading. This is because 
the figure does not represent the number of unique PA projects, but 
rather, includes the number of changes (or "versions") that have been 
made to project worksheets. Our analysis of the number of projects in 
Mississippi and Louisiana--the two states with the vast majority of 
projects--showed that in arriving at its total number of projects, FEMA 
often counted projects 2 or 3 times and in some cases project were 
counted as many as 11 times. Overall, FEMA's decision to include 
multiple versions in its external reports roughly doubled the total 
number of projects (see table 1). 

FEMA officials acknowledged that reporting on the total number of 
project changes might be misleading but noted that this can be a useful 
measure of FEMA workload because it captures the effort involved in 
preparing multiple versions. In addition, FEMA officials noted that 
they were reluctant to change reporting metrics because they believed 
such a change might confuse users of the reports. We agree with FEMA 
that continued reporting of the total number of project changes can be 
useful--both as a measure of the projects being processed by the agency 
and to provide continuity with previous data reports. However, it is 
not clear why it is necessary to continue reporting this figure under 
the potentially misleading label of "number of projects," nor why 
information on the actual number of unique projects is not also 
provided in the agency's regular PA data reports. As of November 2008, 
these reports only included the total number of project versions and 
not the number of unique projects. 

Table 1: FEMA-Reported Number of Projects (Which Include Versions) 
Compared to Numbers of Unique Project Worksheets: 

Louisiana; Number of Project Worksheets as reported by FEMA (includes 
all versions): 44,476; 
Number of unique PWs: 21,462; 
Difference: 23,014. 

Mississippi; Number of Project Worksheets as reported by FEMA (includes 
all versions): 22,303; 
Number of unique PWs: 10,895; 
Difference: 11,408. 

Source: GAO analysis of FEMA National Emergency Management Information 
System data as of July 2008. 

[End of table] 

Challenges in the Day-to-Day Operation of the PA Program Slowed 
Rebuilding: 

Federal, state, and local officials experienced a variety of challenges 
in the day-to-day operation of the PA program in rebuilding the Gulf 
Coast. These included challenges in developing projects, sharing and 
communicating project information, and making and appealing project 
decisions. These challenges resulted in slowing rebuilding progress. 
These difficulties were exacerbated by the amount of damage from the 
2005 Gulf Coast hurricanes and the sheer number of rebuilding projects 
initiated in their wake. 

Challenges with Developing Projects Slowed Rebuilding and, at Times, 
Increased Costs: 

Rebuilding projects faced significant challenges during project 
development and start up, which slowed down rebuilding projects and, at 
times, increased costs. A critical step in the PA process is the 
completion of a project worksheet, which documents eligible work and 
estimated cost. Large rebuilding projects typically involve some 
modifications in finalizing the scope of eligible work and determining 
related costs through the creation of subsequent "versions" of the 
original project worksheet.[Footnote 10] For example, modifications 
resulting in a new version may occur when, after initial building 
repairs begin, additional damage is discovered. In the Gulf Coast large 
PA projects faced several challenges during the project development and 
start up process including difficulties in: (1) determining how much of 
the damage was disaster related, (2) assessing project scope including 
the decision to repair or replace structures, (3) estimating project 
costs in the post-disaster environment, (4) using program flexibilities 
to rebuild to post disaster needs, and (5) obtaining resources to 
initiate projects. Sometimes several of these challenges were 
encountered in a single project, thereby magnifying their effect. In 
response to some of these challenges, FEMA, the Office of the Federal 
Coordinator for Gulf Coast Rebuilding and the states of Louisiana and 
Mississippi have taken a variety of actions and plan to do more. 

Difficulties Determining Disaster-Related Damage: 

For many rebuilding projects on the Gulf Coast, it took time to make 
determinations regarding the amount of damage structures received as a 
direct result of the 2005 Gulf Coast hurricanes and distinguishing this 
from nondisaster related damage. This task has been complicated by a 
number of factors including the overall scope of the damage caused by 
the hurricanes, the large number of rebuilding projects, and the fact 
that some applicants lacked records to document the predisaster 
condition of buildings and infrastructure. The PA program will not 
reimburse applicants for damage to buildings or infrastructure that was 
the responsibility of the applicant to repair prior to a disaster (such 
as deferred maintenance) or protect against after a disaster (such as 
the failure to patch a damaged roof to prevent further damage to a 
building's interior). 

Identifying the amount of damage that already existed before the 
hurricanes has been especially difficult, particularly for large 
infrastructure projects such as roads and water lines. FEMA officials 
noted that water lines were particularly difficult to assess because 
much of the damage was underground. FEMA conducted extensive 
inspections in order to make eligibility determinations for many of 
these projects, and these determinations took time to work through. In 
addition, disagreements between applicants and FEMA, as well as changes 
to project scope decisions contributed to slowing down project 
development. For example, although much of the New Orleans water and 
sewer system sustained damage as a result of the disaster, FEMA and 
city officials had difficulty agreeing on the amount of damage due to 
the storm as opposed to that due to deferred maintenance. New Orleans 
officials stated they had valid records on the condition of the city's 
water and sewer lines up to January 2005--approximately 9 months before 
the Hurricane Katrina. Given this gap in records, FEMA began a review 
of the entire system for disaster-related damage and inspected roughly 
46,000 leaks by July 2007. The agency funded the installation of flow 
meters and data-logging devices to assist in determining the location 
of leaks. FEMA concluded that in about 80 percent of the cases, it 
could not determine whether a leak had existed prior to the 2005 Gulf 
Coast hurricanes or whether it was caused by the hurricanes. In an 
effort to resolve this issue, FEMA, the state, and the New Orleans 
Sewer and Water Board entered into a memorandum of understanding 
agreeing to engage a third-party contractor to perform a damage 
assessment and propose restoration alternatives. According to FEMA 
officials, the agency has since reimbursed the applicant for those 
leaks that were identified as being caused by the hurricanes. 

Post-disaster damage also complicated project development. Under the PA 
program, in order for post-disaster damage to be covered it must be 
directly related to the disaster, such as damage to roads from heavy 
trucks hauling away debris, or certain cases of mold in buildings. 
[Footnote 11] In addition, reasonable protective measures by the 
applicant could not have prevented this damage from occurring. 
Therefore, decisions on project eligibility took additional time to 
sort out post-storm-related damage. For example, PA inspectors sought 
to determine whether applicants protected their buildings well enough 
to secure them from post-storm damage such as rain or from thieves who 
stole copper pipes for their salvage value. 

In St. Bernard Parish, roughly 2 years passed before FEMA and parish 
field inspection teams completed identification of PA-eligible damage 
to approximately 2,500 blocks of local streets. The parish had no 
records to document the condition of its streets prior to the 2005 Gulf 
Coast hurricanes, so according to state officials, FEMA inspections 
were performed on each parish street in an attempt to distinguish 
predisaster damage from that caused directly as a result of the 
hurricanes. In addition, FEMA and St. Bernard Parish officials 
disagreed over the standards FEMA used to determine eligibility, which 
further prolonged the project-development process. In contrast, 
Jefferson Parish did not encounter similar challenges with 
distinguishing predisaster damage from damage directly related to the 
hurricanes. This is because the parish maintained a road repair- 
management information system (including a road-maintenance plan) prior 
to the disaster that enabled the parish to identify preexisting road 
conditions to FEMA officials, thereby helping to expedite their road- 
repair projects. 

Difficulties Using Program Flexibilities to Rebuild in a Way That Meets 
Post-disaster Needs: 

The PA program typically provides funds to restore buildings, 
equipment, or infrastructure back to their condition, location, and 
function before the disaster. The program does permit changes from how 
things were prior to the disaster--through alternate and improved 
projects--but these approaches typically come with restrictions in 
funding.[Footnote 12] Since many PA applicants in the Gulf Coast found 
that the population of their neighborhoods changed significantly from 
pre-Katrina levels, it was important for their rebuilding projects take 
into account the new conditions. In order to do this, localities often 
needed time to develop and obtain agreement on broader recovery plans, 
which provide a coordinated approach to rebuilding their communities. 
According to FEMA officials, the Stafford Act was not designed for the 
level of project reconfiguration necessary for post-Katrina rebuilding. 

For example, given post-disaster population changes and educational 
needs, Louisiana's Recovery School District officials sought 
flexibility in rebuilding schools as well as the number of students 
attending each school. Typically, the approval for an alternate or 
improved project designation is done on a site-by-site basis. 
Accordingly, FEMA officials initially sought rebuilding decisions from 
the school district on a campus-by-campus basis to move ahead with 
project development. However, it took time for school district 
officials to devise a plan for rebuilding its large school system given 
the changing demographic pattern of returning school age children and 
the need to consider community input. These officials also wanted to 
consider how much money FEMA would allow for damages when making its 
final planning decisions. However, FEMA could not determine how much PA 
money would be available until they were informed of the school 
district's project development decisions. Recovery School District 
officials devised an interim short-term plan to help ensure that school 
campuses opened as quickly as possible. These challenges, coupled with 
pressures to open schools in time for the school year, led to FEMA 
funding approximately $70 million in temporary modular facilities. FEMA 
and school district officials ultimately are working together to 
resolve differences in developing the project by moving towards a 
systemwide approach to rebuilding schools to address Louisiana's post-
disaster needs rather than developing projects on a campus-by-campus 
basis. 

St. Bernard Parish government also faced challenges with replacing 
equipment to address post-disaster needs. The parish lost almost all of 
its vehicles and equipment as a result of the disaster, but local 
officials reported that state PA officials only allowed one-for-one and 
in-kind replacements. For example, St. Bernard Parish officials claimed 
that the state required them to replace one of their damaged 1988 Ford 
Crown Victoria police cruisers with the same make, model, and year. 
Instead, the officials wanted to use the total value of the damaged 
equipment to purchase a smaller number of vehicles appropriate for 
their current and future needs. It took many months to work through the 
applicable rules in order to address the parish's concerns. FEMA 
officials told us that they ultimately utilized the PA program's 
improved-project option to provide funds from the replacement value of 
older vehicles toward the purchase of new vehicles. As part of this 
process, the Office of the Federal Coordinator for Gulf Coast 
Rebuilding entered into a correspondence with St. Bernard Parish 
officials in fall 2007 with the intent of expediting project 
development offering a dedicated team to provide specialized assistance 
to resolve this issue. This effort was part of a broader initiative by 
the Federal Coordinator, along with FEMA, to reach out to local 
officials in selected hard-hit areas to identify their top five 
priority PA projects. 

