This is the accessible text file for GAO report number GAO-09-755 
entitled 'Small Business Administration: Additional Steps Should Be 
Taken to Address Reforms to the Disaster Loan Program and Improve the 
Application Process for Future Disasters' which was released on July 
29, 2009. 

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Report to the Chairwoman, Committee on Small Business, House of 
Representatives: 

United States Government Accountability Office: 
GAO: 

July 2009: 

Small Business Administration: 

Additional Steps Should Be Taken to Address Reforms to the Disaster 
Loan Program and Improve the Application Process for Future Disasters: 

GAO-09-755: 

GAO Highlights: 

Highlights of GAO-09-755, a report to the Chairwoman, Committee on 
Small Business, House of Representatives. 

Why GAO Did This Study: 

After the Small Business Administration (SBA) was widely criticized for 
its performance following the 2005 Gulf Coast hurricanes, the agency 
took steps to reform the Disaster Loan Program and Congress enacted the 
Small Business Disaster Response and Loan Improvements Act of 2008 
(Act). GAO was asked to determine (1) the extent to which SBA addressed 
the Act’s requirements, and (2) how SBA’s response to major disasters 
in 2008 aligned with key components of its June 2007 Disaster Recovery 
Plan (DRP). GAO reviewed the Act, as well as SBA information on 
requirements addressed and steps taken, including the DRP, various 
reports to Congress, and policy memoranda. GAO also conducted site 
visits to areas affected by major 2008 disasters, reviewed SBA’s 
customer satisfaction survey, and obtained the opinions of relevant 
stakeholders. 

What GAO Found: 

As of June 2009, SBA met 13 of 26 requirements of the Act, partially 
addressed 8, and did not take action on 5 which are not applicable at 
this time (see table). SBA officials told GAO the agency has not yet 
completely addressed some provisions that require new regulations 
because to do so, the agency must make extensive changes to current 
programs or implement new programs. For two requirements that will 
involve private lenders, SBA plans to implement pilots before 
finalizing regulations. SBA has not yet addressed the Act’s 
requirements for region-specific marketing and outreach and ensured 
that Disaster Loan Program information is readily available to regional 
entities, such as Small Business Development Centers (SBDC). By doing 
so, SBA could leverage the efforts and capacity of local resources and 
emergency management groups, and ensure that it and they will be better 
prepared for future disasters. Also, as of June 2009, SBA had not met 
deadlines to issue an annual report to Congress or an updated DRP. 
Failure to do so can lead to a lack of transparency on the agency’s 
progress in reforming the program and limit its ability to adequately 
prepare for and respond to disasters. Furthermore, SBA did not have an 
implementation plan for addressing the remaining requirements. 

Table: Status of SBA’s Efforts to Address Requirements of the Act: 

Section: Economic injury disaster loans to nonprofits; 
Status: Addressed (initial or ongoing). 

Section: Coordination with Federal Emergency Management Agency; 
Status: Partially addressed. 

Section: Public awareness and marketing and outreach; 
Status: Partially addressed. 

Section: Consistency of procedures and regulations; 
Status: Addressed (initial or ongoing). 

Section: Increased loan amount without collateral; 
Status: Addressed (initial or ongoing). 

Section: Processing disaster loans and Internal Revenue Service 
coordination; 
Status: Partially addressed. 

Section: Information tracking and follow-up system; 
Status: Addressed (initial or ongoing). 

Section: Increased deferment period; 
Status: N/A. 

Section: Disaster processing redundancy; 
Status: Addressed (initial or ongoing). 

Section: Net earnings clause; 
Status: Addressed (initial or ongoing). 

Section: Loans after ice storms and blizzards; 
Status: Addressed (initial or ongoing). 

Section: Disaster response plan and simulations; 
Status: Addressed (initial or ongoing). 

Section: Disaster planning specialist; 
Status: Addressed (initial or ongoing). 

Section: Employees and disaster cadre; 
Status: Addressed (initial or ongoing). 

Section: Annual disaster response plan; 
Status: Partially addressed. 

Section: Sufficient office space; 
Status: Addressed (initial or ongoing). 

Section: Major source of employment change; 
Status: Addressed (initial or ongoing). 

Section: Increased disaster loan amount; 
Status: Addressed (initial or ongoing). 

Section: Small business bonding threshold; 
Status: N/A. 

Section: Eligibility for additional disaster assistance; 
Status: N/A. 

Section: Additional economic injury disaster loans; 
Status: N/A. 