FEMA plans to incorporate some project development flexibilities into 
its regular practices. For instance, FEMA's Public Assistance 
Catastrophic Disaster Recovery Concept Plan, finalized in May 2008, 
recognizes the need for PA regulations to allow applicants to more 
easily tailor projects to meet post-disaster needs. In September 2008, 
FEMA officials informed us that policies to address this issue as well 
as a range of other initiatives related to the plan are in development 
and are expected to be complete by March 2009. 

Difficulties Assessing Project Scope, Including Whether to Repair or 
Replace Damaged Structures: 

Under PA rules, if a facility is 50 percent or more damaged, the 
program will fund its replacement value. This "50 percent rule" is 
important because the applicant stands to receive significantly more 
money when this damage threshold is crossed. Because of the size and 
complexity of the damage caused by the 2008 Gulf Coast hurricanes, 
making the determination to repair or replace could be particularly 
difficult. This challenge was more evident in Louisiana as FEMA and 
state officials noted that the damage generally involved flooding and 
wind damage so that most buildings were not completely destroyed, as 
was the case with much of the damage in Mississippi. 

In St. Bernard Parish local officials had plans to consolidate its 
seven separate wastewater (and sewer) treatment plants prior to the 
2005 Gulf Coast hurricanes in order to meet EPA compliance rules, among 
other things. When parish officials developed project worksheets for 
the wastewater treatment plants, they wanted to structure the projects 
so that PA funds could be used to accomplish this goal, rather than 
rebuilding a system that they planned to decommission. Although the 
parish plan to consolidate its wastewater treatment plants was not 
contingent upon whether the individual plants qualified for replacement 
rather than repair, these decisions affected whether the parish would 
receive enough funding to build the consolidated wastewater treatment 
facility. Initial assessments led FEMA to determine that the facilities 
were not sufficiently damaged to qualify for funds to pay for the 
replacement of the plants, but just for their repair. According to 
parish officials, the parish sought a reassessment of the damage and 
after FEMA recalculated costs, they determined that two out of the 
seven water treatment sites were, in fact, eligible for full 
replacement, while the other five qualified for the cost of repairs. As 
project issues were being discussed, heavy trucks were used to pump and 
haul sewage as an interim measure until the system was repaired. These 
trucks were needed to operate for a much longer-than-expected period of 
time resulting in a considerable cost as well as damage to the parish's 
roads. These temporary measures have already cost the federal 
government more than $60 million. St. Bernard Parish officials estimate 
that, had they been able to move ahead with their original plans, it 
would have taken about 1˝ years for the new consolidated facility to 
become operational. More than 2 years have passed since the project was 
proposed and rebuilding has not yet begun. 

Another example of the challenges related to difficulties in 
determining whether to repair or replace damaged structures involves 
New Orleans's public schools. Over 3 years after the disaster, damaged 
school buildings under Louisiana's Recovery School District agency are 
still being assessed to determine whether they qualify for replacement 
funding. According to Recovery School District officials, in some 
cases, this determination was reached after the school district already 
paid for architectural plans to renovate rather than replace the school 
facility, thereby incurring extra expenses and further slowing 
rebuilding.[Footnote 13] School district officials told us that working 
through repair versus replacement eligibility for the 122 school 
campuses under their control will be a very long process if delays in 
assessment continue. For example, the Fannie C. Williams Elementary 
School in New Orleans was initially assessed by FEMA as being less than 
50 percent damaged, therefore not qualifying it for replacement. After 
the Recovery School District hired an architectural and engineering 
firm to reassess the damage, FEMA agreed to change its original 
determination and the school qualified for replacement funding. 

Difficulties Estimating Project Costs: 

During Gulf Coast recovery, state and local officials reported that 
FEMA's cost-estimating methods often undervalued the cost of 
rebuilding, and, in many cases project estimates were conducted very 
early in the project-development process before knowing the full extent 
of the damage. Developing accurate cost estimates is particularly 
important for alternate and improved projects. This is because these 
projects rebuild the structure to be different from its predisaster 
condition, but project payouts are capped at an amount estimated to 
restore the structure to its predisaster condition. In contrast, in 
projects that ultimately restore structures to predisaster conditions 
there is no funding cap because the actual costs of rebuilding will be 
funded, if reasonable. 

According to federal and state officials, it was difficult to develop 
rebuilding estimates because of uncertain labor and material costs 
after the storms. To better address these types of situations FEMA 
developed a methodology called Cost Estimating Format. This methodology 
provides a uniform method of estimating costs for permanent large 
projects and includes consideration of both direct costs (i.e., 
materials) and indirect costs (i.e., safety and security measures, 
storage and staging, insurance, and other overhead). However, according 
to senior FEMA officials, many agency staff had not been trained to use 
this methodology in the aftermath of the 2005 Gulf Coast hurricanes. A 
study contracted by FEMA of major disasters occurring between April and 
October 2007 found that about 70 percent of FEMA staff and 50 percent 
of technical assistance contractors were not trained on the Cost 
Estimating Format that FEMA recommended for use in developing estimates 
for projects. 

In addition, FEMA, state, and local officials reported that cost 
estimates were often made very early in the project-development process 
before knowing the full extent of the damage. FEMA officials noted that 
the earlier in the process that a cost estimate is developed, the 
greater the likelihood that the estimate will be inaccurate since these 
early estimates may not factor in all of the damage that exists. These 
officials told us that early estimates typically cover only obvious 
damage since conducting detailed investigations of damage shortly after 
a major disaster can be difficult. For example, upon further 
investigation of a roof, damage to the underlying flashing and 
underpinnings may be discovered that was not recognized during FEMA's 
initial inspection. FEMA officials stated that project officers were 
focused on developing as many project worksheet estimates as they could 
to facilitate the project development process. There were trade-offs, 
however, in developing early estimates. 

Applicants reported that low cost estimates, resulting from challenges 
cited above, contributed to delays in project development until these 
estimates were revised. According to testimony by the former Acting 
Director of the Louisiana GOHSEP before the Subcommittee on Disaster 
Recovery in July 2007, many PA rebuilding projects were underestimated 
by millions of dollars. For example, out of the 23 cases he cited, the 
estimated amount was less than the lowest bid that the applicant 
received for the work by a factor of 1.5 to 10 times. 

Because of low cost estimates, applicants were sometimes hesitant to 
move forward on projects for fear that they may owe more than FEMA 
would ultimately reimburse them for, despite the fact that PA rules 
allow for reimbursements for large projects to be above the original 
estimates if costs are reasonable. When FEMA agrees that actual repair 
or rebuilding costs would significantly vary from their original 
estimate, the agency updates the project scope or estimated cost by 
creating a new version of the project worksheet. However, state and 
local officials reported that it sometimes took several months for FEMA 
to make agreed-upon changes to project worksheets--including revised 
cost estimates--and applicants were responsible for covering these 
costs in the meantime. 

Louisiana applicants faced an additional challenge with moving forward 
on projects because they reported that state law requires that 
applicants identify 100 percent of their funding for projects before 
they can enter into contracts to rebuild. These applicants reported 
that gaps between PA estimates and contractor bids delayed rebuilding 
projects since they were not able to identify 100 percent the project's 
funding. FEMA officials in Mississippi noted that they increased 
project worksheet cost estimates by about 20 percent to compensate for 
low project cost estimates. 

FEMA's PA Catastrophic Disaster Recovery Concept Plan proposes that the 
agency, the state, and the applicant take steps to more effectively 
develop comprehensive damage descriptions in order to reduce conflicts 
regarding project cost estimates later in the process. Toward this end, 
the plan acknowledges the importance of deploying sufficient resources 
to promote rapid completion of damage assessments including funding for 
technical assistance to applicants. According to FEMA officials, some 
steps related to improving damage assessments, such as developing a 
catalog of assessment methodologies, have been completed. However, an 
additional task relating to this issue is still underway, and other 
follow-on activities relating to the plan have yet to start. 

Insufficient Resources to Initiate Projects: 

State and local officials in Louisiana and Mississippi told us that 
factors such as insufficient resources for up-front project costs and 
contractors delaying work until they were paid also led to project 
delays. Some of these challenges have been addressed during the course 
of recovery. 

Applicants reported challenges in covering substantial up-front costs 
for project development such as the costs of hiring architectural and 
engineering firms and associated human capital costs to prepare 
documentation for PA requirements. Local officials told us that they 
often needed to hire an architectural and engineering firm to document 
the scope of damage and subsequent work to fully justify funding of 
projects. However, in some cases, applicants did not have the resources 
to hire an architectural and engineering firm without first obtaining 
initial PA funding for the project. Also, some applicants reported that 
they lacked funds to pay for staff to prepare PA documents needed to 
request PA funding. Local officials noted that provisions in the PA 
program that provide up-front funding can be quite burdensome to 
applicants. According to FEMA officials, FEMA designed an initiative to 
fund professional technical resources to support local recovery 
efforts. 

Initiating projects was a special challenge in Louisiana. For example, 
New Orleans city officials reported that their economy was stagnant for 
weeks after the storm, which led to reduced city revenues. Furthermore, 
their ability to raise money was limited due to low credit ratings, and 
they were unable to borrow funds to cover the costs of maintaining the 
city's staff or paying for expenses such as architecture and 
engineering activities as cited above. As a result, many critical 
rebuilding projects were not started for several months. In another 
example, a senior St. Bernard Parish official reported facing delays 
until the parish identified funding provided from other recovery 
funding sources to cover architecture and engineering costs for PA 
projects. Specifically, the officials reported using $8.9 million that 
they received from insurance refunds to pay for some of the 
architecture and engineering work necessary to initiate critical PA 
projects, such as the sewer system. 

In addition, officials in Louisiana reported that applicants were 
concerned about their ability to afford PA cost-share requirements when 
this requirement was still in place, contributing to project delays. 
The PA program typically requires a 75 percent federal and 25 percent 
state cost share.[Footnote 14] Shortly after the storms the federal 
government adjusted this match for the Gulf Coast states to 90 percent 
federal and 10 percent state for Gulf Coast recovery,[Footnote 15] and 
this matching requirement was removed in 2007--15 months after the 
disaster was declared.[Footnote 16] Having enough resources to cover PA 
cost-share requirements was less of a challenge in Mississippi as 
officials in that state reported that state legislation allowed the 
state to bond up to $200 million for three coastal counties. As a 
result, applicants were better able to move forward with rebuilding 
without hesitations associated with their inability to meet PA cost- 
share obligations. 