Section: Private disaster loans; 
Status: Partially addressed. 

Section: Immediate disaster assistance program; 
Status: Partially addressed. 

Section: Expedited disaster assistance program; 
Status: Partially addressed. 

Section: Gulf Coast disaster loan refinancing program; 
Status: N/A. 

Section: Reports to Congress on disaster assistance; 
Status: Partially addressed. 

Source: GAO. 

[End of table] 

SBA’s initial response after the 2008 Midwest floods and Hurricane Ike 
aligned with certain components of its initial DRP, such as using 
technology and outreach efforts to ensure timely assistance. The 
individuals GAO interviewed and results from SBA’s 2008 Disaster Loan 
Program Customer Satisfaction Survey provided some positive feedback 
about SBA’s performance following recent disasters. However, 
interviewees and survey results indicated areas for improvement; in 
particular, both indicated that application paperwork was burdensome 
and that the application process needed improvement. SBA officials told 
GAO that they have been taking steps to improve the application 
process, but did not provide documentation of such efforts. As a 
result, it did not appear to have any formal process for identifying 
problems in the application process and making needed improvements. 

What GAO Recommends: 

SBA should meet the Act’s region-specific marketing and outreach 
requirements; complete its annual report to Congress; issue an updated 
DRP; develop an implementation plan for remaining requirements; and 
develop procedures to further improve the application process. In 
comments on a draft of this report, SBA generally agreed with the 
recommendations. 

View [hyperlink, http://www.gao.gov/products/GAO-09-755] or key 
components. For more information, contact William Shear at (202) 512-
8678 or ShearW@gao.gov. 

[End of section] 

Contents: 

Letter: 

Results in Brief: 

Background: 

SBA Fully Addressed Half of the Act's Provisions, but Has Not Yet 
Established Milestones for Implementation of Remaining Requirements: 

SBA's Response Following 2008 Disasters Aligned with Certain Components 
of its DRP, but SBA's Response to Disaster Victims' Feedback on the 
Application Process Could be Improved: 

Conclusions: 

Recommendations for Executive Action: 

Agency Comments and Our Evaluation: 

Appendix I: Objectives, Scope, and Methodology: 

Appendix II: Summary of the 2008 Small Business Disaster Response and 
Loan Improvements Act Requirements: 

Appendix III: GAO Contact and Staff Acknowledgments: 

Tables: 

Table 1: SBA's Disaster Loans: 

Table 2: Small Business Disaster Response and Loan Improvements Act 
Statutory Deadlines: 

Table 3: Requirements of Act That SBA Addressed, as of June 2009: 

Table 4: Requirements of Act That SBA Partially Addressed, as of June 
2009: 

Table 5: Status of SBA Efforts to Meet the Act's Deadlines, as of June 
2009: 

Figure: 

Figure 1: SBA's Status in Addressing Requirements and Deadlines of the 
Small Business Disaster Response and Loan Improvements Act of 2008: 

Abbreviations: 

ACSI: American Customer Satisfaction Index: 

Act: Small Business Disaster Response and Loan Improvements Act of 
2008: 

ARRA: American Recovery and Reinvestment Act of 2009: 

BRC: Business Recovery Center: 

CFI: Claes Fornell International: 

DCMS: Disaster Credit Management System: 

DRP: Disaster Recovery Plan: 

DRC: Disaster Recovery Center: 

EODSPO: Executive Office of Disaster Strategic Planning and Operations: 

FEMA: Federal Emergency Management Agency: 

IRS: Internal Revenue Service: 

ODA: Office of Disaster Assistance: 

SBA: Small Business Administration: 

SBDC: Small Business Development Center: 

SOP: Standard Operating Procedures: 

[End of section] 

United States Government Accountability Office: 
Washington, DC 20548: 

July 29, 2009: 

The Honorable Nydia M. Velazquez: 
Chairwoman: 
Committee on Small Business: 
House of Representatives: 

Dear Madam Chairwoman: 

While the Small Business Administration (SBA) is known primarily for 
its financial support of small businesses, the agency also plays a 
critical role in assisting the victims of natural and other declared 
disasters. Since the agency's inception in 1953, SBA has approved more 
than $46 billion in disaster loans for homeowners, businesses, and 
nonprofit organizations. SBA provides financial assistance through its 
Disaster Loan Program to help homeowners, renters, businesses of all 
sizes, and nonprofits recover from disasters such as earthquakes, 
hurricanes, and terrorist attacks. After the 2005 Gulf Coast hurricanes 
(Katrina, Rita, and Wilma), SBA faced an unprecedented demand for 
disaster loans, while also being confronted with a significant backlog 
of applications; therefore, hundreds of thousands of loans were not 
disbursed in a timely way. Many criticized SBA for what was perceived 
to be a slow and confusing response to the disasters. As a result, 
Congress and SBA agreed that the program needed significant 
improvements. Since then, SBA has taken several steps to reform its 
Disaster Loan Program, which include developing a Disaster Recovery 
Plan (DRP), creating an online loan application, and increasing the 
capacity of its Disaster Credit Management System (DCMS). In June 2008, 
Congress enacted the Small Business Disaster Response and Loan 
Improvements Act to expand steps taken by SBA and require new measures 
to ensure that SBA is prepared for future catastrophic disasters. 
[Footnote 1] 

In response to your request, this report examines reforms made to SBA's 
Disaster Loan Program and the impact those reforms had following recent 
disasters. Specifically, this report discusses (1) the extent to which 
SBA addressed the requirements of the Small Business Disaster Response 
and Loan Improvements Act of 2008 (Act), and (2) how SBA's response, 
following the major disasters of 2008, aligned with key components of 
its June 2007 DRP. 

To determine the extent to which SBA addressed the requirements of the 
Act, we identified and analyzed the requirements and related statutory 
deadlines; obtained information about SBA's completed, current, and 
planned reform efforts; reviewed documents and progress reports to 
determine if requirements had been addressed and deadlines were met; 
interviewed officials and obtained information on what, if any, 
challenges exist that may affect SBA's ability to implement certain 
requirements; and interviewed officials to obtain information about 
next steps and resources that the agency identified as needed to 
address any remaining requirements. To assess how SBA's response 
following the major disasters of 2008 aligned with key components of 
its DRP, we conducted site visits in Iowa and Texas, and obtained 
information on how SBA's performance in the aftermath of the 2008 
Midwest floods and Hurricane Ike was viewed. We interviewed SBA and 
Small Business Development Center (SBDC) officials, state and local 
officials, and representatives of local Chambers of Commerce, economic 
development organizations, and affected small business owners about 
what worked well and suggested improvements to SBA's disaster loan 
processes. We also reviewed results from a survey of SBA loan 
applicants on their satisfaction with SBA's Disaster Loan Program in 
2008. Finally, we compared data for the 2008 disasters with agency 
performance goals. Appendix I contains a detailed description of our 
scope and methodology. 

We conducted this performance audit from October 2008 through July 
2009, 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: 

SBA fully addressed requirements for 13 of 26 provisions of the Act, as 
well as some deadlines associated with them; partially addressed 8 
provisions; and took no action on 5 that are not applicable at this 
time. For the 13 provisions SBA fully addressed by June 2009, the 
agency's actions included implementing requirements to make disaster 
loans to nonprofit organizations, increasing loan amounts from $10,000 
to $14,000 without requiring collateral, and establishing a second 
facility to process disaster loans in case the primary facility is 
unavailable. While SBA has taken some steps toward implementing the 
Act, the agency still needs to take additional steps to completely 
address 8 provisions. According to SBA officials, the agency has not 
yet completely addressed some provisions that require new regulations 
because to do so, the agency must make extensive changes to current 
programs or implement new programs--such as the Immediate and Expedited 
Disaster Assistance Programs--to satisfy requirements of the Act. 
Moreover, as required by the Act, SBA has not issued an update of its 
comprehensive DRP. SBA also has not fully addressed the requirement for 
providing region-specific marketing and outreach and ensuring the 
information is made available to SBDCs and other local resources--as 
required by another provision in the Act. According to SBA and our 
review, 5 provisions require no action by SBA at this time because they 
are discretionary or establish the need for additional appropriations 
to satisfy the Act's requirements. Finally, 9 provisions set forth in 
the Act are subject to deadlines, which the agency has had limited 
success in meeting. As of June 2009, SBA had met some deadlines for 4 
provisions, missed one deadline by 27 days, and missed deadlines for 4 
remaining provisions by many months. SBA officials offered several 
reasons for missing deadlines. Specifically, the officials said they 
needed time to issue new regulations and create new programs--and pilot 
them--before making final decisions about implementation. For example, 
the Immediate and Expedited Disaster Assistance Programs are part of a 
pilot, because SBA sees a need to test how private lenders would 
administer such programs if implemented. Furthermore, as of June 2009, 
SBA has not issued an annual report on disaster assistance, which was 
required by November 2008. Though the Act requires that SBA provide 
annual updates to its comprehensive DRP, SBA has not yet updated its 
June 2007 plan. The agency also has not developed a plan with expected 
time frames for addressing the remaining requirements. SBA's not 
providing such reports to Congress, as required, can lead to a lack of 
transparency about the agency's Disaster Loan Program and its progress 
and capacity to reform the program, as well as its ability to 
adequately prepare for and respond to disasters. 