Further, officials from several parishes reported that due to their 
reliance on state reimbursements--which some claimed were slow--they 
did not have the resources to pay contractors, some of whom threatened 
to sue for nonpayment. FEMA officials stated that PA rules are flexible 
enough to provide some funding up front, if the state chooses to do so, 
and states can make arrangements to pay for phases of projects, as they 
are completed, rather than being reimbursed for the completed project 
at the end. Further, in February 2008, Louisiana initiated a program to 
streamline payments to applicants to provide more rapid disbursement of 
PA funds. Louisiana's "Express Pay System" allows an applicant to 
submit a reimbursement request with the required supporting 
documentation and receive payment within 10 to 14 business days, rather 
than 45 to 60 business days as was the case for the previous process. 

We found that applicants from Mississippi used some of PA's funding 
flexibilities, which state and local officials said were critical to 
their ability to move ahead on projects without delay. Senior officials 
from MEMA and the Governor's Office of Recovery and Renewal said that 
the state's approach to providing up-front funding was possible because 
state laws allow them to advance up to 75 percent of PA project funds 
to applicants, and FEMA worked with the state to advance funding. In 
addition, according to a state official, Mississippi law does not 
prevent local governments from bidding out projects before they have 
identified or received 100 percent of their funding. As a result of the 
funding flexibility that Mississippi had, MEMA and FEMA established an 
agreement for the state to provide funding for initiating projects and 
reimbursement throughout the phases of rebuilding work. As an example, 
MEMA paid applicants 90 days before their next contractor payment was 
due for phases of rebuilding. Using this method, MEMA funded up to the 
first 85 percent of the project's cost, while applicants were 
responsible for funding the remaining 15 percent until they received 
full FEMA reimbursement. 

More recently, in 2008, Louisiana began to implement similar PA funding 
flexibilities. Specifically, the state initiated a revolving fund for 
the City of New Orleans that can be used by applicants to fund initial 
PA project costs. While applicants reported that this initiative has 
improved their ability to move projects along, this initiative began 2˝ 
years after recovery started, and the revolving fund only provides 
assistance to New Orleans. 

Finally, in June 2007 FEMA began implementation of a pilot program, 
required by PKEMRA, which provides participants with funding up front 
rather than through the reimbursement of actual costs. This program is 
not available for recovery projects relating to the 2005 Gulf Coast 
hurricanes. Applicants participating in the pilot receive payment for 
the entire estimated cost of the project, up to $500,000, for either 
emergency or permanent work projects. If the actual cost of the project 
is lower than this amount, the applicant may keep the extra funds for 
other projects or approved uses. If the actual cost is higher, the 
applicant must pay the difference. 

After being in operation for over a year, FEMA officials told us that 
participants have been reluctant to use the program for permanent work 
projects. Out of 2,725 projects in the pilot as of September 2008 only 
140, or less than 1 percent, were coded as being for permanent work. 
[Footnote 17] These officials attributed this to reluctance on the part 
of participants to having to make up the difference if their project 
comes in higher than originally estimated, and to giving up their right 
to appeal, which they are required to do under the terms of the pilot. 
While these terms also apply to emergency work projects participating 
in the pilot, this was thought to be less of a concern because such 
projects were generally more straight-forward and presented fewer 
uncertainties than large permanent work projects. PKEMRA requires FEMA 
to submit a report to Congress on the results of the pilot by March 31, 
2009. 

Challenges in Sharing and Tracking Project Information: 

Because the PA process is complex and requires collaboration among 
federal, state, and local officials, effective sharing of project 
information is particularly important. We identified challenges to 
sharing project information between federal, state, and local officials 
during project development, and limitations in tracking the status of 
projects. Challenges in the first area were more prevalent in Louisiana 
than in Mississippi because of the information-sharing strategies used. 
Taken together, limitations in these areas slowed PA project 
development and contributed to additional human capital burdens for 
local governments. In response, FEMA has taken several steps to improve 
sharing information and project tracking. 

Barriers to Sharing Project Information among Federal, State, and Local 
Officials: 

In Louisiana, federal, state, and local officials involved in the PA 
program reported facing challenges in effectively sharing critical 
operational information about projects including documents used to 
support scope and cost estimates, such as receipts, invoices, and 
facility assessments. This situation was made worse because key federal 
and state officials responsible for reviewing and approving 
documentation were not primarily located in the same place. Typically, 
FEMA colocates with state grantees in order to facilitate information 
sharing. In Louisiana, FEMA had some staff located in important areas 
throughout the state. However, we found that the state grantee 
conducted its work primarily from Baton Rouge while FEMA's Transitional 
Recovery Office was based in New Orleans--approximately 80 miles away. 
Given that key staff from FEMA and the state were located in different 
cities, it was particularly important for them to ensure effective 
sharing of project information. Although Louisiana and FEMA employed 
the use of a Web-based system to track the status of PA project 
funding, it did not facilitate the day-to-day exchange of documents 
related to project development. 

Due to this lack of effective information-sharing, some local officials 
told us that they had to frequently submit the same documentation to 
the state of Louisiana and FEMA because it was not shared between the 
agencies. In some cases, this slowed project development because 
applicants needed to reproduce critical project documents. Federal and 
state officials acknowledged that they faced difficulties in sharing 
project information and that documents were sometimes lost during the 
exchange between their agencies. 

In Mississippi, federal, state, and local officials adopted strategies 
that helped to facilitate the sharing of PA project information. For 
example, following the disaster, FEMA's Mississippi Transitional 
Recovery Office and the state grantee were located in the same office 
complex in Biloxi, Mississippi, and officials from these agencies were 
are also positioned throughout the state. They reported that this 
colocation had multiple benefits for information sharing and exchange, 
including the timely sharing of critical documents and facilitation of 
daily meetings on project-development issues. In addition to 
colocating, FEMA and Mississippi state officials used PA funding to 
secure an on-line accounting system that made operational documents 
associated with projects readily available to all parties. According to 
state and local officials, the state contracted with an accounting firm 
that worked hand-in-hand with applicants to regularly scan and transmit 
documentation on architecture and engineering estimates, contractor 
receipts, and related materials from this Web-based system. As a 
result, FEMA and the state had immediate access to key documents that 
helped them to make project approval decisions. Further, local 
officials reported that this information-sharing tool, along with 
contractor staff from an accounting firm, helped to relieve the 
documentation and resulting human capital burdens that applicants faced 
during project development. 

Limitations in Tracking of Project Status: 

Typically, FEMA only tracks the status for rebuilding projects up to 
when the agency makes funds available to the state and at the end of 
the process, when FEMA reconciles approved cost estimates with an 
actual project's cost.[Footnote 18] While we recognize that this 
approach toward tracking PA projects may be appropriate for most 
disasters, the high level of interest from Congress and the public 
regarding the status of Gulf Coast rebuilding--including information on 
the construction of specific projects--highlights the need for this 
type of information. 

Providing such information on project status presented FEMA with two 
challenges. First, information on rebuilding status between the point 
when funds are made available to the state and cost reconciliation is 
not tracked by FEMA's NEMIS database. NEMIS data are derived from 
information collected in project worksheets, which capture the 
estimates for individual rebuilding projects. Second, FEMA does not 
track information by specific rebuilding site, but rather, by project 
worksheet, which may encompass multiple buildings or partial rebuilding 
sites. Because of this there was no easy way to provide updates on 
specific PA projects, such as a school or police station, to interested 
parties. 

To address the first challenge, FEMA and state officials in Mississippi 
and Louisiana have made efforts to more effectively gather and report 
on the status of PA projects. They developed databases to maintain more 
complete information on the status of PA projects. Although this effort 
has been labor-intensive because of the need to use multiple 
information sources, these officials said that they have been able to 
generate reports on whether applicants have received PA funds that were 
made available to the state as well as on the status of construction 
for PA projects. The latter involves tracking construction bids, 
groundbreaking, and other stages of rebuilding. As a result, PA 
managers reported that they have been able to respond to stakeholder 
and applicant requests for information on project status. For example, 
FEMA reported that it developed a separate database, which provided 
FEMA and state officials with visibility on flexible funding PA grant 
options used by applicants--such as alternate or improved projects--in 
order to keep applicants informed of FEMA and GOHSEP activities and 
decisions related to these types of projects. According to FEMA 
officials, these types of tools may not be necessary in smaller 
disasters, but have proved to be useful in tracking long-term 
rebuilding efforts in the Gulf Coast. 

To address the second challenge, the Office of the Federal Coordinator 
for Gulf Coast Rebuilding, working with FEMA, established a 
transparency initiative in February 2008. This Web-based information 
sharing effort provides detailed information about selected buildings 
and types of projects in the Gulf Coast receiving PA funds and makes 
this information available to the public by sector. For example, the 
Web site provides information on whether specific New Orleans schools 
are open or closed and how much federal funding is available for each 
school site. To do this, FEMA and the Office of the Federal Coordinator 
worked with the state and local applicants as well as spreadsheets 
maintained by PA project officers in the field to obtain the necessary 
data. Although labor-intensive, these officials said it has been very 
useful to a wide range of stakeholders including the general public. 

FEMA officials told us they are taking steps that will improve national 
data collection. For example, FEMA has piloted a new information 
management system, called the Emergency Management Mission Integrated 
Environment (EMMIE), which, according to agency officials, will provide 
better tracking and management of PA projects. According to these 
officials, the agency has incorporated stakeholder feedback into system 
development to respond to some of the data-collection challenges faced 
in Gulf Coast rebuilding. EMMIE will allow FEMA staff, state grantees, 
and applicants to perform PA grant-management activities online, 
including allowing applicants to apply for, view the status of, and 
manage their grants. Although EMMIE promises considerable additional 
functionality, its use by state and local governments is optional. FEMA 
plans to convert NEMIS information on the 2005 Gulf Coast hurricanes 
into EMMIE once the system is fully deployed in 2009. 

Challenges Involving Key Project Decisions Contributed to Delays in 
Moving Projects Forward: 

PA applicants rely on FEMA project-approval decisions to make key 
repair or rebuilding decisions of their own; however, both applicants 
and FEMA officials told us that the agency's decisions were 
occasionally reversed. This led to hesitancy on the part of some 
applicants in moving forward on other projects. In addition, some 
applicants expressed concerns about the timeliness of FEMA's appeal 
process and that it was not perceived as being independent. 

Project Approval Decisions Were Sometimes Reversed: 

On some occasions, FEMA changed project-approval decisions after 
applicants moved ahead on their projects based on these decisions, 
resulting in additional expenses for the applicant. According to a 
senior FEMA official, both program staff and auditors from the Office 
of Inspector General may change project approval decisions if they 
determine that an earlier decision was incorrect, that is, if the 
project funding decision was legally ineligible. A senior FEMA official 
told us that, in these cases, the agency has no choice but to change 
its funding decision. In other situations, decisions were changed 
because a FEMA official later disagreed with an earlier interpretation 
of a PA program rule by another FEMA representative. These decisions 
were in areas that FEMA had some discretion, that is, when FEMA rules 
allowed for more than one rule interpretation. The official noted that 
this happened more during the recovery from the 2005 Gulf Coast 
hurricanes than in other disasters. According to the official there 
were cases when FEMA staff made incorrect project-scope or cost- 
estimating decisions for which applicants were ultimately held 
responsible. In these cases FEMA may deobligate funding even after 
construction had started. For example, there were cases when FEMA 
changed its decision on whether a building qualified for replacement 
funding rather than repair funding, to the detriment of the applicant. 
FEMA and local officials reported that as a result of occasional 
reversals of FEMA decisions and guidance, applicants were sometimes 
hesitant to move forward on other projects. 

Lack of Timeliness and Perceived Independence of Appeals Process: 

State and local officials in Louisiana and Mississippi expressed 
concern about the timeliness and perceived independence of the project 
appeals process. Applicants may appeal project decisions if they 
disagree with FEMA's decisions on project eligibility, scope of damage, 
or cost estimates. FEMA regulations outline the time frame for 
applicants to file an appeal and for the state and FEMA to respond to 
applicant appeals (see fig. 5). However, applicants reported that 
project appeal decisions were often not made within the time frames 
required under the Stafford Act. FEMA officials told us that the 
extraordinary large numbers of PA projects led to a large number of 
applicant appeals. Also, some applicants said that they were not 
provided with information on the status of their appeal from either the 
state or FEMA. Finally, applicants also expressed concerns about the 
independence of FEMA officials making appeals determinations since in 
Louisiana appeals were reviewed by the same office that made the 
decision being appealed in the first place--which some applicants 
perceived to be a conflict of interest. 

Figure 5: FEMA's Public Assistance Appeal Process: 

[Refer to PDF for image] 

This figure is an illustration of FEMA's Public Assistance Appeal 
Process, as follows: 

FEMA makes project decision; 

Does applicant accept decision? 
If yes: no appeal; 
If no: Applicant files appeal to state within 60 days; 

The state reviews the appeal and forwards a recommendation to FEMA 
within 60 days (Additional information is gathered from applicant if 
needed); 

A FEMA regional administrator reviews applicant appeal and state 
recommendation and makes a decision within 90 days (Additional 
information is gathered from applicant if needed); 

Does FEMA regional administrator approve applicant’s appeal? 
If yes: no appeal; 
If no: Applicant may file second appeal to state within 60 days; 

The state reviews the appeal and forwards a recommendation to FEMA 
within 60 days (Additional information is gathered from applicant if 
needed); 

FEMA headquarters reviews applicant appeal and state recommendation and 
makes a final decision within 90 days (Additional information is 
gathered from applicant if needed). 

Source: GAO analysis of FEMA information. 

[End of figure] 

FEMA has taken steps to improve the timeliness of appeal decisions as 
well as perceptions about the lack of independence in FEMA's appeal 
process. Specifically, in March 2006 the FEMA region responsible for 
settling appeals from Louisiana designated a special team of dedicated 
staff to help address the backlog of appeals. In addition, FEMA has 
made changes to the appeals process within Louisiana so that an 
applicant's appeal is not reviewed by the same office that made the 
project decision in the first place, but rather by an independent 
appeals team outside of the agency's Louisiana office. According to 
FEMA officials, appeals following most disasters are not reviewed by 
the same office that made the decision about the project in the first 
place, but rather by the FEMA regional office responsible for the 
disaster. These officials told us that because of the size of the 
Louisiana Transitional Recovery Office and the number of projects it 
handled, the agency had initially tasked this office with the appeals 
review function rather than the regional official located in Texas. 

Human Capital Challenges Contributed to Delays: 

Human capital challenges at the federal, state, and local level 
underlie many of the operational difficulties faced during Gulf Coast 
rebuilding. During the initial phases of rebuilding, shortages of staff 
with the right skills and abilities, as well as the lack of continuity 
among rotating staff, contributed to delays in developing PA projects 
in Louisiana and Mississippi. 

Federal Human Capital Challenges: 

It is not surprising that a disaster with the effect of the 2005 Gulf 
Coast hurricanes would strain the PA program's human capital capacity. 
We have previously reported that FEMA did not have the human capital 
capacity it needed to implement PA in the wake of the 1989 Loma Prieta 
earthquake, which was considerably smaller in size and scope than the 
2005 hurricanes.[Footnote 19] In the Gulf Coast, FEMA's human capital 
challenges included not initially having enough staff to effectively 
implement the PA program and, then, when the programs was staffed up, 
not having staff with the right experience, knowledge, and abilities. 
The agency has taken some steps to address these challenges, which 
state and local officials told us have resulted in improvements. 

It took time for FEMA to provide sufficient numbers of PA staff to meet 
the large need in the wake of the 2005 Gulf Coast hurricanes. According 
to FEMA officials, their staffing approach is generally adequate for 
most disasters, which typically require 75-100 staff. However, given 
the unprecedented size and scope of the damage caused by the 2005 
storms, FEMA needed to deploy a far larger number of people to 
administer the PA program than it typically used. For example, during 
2006, the year with largest number of PA staff assigned to Louisiana 
and Mississippi, the agency deployed more than 3,500 people. FEMA had 
not previously staffed its transitional recovery offices at such high 
levels. 

According to senior FEMA officials, even when FEMA's staff levels were 
sufficient, their inexperience and limited training presented 
significant challenges to their ability to effectively administer the 
program in Gulf Coast. Many of the more-experienced FEMA staff were 
still actively working on recovery efforts related to the 2004 Florida 
hurricanes, or needed time off after recently working on other 
disasters. Senior FEMA officials told us that at least 50 percent of 
FEMA staff working in the Gulf Coast, especially technical assistance 
contractors, did not have any PA program experience or adequate 
training prior to being assigned to the Gulf Coast. These officials 
stated that, as a cost-benefit decision, FEMA does not require its 
contractors to take PA training prior to a disaster, but the agency 
typically provides some training on the PA program to staff right 
before they are deployed to a specific disaster.[Footnote 20] In 
addition, the agency lacked sufficient numbers of experienced PA 
employees to fully review all of the project decisions made by less- 
experienced staff, especially early in the recovery. Senior FEMA 
officials involved in the administration of the program noted that 
closer supervision of these inexperienced staff might have reduced the 
number of problems encountered later on, but conditions after the 2005 
Gulf Coast hurricanes made such supervision difficult. 

We have previously identified insufficient training of PA staff as a 
challenge and have reported on the importance of having FEMA employees 
appropriately trained in the application of relevant PA policies and 
information systems. We recommended that FEMA implement a credentialing 
program to help ensure that staff who make program and cost eligibility 
decisions meet minimum standards.[Footnote 21] Recently, FEMA adopted 
an agencywide credentialing program that would identify the skills and 
abilities needed for key positions as well as the amount of training, 
mentoring, and experience necessary to obtain proof of these skills. In 
December 2008, FEMA officials reported that they completed development 
of this program and expect to conduct field testing in early fiscal 
year 2009. 

Federal, state, and local officials reported that FEMA's use of 
inexperienced staff resulted in changing or inaccurate decisions that 
slowed down the project development process, especially during early 
recovery efforts. For example, FEMA officials reported that 
inexperienced staff sometimes misinterpreted PA program rules, such as 
promising that the agency would fund the replacement of a fleet of 
vehicles under conditions not allowed under the Stafford Act. Further, 
some staff also lacked experience and training in technical subjects 
that were important during project development, including how to assess 
certain types of damage requiring specialized skills such as road and 
water system damage. Officials from almost all of the localities 
included in our review reported that advice provided by FEMA staff was, 
at times, changed or incorrect, and that this not only contributed to 
slower project development, but sometimes resulted in applicants 
spending funds on projects that FEMA later determined would not be 
reimbursed. 

According to federal, state, and local officials many of the human 
capital challenges experienced in the earlier days after the 2005 Gulf 
Coast hurricanes have improved. However, lessons learned in the 
aftermath of these storms provide an opportunity for a discussion of 
the appropriate resource level and staff capacity in the event of a 
future catastrophic disaster. In this regard, FEMA's Strategic Human 
Capital Plan, issued in May 2008, sets a goal to determine the proper 
number and type of employees required to staff FEMA's various 
organizations, including the directorate in charge of the PA program. 

State and Local Human Capital Challenges: 

Given the intergovernmental nature of the PA program, FEMA relies on 
state and local efforts for its successful implementation. As such, 
having adequate human capital capacity at the state and local level 
also plays a key role in successfully developing rebuilding projects. 
However, as was the case with the federal government, Louisiana and 
Mississippi initially lacked the human capital capacity to administer 
the PA program during recovery from the 2005 Gulf Coast hurricanes. In 
addition, local applicants initially lacked the staff to fully 
participate as partners in the program. As with FEMA's challenges, it 
is understandable that state and local entities would not have the 
human capital capacity to address this disaster given the sheer number 
of rebuilding projects. Early on, Louisiana and Mississippi state 
offices administering the PA program had insufficient staff to carry 
out their respective roles; however, later the states obtained the 
assistance that they needed from various sources. As with the federal 
experience, staff had to be quickly trained, resulting in some staff 
not having the expertise to effectively assist applicants. Further, 
local governments in Louisiana and Mississippi reported that their own 
human capital resources were limited because of the disaster, thus, 
further constraining their ability to fully participate in the PA 
process. 