SBA's initial response following the 2008 Midwest floods and Hurricane 
Ike aligned with major components of its DRP, such as infrastructure, 
human capital, information technology, and communications and outreach. 
Additionally, individuals to whom we spoke affected by both disasters 
considered the agency's overall performance somewhat positive, but 
believed the disaster loan process could be improved. In May 2008, 
floods devastated 85 counties in Iowa (one of several states affected) 
and in September 2008, Hurricane Ike devastated 50 counties in Texas. 
SBA and SBDC officials, state and local representatives, private-entity 
officials, and business owners in Iowa and Texas told us that in the 
days immediately following the disasters, SBA's Office of Disaster 
Assistance staff reported to the affected areas and began providing 
needed disaster assistance. These individuals also said that SBA staff 
provided outreach and public information about its Disaster Loan 
Program; distributed application information; assigned knowledgeable 
customer service representatives to various Disaster and Business 
Recovery Centers (DRC and BRC); and assisted in the initial application 
process by answering questions, providing guidance, and offering one- 
on-one help--as outlined in SBA's DRP. In addition, our review of SBA's 
2008 Disaster Loan Program Customer Satisfaction Survey also showed 
that respondents were somewhat satisfied with the assistance SBA 
provided during other recent disasters. However, both the individuals 
we interviewed and survey results indicated areas for improvement and 
opportunities to increase satisfaction with SBA's disaster loan 
process. For example, individuals we interviewed and survey responses 
pointed to concerns about the amount of paperwork required to complete 
SBA's disaster loan application and the timeliness of loan 
disbursements. To address these concerns, the individuals we 
interviewed suggested several changes to the program, such as 
eliminating the requirement that applicants provide copies of Internal 
Revenue Service (IRS) tax records; providing partial disbursements 
earlier in the process; using bridge loans to help ensure disaster 
victims receive timely assistance; and involving SBA, SBDCs, and state 
and local officials in joint pre-planning and disaster preparedness 
efforts. Though SBA officials told us they have been taking steps to 
improve the application process, these steps and improvement efforts 
were not documented. In addition, we found that while SBA conducts its 
annual survey, the agency does not appear to incorporate this feedback 
mechanism into its formal efforts to continually improve the 
application process. Furthermore, SBA does not appear to have policies 
and procedures in place for improving the application, nor does it 
appear to have a formal process for identifying problems areas within 
its program and using this experience to improve the application 
process for future applicants. 

To facilitate SBA's progress in meeting and complying with requirements 
of the Act and improve the Disaster Loan Program, we are recommending 
that the Administrator of SBA (1) develop procedures for regional 
entities that would enable SBA to meet all region-specific requirements 
of the Act and ensure regional entities, such as SBDCs, have this 
information and other Disaster Loan Program information readily 
available prior to the likely occurrence of a disaster; (2) complete 
the first annual report to Congress on disaster assistance and adhere 
to the time frame for subsequent reports; (3) expeditiously issue an 
updated DRP that reflects recent changes resulting from the Act's 
requirements, as well as SBA's own reform efforts; (4) develop an 
implementation plan and report to Congress on the agency's progress in 
addressing the requirements of the Act, including milestone dates for 
completing implementation; and (5) develop and implement a process to 
address identified problems in the disaster loan application process 
for future applicants. 

We provided SBA with a draft of this report for review and comment. In 
comments provided to us in an email, SBA generally agreed with our 
recommendations and stated the agency's plan to incorporate them into 
its ongoing efforts to implement the Act and improve the application 
process. Specifically, SBA plans to expand its outreach efforts to 
ensure the public in all regions of the country are more aware of SBA 
disaster assistance programs before a disaster strikes. SBA is also 
planning to submit both the required annual report, and the 2009 
revision to its DRP to Congress by November 15, 2009. Additionally, SBA 
officials said the agency has plans to develop an implementation plan 
for completion of the remaining provisions. Finally, in response to our 
recommendation on the application process, SBA cited ongoing efforts 
since 2005 to improve its application process, such as the electronic 
loan application, and said the agency has plans to continue its 
improvement efforts and make them an ongoing priority. However, SBA did 
not say how it would implement a formal process to address identified 
problem areas in the disaster loan application process. 