In Louisiana, officials from GOHSEP reported that they only had four 
staff to administer the program when Hurricane Katrina occurred. As a 
result, they hired contractors to process grants and obtained support 
from Louisiana's Office of the Legislative Auditor to assist in 
conducting up-front document and eligibility reviews. Although the 
Office of Legislative Auditor established a dedicated team to assist 
the state with PA project reviews, the office only consisted of a small 
number of staff to review thousands of project worksheets. 

Similarly, Mississippi officials reported facing staff shortages until 
they received contractor assistance using PA funds. A senior official 
from MEMA reported that they only had eight state employees dedicated 
to their initial response to the 2005 Gulf Coast hurricanes. According 
to the official, the state received federal PA funding in order to hire 
qualified PA contract staff and an accounting firm to assistant 
applicants through the complex PA process since state staff alone could 
not effectively administer the program. Officials from MEMA and the 
Mississippi Transitional Recovery Office reported that state 
contractors were knowledgeable about disaster recovery, but 
inexperienced with PA program rules. Therefore, they had to be trained 
quickly before going into the field. 

Local officials reported that their own human capital resources were 
also limited because of the disaster, contributing to challenges in 
moving through the PA funding process. Local governments in Mississippi 
and Louisiana reported that they laid off many of their staff 
immediately after the hurricanes, which made it difficult to provide 
enough staff to assist FEMA in surveying all of the damage sites as 
well as respond to the significant documentation requirements during 
project development. For example, according to New Orleans officials, 
because the city was severely cash-strapped after the disaster, many 
employees, including capital-projects staff, were laid off. This 
compromised the ability of the city to provide staff to effectively 
survey the damage to all city buildings, including the architectural 
and engineering staff needed to assess damage and oversee projects. 
Other local governments in Louisiana and Mississippi described similar 
challenges with addressing extensive project-management duties that 
applicants are required to fulfill under PA program rules. Federal 
officials agreed that limitations in applicants' human capital capacity 
were a major challenge during the PA funding process. They highlighted 
that when any level of government can not adequately fulfill its role 
within the PA process, the associated projects almost always have 
difficulties. 

Lack of Continuity during Project Development: 

The lack of staff continuity during project development also 
contributed to rebuilding delays. According to several federal, state, 
and local officials, a succession of FEMA staff were involved in the 
preparation of many of these projects and faced difficulties with 
sharing project information as they rotated on and off a project, 
resulting in a lack of continuity. Officials from all of the localities 
with whom we spoke noted that FEMA staff assigned to assist them 
rotated frequently (e.g., every 60 or 90 days) often without providing 
advance notice that they were leaving.[Footnote 22] GAO analysis of 
NEMIS data supports the idea that a succession of staff were often 
involved in the development of large PA projects (see table 2). This 
situation, especially early-on in the recovery effort, resulted in a 
loss of knowledge of project-specific information because of a lack of 
effective strategies to share this information. For example, because 
rotating staff did not always document FEMA's decisions or advice or 
share project-specific information with staff taking their place, 
applicants often had to restart negotiations about project eligibility 
and cost determinations with their new FEMA representative. In many 
cases, applicants reported that replacement staff changed agreements 
that previous staff had made with them or requested information that 
had previously been provided. However, many applicants noted that this 
issue has improved recently and that staff were working with them for 
longer periods of time. In addition, FEMA officials told us that have 
developed ways to share project information among rotating staff. 

Table 2: Number of Preparers Working on Large Permanent Work PA 
Projects: 

Number of project preparers per large permanent project: One preparer; 
Louisiana: Number of projects: 2,178; 
Louisiana: Percent: 53; 
Mississippi: Number of projects: 726; 
Mississippi: Percent: 50. 

Number of project preparers per large permanent project: Two preparers; 
Louisiana: Number of projects: 1,260; 
Louisiana: Percent: 31; 
Mississippi: Number of projects: 508; 
Mississippi: Percent: 35. 

Number of project preparers per large permanent project: Three 
preparers; 
Louisiana: Number of projects: 505; 
Louisiana: Percent: 12; 
Mississippi: Number of projects: 168; 
Mississippi: Percent: 12. 

Number of project preparers per large permanent project: Four or more 
preparers; 
Louisiana: Number of projects: 163; 
Louisiana: Percent: 4; 
Mississippi: Number of projects: 45; 
Mississippi: Percent: 3. 

Source: GAO analysis of FEMA NEMIS data as of July 2008. 

Note: The phrase "one preparer" indicates only one staff member 
prepared the project worksheet. Categories showing that two or more 
preparers worked on a project indicates that one staff started on a 
project but then was replaced by a succession of one or more different 
staff. 

[End of table] 

State and local officials reported that the lack of continuity in FEMA 
staffing resulted in delays and changing project decisions. This was 
due to two reasons: (1) applicants had to spend additional time 
familiarizing the new FEMA staff with the project, and (2) FEMA staff 
rotating onto the project sometimes provided different interpretations 
of program rules. For example, according to a senior Plaquemines Parish 
official, parish staff spent a significant amount of time familiarizing 
10 different FEMA PA representatives with project details--7 during the 
first several months of recovery--and replacement staff differed in 
their interpretations of PA processes and procedures. 

The lack of continuity was further complicated by challenges with 
information and document sharing among FEMA staff rotating on and off 
projects. Federal, state, and local officials reported that there was a 
lack of documentation of the rationale behind project decisions, 
further contributing to continuity problems. One FEMA official told us 
that part of the challenge with maintaining continuity was due to 
difficulties staff encountered when trying to access the case- 
management files used to track information about projects from a remote 
location. In the absence of reliable electronic access to the case 
management files, this official suggested that staff could maintain 
notebooks on applicant projects and pass them on to replacement staff. 

Several local officials also reported that there was often no notice of 
when a new FEMA PA representative was assigned to their projects and no 
"hand off" meeting with all parties present to share project 
information. These officials said that such a meeting could have saved 
time and effort that federal, state, and local officials spent on 
readdressing issues, and may have reduced the number of times 
previously agreed-upon decisions were changed. Difficulties ensuring 
continuity during disaster recovery efforts are not new. We have 
previously reported that the lack of continuity presented challenges to 
the effectiveness of the PA program during recovery efforts following 
the Loma Prieta earthquake of 1989.[Footnote 23] 

FEMA officials acknowledged that lack of continuity, especially in the 
first year after the disaster, caused some project disruptions but 
these were unavoidable given the magnitude of the event. According to 
these officials, insufficient numbers of experienced staff necessitated 
the rotation of FEMA personnel. In addition, FEMA transferred staff who 
were otherwise willing to continue working with the same communities on 
the Gulf Coast in order to avoid subjecting them to possible income tax 
increases that would affect personnel deployed for a year or more under 
the federal tax code. FEMA officials told us that, in Louisiana, they 
are taking steps toward providing additional continuity in PA staffing. 
For example, FEMA's Transitional Recovery Office has started to employ 
a team approach to help address this issue so that no individual staff 
person is the only one responsible for retaining knowledge about a 
specific project. Further, the officials reported that they have 
implemented changes during recovery from the 2005 Gulf Coast 
hurricanes, which they recently institutionalized during the recovery 
of Hurricanes Gustav and Ike. These changes included recruiting and 
hiring more long-term staff to function as a single point of contact 
for these disasters, resulting in what they believe is greater 
accountability for staff, reductions in rotations and roll-offs, and 
sustained institutional knowledge among resident policy and decision 
makers. While increasing the stability of staff is a very important 
step in addressing limitations in project continuity, it is also 
important for FEMA to develop methods to more effectively share 
important project information between staff whenever staff rotation is 
necessary and to communicate expectations about staff rotations with 
applicants. 

Conclusions: 

The huge size and unprecedented scope of the devastation caused by 
Hurricanes Katrina and Rita created very difficult conditions for all 
involved in the recovery of the Gulf Coast, and the challenges 
described in this report must be understood in this context. Since the 
storms, FEMA has approved tens of thousands of PA grants making 
available more than $11 billion for the rebuilding and repair of public 
buildings and physical infrastructure--a scale of assistance unmatched 
by any previous U.S. disaster. Given this level of assistance, FEMA 
plays an important role in helping to ensure fiscal accountability to 
the American taxpayer. 

FEMA has faced a wide range of challenges in administering PA grants 
including difficulties related to developing projects, barriers to 
sharing information, and shortcomings in some of its project decision 
processes. For example, we found cases where PA information was not 
effectively shared among federal, state, and local entities directly 
involved in the process as well as others including Congress and the 
public. Furthermore, when FEMA reverses a key decision it has 
previously made, such as the approval to rebuild instead of repair a 
structure, it can have a negative effect on an applicant who may have 
already moved forward on the project. Human capital limitations at the 
federal, state, and local level underlie many of these operational 
difficulties as well as present challenges of their own. For example, 
while it may have been impossible to avoid rotation of FEMA staff given 
the magnitude of the 2005 Gulf Coast hurricanes, the agency did not 
take sufficient steps to ensure that continuity of knowledge about 
projects was maintained as staff came and went. 

Some of these challenges were familiar to FEMA, having been identified 
by us and others in the past, but often the magnitude of the 2005 Gulf 
Coast hurricanes considerably worsened their effect. In addition, FEMA 
has encountered a whole set of new challenges related to applying the 
PA program to a catastrophic disaster and the unique needs associated 
with rebuilding entire communities in the wake of such an event. For 
example, the agency has wrestled with how to adapt a program 
traditionally focused on restoring buildings and infrastructure back to 
predisaster conditions, to circumstances on the Gulf Coast where the 
reality of significant demographic change may have fundamentally 
changed the need for such structures in those locations. 

In order to operate, the PA program relies on a partnership involving 
FEMA, state governments, and local entities. Therefore, it is critical 
for the agency to look for ways to foster constructive and 
collaborative relationships with other key participants. We found that 
some of FEMA's policies and practices--particularly reversal of project 
decisions and the lack of transparency in FEMA's decisions--may work 
against efforts to achieve effective collaboration. Because of the 
active role that state and local governments must play in the PA 
process, it is also important for states and locals to have the 
capacity needed to carry out their role in the process. Similar to the 
federal experience, state and local governments in both Louisiana and 
Mississippi initially lacked the necessary human capital capacity to 
administer the program. Given the significant human capital challenges 
involved in rebuilding after a major disaster, it would benefit state 
and local governments to now consider approaches to help ensure that 
they have, or have plans to develop or access, staff with the right mix 
of skills needed to carry out their role in the PA process. 