Background: 

SBA's Disaster Loan Program, which has been a part of the agency since 
its inception in 1953, is the primary federal program for funding long- 
term recovery assistance. SBA's Office of Disaster Assistance (ODA) 
responds to disasters and administers the program--which provides 
affordable, timely and accessible financial assistance following a 
disaster to homeowners, renters, businesses of all sizes, and nonprofit 
organizations. SBA does not provide disaster grants; rather, this 
financial assistance generally is available in the form of direct, low- 
interest loans and is the only SBA program not limited to small 
businesses. 

Overview of Disaster Loans and Application and Disbursement Process: 

A Presidential disaster declaration puts into motion long-term federal 
recovery programs, such as the Disaster Loan Program, but SBA is not a 
"first responder" after a disaster. Rather, local government emergency 
services assume the role of first responders, with help from state and 
volunteer agencies. For catastrophic disasters, and if a governor 
requests it, federal resources can be mobilized through the U.S. 
Department of Homeland Security's Federal Emergency Management Agency 
(FEMA) for search and rescue, electrical power, food, water, shelter, 
and other basic human needs. SBA typically responds to a disaster 
within 3 days by sending ODA field staff to the affected area to begin 
providing public information about SBA's services. 

Once a disaster is declared, SBA, by law, is authorized to make two 
types of disaster loans: (1) physical disaster loans, and (2) economic 
injury disaster loans. Physical disaster loans are for the permanent 
rebuilding and replacement of uninsured or underinsured disaster- 
damaged property. 

That is, SBA provides loans to cover repair costs that FEMA or other 
insurance has not already fully compensated or covered.[Footnote 2] The 
loans are intended for repair or replacement of the disaster victim's 
damaged property to its pre-disaster condition. Interest rates are 
periodically adjusted and SBA calculates rates after each disaster. By 
law, the interest rates depend on whether each applicant has credit 
available elsewhere. If SBA determines the applicant is unable to 
borrow from non-government sources or does not have sufficient funds, 
then the applicant is considered to not have credit available 
elsewhere. SBA offers two levels of interest rates, a low rate for 
applicants who have no credit available elsewhere and a higher rate for 
applicants with credit available elsewhere. Economic injury disaster 
loans provide small businesses, including agricultural cooperatives and 
private nonprofit organizations, with necessary working capital until 
normal operations can resume after a disaster. Loan funds are intended 
to cover operating expenses small businesses could have paid had the 
disaster not occurred. The interest rates on an economic injury 
disaster loan cannot exceed 4 percent (see table 1). 

Table 1: SBA's Disaster Loans: 

Type: Physical disaster loans; 
Funds use: Repair or replace personal residences, individual personal 
property or real estate to its pre-disaster condition; 
Eligibility: 
* Homeowners; 
* Renters; 
* Businesses (all sizes); 
* Private, nonprofits; 
Lending limit: 
* $200,000 - personal residences; 
* $40,000 - individual personal property; 
* $2 million - aggregate for businesses' and nonprofits' real estate, 
inventories, machinery, equipment; 
Interest Rate[A]: 
* Varies, but generally for those who cannot obtain credit elsewhere, 
interest is capped at 4 percent; for those who can obtain credit 
elsewhere, interest is capped at 8 percent. 

Type: Economic injury disaster loans; 
Funds use: Assist organization through the disaster recovery period and 
cover operating expenses the business could not pay because of the 
disaster; 
Eligibility: 
* Small businesses; 
* Small agricultural cooperatives; 
* Private nonprofits; 
Lending limit: 
* $2 million aggregate amount; 
Interest Rate[A]: 
* Capped at 4 percent. 

Source: GAO analysis of SBA documents. 

[A] Interest rates are periodically adjusted and vary for each 
disaster. 

[End of table] 

Immediately following a disaster, SBA public information officers are 
responsible for providing information and outreach to victims about 
SBA's Disaster Loan Program and SBA customer service representatives 
are available to help home and business owners complete loan 
applications. However, certain restrictions and guidelines apply to 
SBA's Disaster Loan Program. For example, individuals must first 
register with FEMA and obtain a registration number before SBA can 
issue an application. SBA has separate applications for home and 
business loans and offers these applications in both paper and 
electronic form. Furthermore, SBA only will make a disaster loan if 
there is reasonable expectation that the loan can be repaid--loan 
applicants must have a credit history acceptable to SBA and demonstrate 
their ability to repay all outstanding loans. They must also apply 
within certain time frames. Typically, loan applications for physical 
disaster loans must be received by SBA within 60 days from the date of 
the disaster declaration, while applications for economic injury 
disaster loans must be received within 9 months.[Footnote 3] In 
addition, SBA generally requires collateral for all loans greater than 
$14,000, recently increased from $10,000 pursuant to section 12065 of 
the Act. 