Some of the rebuilding challenges encountered following the 2005 Gulf 
Coast hurricanes may be faced again as Texas, Louisiana, and Alabama 
recover from the recent devastation caused by Hurricanes Ike and 
Gustav. Accordingly, opportunities exist now to take steps to further 
refine the PA program to better address these challenges as the current 
recovery continues on the Gulf Coast and in advance of future 
disasters. FEMA has already taken steps toward this end, which state 
and local officials report are improving the implementation of the 
program in the Gulf Coast. It is important that FEMA continues to 
institutionalize these lessons by taking action to ensure that changes 
are made to program polices and procedures, and then appropriately 
disseminated. The challenges faced by the PA program in the Gulf Coast 
also highlight some broader issues regarding the way the federal 
government approaches rebuilding. At your request, we are beginning a 
review of these issues including whether there may be a need for more 
fundamental changes to the Stafford Act when providing funds to help 
communities rebuild after catastrophes. This is among the many issues 
that face Congress as the nation works to strengthen the United States' 
ability to recover from the next catastrophic event. 

Recommendations for Executive Action: 

To help DHS improve the operation of the PA grant program and build on 
some of the actions taken to date, we recommend that the Secretary of 
Homeland Security direct the Administrator of FEMA to take the 
following four actions: 

* Improve PA reporting by better defining information presented in 
FEMA's periodic reports to Congress and the public; specifically 
provide the number of unique PA projects in addition to figures that 
include changes to projects. 

* Improve information sharing within the PA process by identifying and 
disseminating practices that facilitate more effective communication 
among federal, state, and local entities, including the development of 
tools that promote document sharing such as Mississippi's online 
accounting system. 

* Strengthen continuity among staff involved in administering the PA 
program by: 

- developing protocols to improve information and document sharing 
among FEMA staff, such as requiring that staff maintain a record of 
project decisions to share with rotating staff, or by more broadly 
adopting a team approach so that more than one individual is aware of 
the details of specific projects, and: 

- communicating the timing of expected FEMA staff rotations to 
applicants directly affected by those staffing changes. 

Agency Comments: 

On October 29, 2008, we provided a draft of this report to the 
Secretary of Homeland Security for comment. We received written 
comments on December 11, 2008. In its written comments, which appear in 
appendix II, DHS generally agreed with our recommendations. In 
addition, the department provided technical clarifications that we 
incorporated where appropriate. We also provided drafts of relevant 
sections of this report to state and local officials involved in the 
specific PA examples cited in this report. We incorporated their 
comments as appropriate. 

We will provide copies of this report to other interested congressional 
committees, the Secretary of Homeland Security, the FEMA Administrator, 
and state and local officials we contacted for this review. In 
addition, this report will be available at no charge on the GAO Web 
site at [hyperlink, http://www.gao.gov]. 

If you have any questions about this report, please contact me on (202) 
512-6806 or at czerwinskis@gao.gov. Contact points for our Offices of 
Congressional Relations and Public Affairs may be found on the last 
page of this report. Key contributors to this report are listed in 
appendix III. 

Signed by: 

Stanley J. Czerwinski: 
Director, Strategic Issues: 

[End of section] 

Appendix I: Objectives, Scope, and Methodology: 

We focused our review on Louisiana and Mississippi because these two 
states accounted for 90 percent of all Public Assistance (PA) funding 
made available to Gulf Coast states. We selected localities within 
these two states based upon (1) the amount of PA funding they were 
expected to receive, (2) whether local officials reported experiencing 
challenges or successes during PA program implementation, or (3) 
whether the locality had been identified by others as experiencing 
significant challenges or successes during PA program implementation. 
Accordingly, we included the following localities from Louisiana in our 
review: the City of New Orleans, St. Bernard Parish, Plaquemines 
Parish, and Jefferson Parish. Similarly, we included the following 
localities from Mississippi in our review: Waveland, Bay St. Louis, 
Gulfport, and D'Iberville. 

To address our first objective, we obtained and analyzed funding data 
from September 2005 though September 2008 from the Federal Emergency 
Management Agency's (FEMA) Global Reports on Public Assistance in the 
Gulf Coast, and for September 2005 though July 2008 from FEMA's 
National Emergency Management Information System (NEMIS). NEMIS data 
included project information on project cost, the status of project 
development, and project type and location. We assessed the reliability 
of the data by performing standard electronic testing of the data, 
comparing published funding reports to raw data from the NEMIS 
database, as well as interviewing FEMA officials with responsibility 
for both data sources. Where we identified discrepancies in the sources 
of data, we note this in our report. However, we found that the data 
sources were comparable and sufficiently reliable for our purposes. We 
did not independently verify the validity of these data. 

To address objectives two and three, we relied primarily on interviews 
with key officials and corroborated this evidence with NEMIS data, 
documents provided by PA applicants, the states of Louisiana and 
Mississippi, and FEMA. Further, we obtained and reviewed FEMA documents 
such as FEMA guidance for applicants and staff, the Robert T. Stafford 
Disaster Relief and Emergency Assistance Act (Stafford Act), 
regulations, policies, and procedures and observed damaged sites in 
several locations in Louisiana and Mississippi. We also reviewed past 
GAO and Department of Homeland Security Inspector General reports on 
the PA program or Gulf Coast recovery. As our primary source of 
evidence, we interviewed and obtained information from a variety of 
sources in the Gulf Coast and Washington, D.C. At the federal level, we 
interviewed officials and obtained information from FEMA, the 
Department of Homeland Security's Office of the Inspector General, and 
the Office of the Federal Coordinator for Gulf Coast Rebuilding. We 
also interviewed and obtained documentation from state and local 
officials in Louisiana and Mississippi. We did not choose a 
representative sample of officials to interview, but rather, chose 
individuals based upon their knowledge, experience, or leadership role 
in the PA program in these two states. We did not observe the PA 
funding processes in operation. 

* In Louisiana, at the state level, we interviewed and obtained 
documentation from officials in the Governor's Office of Homeland 
Security and Emergency Preparedness (GOHSEP), which was the official PA 
grantee for the state, with responsibility for partnering with FEMA to 
administer the grant to local entities. We also interviewed and 
obtained information from the Louisiana Recovery Authority, which was 
the policy advisor for Gulf Coast rebuilding and, as of January 2008, 
became the state's lead agency working with FEMA on recovery 
operations, including PA; the Office of the Legislative Auditor, which 
assisted in the reviewing of PA grant applications; and the State 
Department of Education, which was a major applicant in the PA process. 
At the local level, we interviewed and obtained documentation from PA 
applicants from the City of New Orleans and from St. Bernard, 
Plaquemines, and Jefferson Parishes.[Footnote 24] 

* In Mississippi, at the state level, we spoke with the Mississippi 
Emergency Management Agency (MEMA), which was the official PA grantee 
for the state, with responsibility for partnering with FEMA to 
administer the grant to local entities; the Governor's Office of 
Recovery and Renewal, which acted as a policy advisor on Gulf Coast 
rebuilding; and the Joint Committee on Performance and Evaluation and 
Expenditure Review, which is an audit organization of the Mississippi 
state legislature that has previously assessed implementation of the PA 
program. At the local level, we spoke with city officials who were PA 
applicants in the cities of Bay St. Louis, Gulfport, Waveland, and 
D'Iberville. 

We conducted this performance audit from August 2007 through November 
2008 in accordance with generally accepted government auditing 
standards. Those standards require that we plan and perform the audit 
to obtain sufficient, appropriate evidence to provide a reasonable 
basis for our findings and conclusions based on our audit objectives. 
We believe that the evidence obtained provides a reasonable basis for 
our findings and conclusions based on our audit objectives. We 
requested comments on a draft of this report from the Department of 
Homeland Security, which are reprinted in appendix II. We also provided 
drafts of relevant sections of this report to state and local officials 
involved in the specific PA examples cited in this report, and 
incorporated their comments as appropriate. 

[End of section] 

Appendix II: Comments from the Department of Homeland Security: 

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

December 11, 2008: 
Stanley J. Czerwinski: 
Director, Strategic Issues: 
U.S. Government Accountability Office: 
441 G Street. N.W. 
Washington. D.C. 20548: 

Dear Mr. Czerwinski: 

Subject: Department of Homeland Security response for GAO Draft Report 
09-129, "Disaster Recovery: FEMA's Public Assistance Grant Program 
Experienced Challenges with Gulf Coast Rebuilding" 

The Department of Homeland Security (DHS) thanks you for the 
opportunity to comment on the Government Accountability Office's (GAO) 
Report 09-129, Disaster Recovery: FEMA 's Public Assistance Grant 
Program Experienced Challenges with Gulf Coast Rebuilding. Hurricanes 
Katrina and Rita presented challenges to FEMA's Public Assistance (PA) 
program that had not been encountered during ally other disaster in 
history. FEMA has used lessons learned during the response and initial 
recovery of these disasters to enhance long-term recovery efforts. In 
addition. FEMA has applied resulting programmatic and operational 
improvements that have benefited not only our response to a disaster 
but also the short-term recovery as well, namely, Hurricanes Gustav and 
Ike. While FEMA generally concurs with GAO's report recommendations. we 
have already made tremendous strides in overcoming many of the issues 
raised. Our responses to GAO's recommendations focus on the importance 
of introduction and consistent and continuing development, 
implementation, and enhancement of data and reporting resources as it 
means to success in the administration of the PA program in the Gulf 
and in future disasters wherever in the United States they may occur. 

GAO's report identities challenges related to developing projects, 
sharing information and making key project decisions. It makes specific 
recommendations only regarding sharing information. This letter 
addresses these four report areas. 

As noted in your report. FEMA was faced with managing unprecedented 
numbers of staff. The Gulf Coast response as more than double the cost 
of any prior PA disaster. In addition, a total of 3,500 personnel were 
deployed as opposed to the average of 75-100. These individuals needed 
training and periodic rotation home, situations which led to delays in 
providing Public Assistance grants. 

Some of FEMAs major criticisms come as a result of slow payments to sub-
grantees. Often delays are the result of the State's unwillingness to 
pass on FEMA funds provided to the state via Smartlink. In such cases, 
States are often concerned about future audits which may question their 
local funding decisions. 

Inexperienced staff and resulting errors are the results of our 
overwhelming challenges caused by the catastrophic incident. It is not 
economically feasible or reasonable to fully staff, train and test to 
meet catastrophic situations on a regular basis (when such occurrences 
are infrequent). We can, however, prepare remedial plans (expedite 
hiring, training, establish quality control, expedite financial 
support, provide technical assistance) (e.g. local contractor support). 
and activate direct Federal assistance. 

Technical comments are included as a separate attachment. 

Recommendation: Improve PA reporting by better defining information 
presented in FEMA's periodic reports to Congress and the public: 
specifically provide the number of unique PA projects in addition to 
figures that include changes to projects. 

Response: FEMA generally concurs with this recommendation. FEMA PA has 
taken a number of productive actions to improve reporting on PA grants. 
The single largest of these was to create an integrated 
Internal/External Support group (INEXS) within PA. The group is 
specifically dedicated to reporting, communications, training, and 
information management initiatives. 

To augment information presented in FEMA's regular reports, INEXS 
developed, maintains and makes available regularly scheduled database 
output reports as well as answering requests for specific, time-
sensitive data that provide the status of individual, unique projects. 
FEMA databases track detailed infrastructure project-, facility-, or 
site-level progress on design completion, bid and award. construction 
phase, and status of temporary facilities and permanent repair or 
replacement initiatives. Examples of FEMA reporting and database tools 
and products include: 

* The PA Global Report. which shows detailed staffing. organization, 
projections, productivity, and grant awards data disaster-wide and by 
Parish. It is available to the public. FEMA staff, and Congress. 

* The Interactive Public Website/Global Transparence Initiative, which 
tracks projects by neighborhood across the entire Gulf Coast region. 
including Louisiana. This Gulf Coast Recovery Office (GCRO)/Office of 
Federal Coordinator (OFC)-jointly developed website provides the number 
of projects and grant funding by sector. The five sectors include 
Education, Health & Hospitals, Public Works, Historic and Cultural, 
Public Safety and Criminal Justice. FEMA provides public access to the 
transparency website through the FEMA.gov website. Users can access the 
website map, click on a community and view project information. The 
transparency website is updated weekly by direct interface with FEMA 
PA's Project Phase Tool Database that tracks the status of every 
project. 

* The Project Phase Tool Database (PPT), which provides the 
functionality to translate from grant-specific NEMIS data to unique PA 
project-specific information. The PPT lists a detailed description, 
funding. status and tracking information for every PA project entered 
into National Emergency Management Information System (NEMIS). Project 
stall can easily sort the PPT by their assigned Applicants and projects 
and immediately access a wealth of background information on their 
project workload. This is particularly valuable for new staff as they 
assimilate into the PA operation and begin service to their Applicants. 
The database is updated weekly and is the data repository for the 
majority of management and progress reports used by PA staff and 
management. 

* The PA Expedited Information Response (PAXIR) team, which establishes 
protocol for and manages PA's response to information requests from 
external sources, including Public and Media Affairs, Intergovernmental 
Affairs, GCRO, OFC. FEMA Headquarters, LA Transitional Recovery Office. 
Congress and the White House. The team ensures consistent and quality 
deliverables in short turnaround times. Its responses provide on-demand 
technical and project-specific information in an accessible format, 
such as executive summaries and issue papers. Since its inception in 
April 2007, PAXIR has responded to over 1,600 inquiries. 

In addition to these INEXS reporting and database initiatives, FEMA PA 
Operations has narrative and reports specialists assigned to Operations 
Groups. By leveraging the tools noted above and applying in-depth 
knowledge regarding their Applicant groups. these trained specialists 
respond to INEXS requests with specific. timely and accurate 
information appropriate for dissemination to the requesting audiences. 

As the Katrina/Rita operation progressed, teams of subject matter 
experts were created to facilitate the development of certain projects 
with particular technical or programmatic concerns. Such teams include 
the Cost Estimating Center, Alternate/Improved Projects, 406 Hazard 
Mitigation, and Insurance. The Louisiana Governor's Office of Homeland 
Security and Emergency Preparedness (GOHSEP) have counterparts working 
with these FEMA teams. 

Recommendation: Improve information sharing within the PA process by 
identifying and disseminating practices that facilitate more effective 
communication among federal. state, and local entities. including the 
development of tools that promote document sharing such as 
Mississippi's online accounting system. 

Response: FEMA generally concurs with this recommendation. We agree 
that collaboration with the States and local governments and their 
participation and active involvement are crucial to the success of the 
PA program. The State needs buy-in and to feel as though they are an 
integral part of the decision making team. FEMA must be prepared to 
compromise, and both parties must he committed to establish goals in 
order to successfully meet milestones. In August 2007, the Mississippi 
TRO Director initiated the development of a Project Worksheet (PW) 
Tracker on-line tool which was shared with GAO in May 2008. The tracker 
is a cooperative effort between the State and FEMA to provide the 
interim project construction status of projects between funds 
obligation and construction completion. While this type tool may not he 
necessary in smaller disasters, it is proving extremely useful in the 
tracking of long term rebuilding efforts. 

FEMA is making concerted efforts to improve collaboration and 
information sharing within the PA process by developing and maintaining 
project-specific tracking tools and practices. generating reports that 
enhance communications with federal, GOHSEP and local entities. FEMA 
has created joint FEMA-GOHSEP databases, protocols. and an interactive 
website, all three of which significantly enhances collaboration and 
information sharing. as well as provides detailed tracking of project 
progress. Examples of these initiatives include: 

* The Alternate/Improved (A/I) Database, which provides FEMA and GOHSEP 
visibility on flexible funding PA grant options exercised by 
Applicants. Developed by INEXS and used interactively both by FEMA and 
by GOHSEP, the database tracks all A/I requests from the time of 
receipt from the Applicant by GOHSEP to the issuance date of a final 
decision letter from FEMA. It includes detailed description, finding, 
status and tracking information for every A/I project and stores 
information that forms the basis of status reports used by FEMA and 
GOHSEP to track the progress of each A/I project and to, in turn, help 
keep Applicants informed of FEMA and GOHSEP activities and decisions 
relevant to their AA projects. The A/I Database is supported by the Al 
Guidebook which includes all relevant A/I policies and procedures. 

* The PW Versioning Database, which provides detailed, project-specific 
information on where an Applicant's version request and related PW 
version is in the development process. This INEXS-developed database 
was designed to enable joint FEMA-GOHSEP tracking of version request 
progress and to help keep Applicants informed of FEMA and GOHSEP 
activities and decisions relevant to their PW version requests. The PW 
Versioning Database tracks versions requested by GOHSEP" Applicants up 
to the point in time when a version is entered into NEMIS and assigned 
a NEMIS tracking number. INEXS is currently modifying the database to 
divide data entry responsibilities between GOHSEP and FEMA. 

* INEXS Training, which develops, administers and delivers joint, on-
site training opportunities for FEMA and GOHSEP Operations. As the 
disaster operation evolved, INEXS Training expanded its focus to 
include general courses such as PA Operations as well as more 
specialized types of training. such as A/I, PW versioning, Grants 
Management, and 406 Hazard Mitigation. 

Recommendation: Strengthen continuity among staff involved in 
administering the PA program by developing protocols to improve 
information and document sharing among FEMA staff, such as requiring 
that staff maintain a record of project decisions to share with 
rotating staff, or by more broadly adopting a team approach so that 
more than one individual is aware of the details of specific projects. 

Response: FEMA generally concurs with this recommendation. FEMA has 
continued its concerted effort to hire and train CORE staff for key 
leadership and management positions. The CORE staffing is full time 
positions hired for four years or more to provide long-term continuity 
in the operation. This staffing approach generates accountability, 
reduces rotations and roll-offs. and maintains institutional knowledge 
among resident policy and decision makers. 

To address continuity issues, FEMA PA regularly offers training courses 
(as noted above in the response to Recommendation 2) that are tailored 
to the needs of new staff mobilizing to the disaster, on-site staff 
transitioning into new assignments. and experienced staff rejoining the 
operation following a significant period away from the disaster.
In addition to their primary objectives noted previously in this 
letter. INEXS-developed databases and protocols facilitate smooth 
transitions among FEMA staff as they assimilate into PA Operations and 
as they transition to new project assignments. This is particularly
important because NEMIS Case Management File information is organized 
by Applicant rather than by project. Newly assigned staff must have 
immediate access to complete and accurate information concerning 
project history, issues and backlog. Information housed in the 
databases, and the project-based accessibility enabled by the 
databases' structures and query capabilities, augments staff access to 
information and enhances staff understanding of Applicants and their 
projects. 

The A/I Database and PW Versioning Database each support aspects of PA 
project management as described in the response above to Recommendation 
2. In addition, the INXES-developed Meeting Tracker Database (MTD) 
provides a record of FEMA interaction with GOHSEP and with Applicants. 
This tool is the source of the FEMA/GOHSEP meeting calendar that is 
located on the PAKatrinaRita.com intranet site. As well as supporting 
meeting and communication management, the MTD supports smooth staff 
transitions with its record of key applicant issues, actions and 
schedules. 

The PAKatrinaRita.com website, created by the Louisiana Transitional 
Recovery Office, provides real time information on various aspects of 
the disaster including Disaster Specific Guidance. PA Policy and 
Guidance, Fact Sheets, Information Sheets, appeals, and time 
extensions. This website is available to all FEMA staff and GOHSEP. 

Recommendation: Strengthen continuity among staff involved in 
administering the PA program by communicating the timing of expected 
FEMA staff rotations to applicants directly affected by those staffing 
changes. 

Response: FEMA generally concurs with this recommendation. FEMA PA is 
taking an increasingly deliberate approach to staffing and organizing 
in an efficient manner to administer the PA program. The approach has 
led to a more stable organizational structure over the past two years, 
reducing the need for reorganization and shifting of resources. 

The disaster was primarily staffed with Technical Assistance 
Contractors (TAC) alter the disaster struck. Although there was a high 
turnover of this initial staff, most of the TACs now staffing the 
disaster have been here an average of over two years. 

Placing and training CORE staff in key PA leadership and management 
positions represents a significant investment in human capital. In 
addition to reducing the need for staff rotations and enhancing staff 
continuity. CORE staff effectively manages the message and impact of 
rotations with Applicants directly affected by staff changes. CORE 
staff turnover has been minimal and, where possible, transition time 
has been built in to minimize the potential impact. 

PA Management has made tremendous strides in recruiting and hiring CORE 
staff to replace TAC staff as they demobilize from the operation. While 
day-to-day PA operations for Hurricanes Katrina and Rita are still 
handled primarily by TACs. FEMA has deliberately sought and hired COREs 
for the Gustav/Ike operation. The table below demonstrates the increase 
in CORE staffing for Gustav/Ike. 

PA Management is also filling senior management positions with CORE 
staff On both disasters. the highest level of PA management is CORE. 
The next level of PA management, including Group Leads, is 100% CORE in 
the Gustav/Ike operation and 33% CORE in the Katrina/Rita operation. 

CORE: 
Katina/Rita: 47; 
Gustav/Ike: 49. 

DAE: 
Katina/Rita: 0; 
Gustav/Ike: 11. 

TAC: 
Katina/Rita: 159; 
Gustav/Ike: 	82. 	 

PAO/DPAO Level-CORE: 
Katina/Rita: 100%; 
Gustav/Ike: 100%. 

Senior Management-CORE[A]: 
Katina/Rita: 33%; 
Gustav/Ike: 100%. 
		
[A] includes Group Supervisors and Task Force Leaders 

The Department of Homeland Security appreciates the opportunity to 
review and provide comments on this draft report. We look forward to 
working with you on future homeland security issues. 

Sincerely, 

Signed by: 

Jerald E. Levine: 
Director: 
Departmental Audit Liaison Office: 

[End of section] 

Appendix III: GAO Contact and Staff Acknowledgments: 

GAO Contact: 

Stanley J. Czerwinski, (202) 512-6806, czerwinskis@gao.gov: 

Staff Acknowledgments: 

Major contributors to this report were Peter Del Toro, Assistant 
Director; Latesha Love; and Robert Yetvin. Tyler Duffy, Cynthia Grant, 
Adam Shifriss, A.J. Stephens, and Kate Wulff also made key 
contributions. 

[End of section] 

Footnotes: 

[1] For purposes of this report, "the 2005 Gulf Coast hurricanes" 
refers to Hurricanes Katrina and Rita. Additionally, in this report, 
"Gulf Coast" refers to the states of Alabama, Louisiana, Mississippi, 
and Texas, but does not include Florida. 

[2] 42 U.S.C. § 5121-5207. Under the Stafford Act, the governor of a 
state may request a declaration of a major disaster when effective 
response and recovery are beyond the capabilities of the state and 
affected local governments. See 43 U.S.C. § 5170. 

[3] The amount of PA funding is reduced by, among other considerations, 
insurance proceeds and, for some projects, the salvage value. Also, in 
most disasters, certain matching requirements must be met in order for 
applicants to receive PA funding; however, matching requirements were 
waived for the 2005 Gulf Coast hurricanes. Finally, funds must be 
available in FEMA's Disaster Relief Fund through congressional 
appropriations. 

[4] Nonpermanent staff, known as the Cadre of On-call Response/Recovery 
Employees perform functions similar to those performed by permanent 
full-time employees but on an intermittent basis. These staff work 
alongside permanent full-time employees in headquarters and the 
regions. 

[5] See 42 U.S.C. § 5189. In 2005, any project over $55,500 was 
considered to be a large project. 

[6] While the term "obligated" has a specific meaning in appropriations 
law, FEMA uses this term to mean that federal funds are available for 
the state grantee to draw down prior to passing them along to an 
applicant. Throughout this report, we refer to obligated funds as funds 
that are "made available to the states." 

[7] Department of Homeland Security Appropriations Act, 2007, Pub. L. 
No. 109-295, Post-Katrina Emergency Management Reform Act of 2006, 
title VI, 120 Stat. 1355, 1394 (Oct. 4, 2006). 

[8] Pub.L.No.109-135,119 stat.2577 (Dec.21,2005). 

[9] The Stafford Act provides an allowance for PA applicants to cover 
administrative activities such as requesting, obtaining, and 
administering PA. This allowance is calculated as a percentage of the 
total amount of PA program funds, based on a sliding scale. Some state 
administrative activities such as field inspections, damage 
assessments, and cost estimates are covered on the basis of a sliding 
scale related to the total amount of PA program funds being awarded. In 
addition, because of the size of the 2005 Gulf Coast hurricanes, FEMA 
created a separate category of funding for state administration 
including costs associated with hiring technical assistance 
contractors. 

[10] Under FEMA's new management information system, changes to project 
worksheets will be called "amendments." 

[11] Post-disaster damage due to mold had been recognized by FEMA as a 
challenge prior to the 2005 Gulf Coast hurricanes. FEMA issued guidance 
on mold remediation in 2006 to ensure consistency throughout recovery 
efforts. 

[12] If an applicant determines that the public welfare would not be 
best served by restoring a damaged facility or its function to its 
predisaster design, the applicant may apply to FEMA to use the eligible 
funds for an "alternate project." 42 U.S.C. § 5172(c); 44 C.F.R. § 
206.203(d)(2). Funding of alternate projects may be used for repair or 
expansion of other public facilities, to construct new public 
facilities, or hazard mitigation measures. Federal funding for 
alternative projects is limited to 90 percent (75 percent in the case 
of private nonprofit organizations) of the federal share of the 
estimated cost of repairing the original damaged facility. FEMA 
guidance states that if the actual cost of the alternate project is 
less than the 90 percent, then funding will only be up to the actual 
cost. Similarly, an "improved project" is any project where the 
applicant chooses to make additional improvements to the facility while 
making disaster repairs to the predisaster design. 44 C.F.R. § 
206.203(d)(1). Federal funding for improved projects is limited to the 
federal share of the estimated costs for repairing the damaged facility 
to its predisaster design. The additional costs are the responsibility 
of the applicant. 

[13] In these cases, the Recovery School District had determined that 
replacing the school would be advantageous to the community but had not 
moved forward on these projects because of cost concerns. 

[14] 42 U.S.C. § 5172(b)(1) 

[15] See 70 Fed. Reg. 65,927 (Nov. 1, 2005) (Louisiana--Katrina); 70 
Fed. Reg. 65,928 (Nov. 1, 2005) (Mississippi--Katrina); 70 Fed. Reg. 
70,086 (Nov. 21, 2005) (Louisiana--Rita); 71 Fed. Reg. 50,440 (Aug. 25, 
2006) (Texas--Rita); 72 Fed. Reg. 5453 (Feb. 6, 2007) (Alabama-- 
Katrina). 

[16] U.S. Troop Readiness, Veterans' Care, Katrina Recovery, and Iraq 
Accountability Appropriations Act, 2007, Pub. L. No. 110-28, § 4501, 
121 Stat. 112, 156 (May 25, 2007); 72 Fed. Reg. 34,700 (June 25, 2007) 
(Alabama-Katrina); 72 Fed. Reg. 34,703 (June 25, 2007) (Louisiana- 
Katrina); 72 Fed. Reg. 34,703 (June 25, 2007) (Louisiana-Rita); 72 Fed. 
Reg. 34,704 (June 25, 2007) (Mississippi-Katrina); 72 Fed. Reg. 34,705 
(June 25, 2007) (Texas-Rita). 

[17] A FEMA official told us that some of the data on the pilot program 
as of September 2008 may have been miscoded. Accordingly, it is likely 
that fewer than 140 permanent work projects had actually taken place 
during the reported time frame. The vast majority of pilot projects 
were for "force labor accounts," that is, funds that covered the base 
wages of state or local government employees involved in emergency work 
projects such as clearing debris. 

[18] Reconciliation of costs does not apply to improved or alternate 
projects. As mentioned previously, funding for improved or alternate 
projects is based upon the federal share of eligible costs that would 
have been associated with repairing or replacing the damaged facility 
to its predisaster design. 

[19] In 1992, we reported that FEMA's standard approach for staffing a 
disaster recovery effort--reliance on a small number of permanent staff 
and large number of rotating temporary staff--did not meet the 
requirements of a major disaster, such as the Loma Prieta earthquake. 
See GAO, Earthquake Recovery: Staffing and Other Improvements Made 
Following Loma Prieta Earthquake, [hyperlink, 
http://www.gao.gov/products/GAO/RCED-92-141] (Washington, D.C.: July 30 
1992). More recently, the DHS Office of the Inspector General reported 
comparable findings in its 2008 report, FEMA's Preparedness for the 
Next Catastrophic Disaster (OIG-08-34). 

[20] FEMA officials said that requiring contractor staff at the firms 
providing technical assistance services to take PA training prior to a 
disaster would increase the total costs of the existing contracts by 
about $1.5 million and these Technical Assistance Contractors would not 
be able to guarantee that staff who participated in the training would 
actually be deployed when a disaster struck. 

[21] We have previously reported that FEMA lacked sufficient permanent 
staff to adequately train and supervise the large number of temporary 
staff used for Loma Prieta. See (RCED-92-141). In 2001, we reported 
that FEMA had developed, but not implemented, a credentialing program 
for PA staff. FEMA cited budgetary constraints as the reason for not 
implementing the program; we recommended that the agency assign a 
higher priority to implementing the initiative. See Improvement Needed 
in Disaster Declaration Criteria and Eligibility Assurance Procedures, 
GAO-01-837 (Washington, D.C.: Aug. 31, 2001). 

[22] FEMA officials could not provide information on the length of 
staff rotations because they do not directly track these data. 

[23] We have previously reported that the use of rotating staff was not 
effective when rebuilding after the Loma Prieta earthquake because much 
of the damage was hidden, complex issues involving building codes often 
arose, and months or even years could be required to resolve a case 
(GAO/RCED-92-141). Applicants reported that new staff rotating onto the 
job would start over examining the damage, reviewing the documentation, 
and learning the complexities of the case. 

[24] Although St. Tammany Parish met the selection requirement, we did 
not interview officials from this parish because the parish was under 
litigation with FEMA concerning some of the issues that we discuss in 
our report. 

[End of section] 

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