Once SBA receives a completed loan application, staff in its Loan 
Processing and Disbursement Center review eligibility, check credit, 
and calculate repayment ability. Applicants declined at this stage 
always receive notification in writing from SBA. The letter provides 
reasons for the declination and advises the applicant of its 
reconsideration rights. Applications that are not declined are assigned 
to an SBA loss verifier, who is responsible for contacting each 
applicant to make an appointment to verify the physical losses and 
estimate a dollar value for damaged real estate and personal property. 
Next, staff underwrite the application and review in greater depth the 
applicant's credit history, repayment ability, and eligibility. Unless 
the application is withdrawn, SBA processes each loan application to an 
approved or declined status. 

SBA notifies approved applicants and makes arrangements to execute the 
loan closing. Before SBA can make any disbursements, the borrower must 
execute loan closing documents and return them to SBA within 60 days. 
Upon receipt of the closing documents, SBA issues the first 
disbursement of the unsecured portion of the loan--up to $14,000 for 
physical disaster loans. After SBA has verified that lien requirements 
on collateral property have been met, it can disburse the additional 
secured portion of the physical disaster loan based on need or 
construction progress. Because no physical repairs are associated with 
economic injury disaster loans, SBA generally makes full disbursement 
for these loans once collateral and insurance requirements are met. SBA 
monitors all disbursements to ensure that loan funds are used in 
accordance with the loan authorization and agreement. 

ODA and the newly created Executive Office of Disaster Strategic 
Planning and Operations (EODSPO), both headquartered in Washington, 
D.C., are responsible for responding to disasters, coordinating with 
other disaster recovery entities, and administering the agency's 
Disaster Loan Program. ODA has four field offices, which are the 
Customer Service Center located in Buffalo, New York; two disaster 
Field Operations Centers located in Atlanta, Georgia and Sacramento, 
California; and a centralized Loan Processing and Disbursement Center 
located in Fort Worth, Texas.[Footnote 4] ODA also has a Personnel and 
Administrative Services Center and a DCMS Operations Center in Herndon, 
Virginia. Organizationally the associate administrator of ODA reports 
directly to the EODSPO chief; and the EODSPO chief reports to the SBA 
Administrator. In addition, ODA can utilize SBA district offices, 
SBDCs, and SCORE (formerly called Service Corps of Retired Executives) 
for local marketing and outreach efforts.[Footnote 5] 

Disaster Planning and SBA's DRP: 

Among the lessons learned from the 2005 Gulf Coast hurricanes was the 
need for a more organized, formal, and pre-planned approach for 
providing SBA services in response to a disaster. Members of Congress 
found that it was necessary for SBA to develop and implement a written, 
comprehensive disaster plan.[Footnote 6] Congress acted to signify the 
importance of an agency-wide plan that provided guidance and procedures 
governing preparations for, and response to, declarations of disasters 
of various dimensions, including catastrophic disasters, by including 
several related requirements in the Act. Thus, one section of the Act 
requires that SBA develop, implement, or maintain a comprehensive 
written disaster response plan and update the plan annually and 
following any major disaster when SBA declares eligibility for 
additional disaster assistance.[Footnote 7] Our prior work also 
revealed the need for SBA to conduct comprehensive disaster planning. 
For example, as we stated in our February 2007 report, SBA did not 
engage in or complete comprehensive disaster plans before the Gulf 
Coast hurricanes, and this limited logistical disaster planning likely 
contributed to the initial challenges the agency faced in responding. 
[Footnote 8] We recommended that SBA develop time frames for completing 
key elements of a disaster management plan and a long-term strategy for 
acquiring office space, and assess whether the use of disaster 
simulations or catastrophe models would enhance the disaster planning 
process. In August 2008, SBA provided information to us on how the 
agency had implemented our recommendation to use disaster simulations 
to enhance its disaster planning. Other GAO reports, reports by other 
investigative agencies, and disaster management experts long have 
stated that comprehensive planning can help organizations prepare for 
potential disasters and mitigate their effects. 

In the wake of the Gulf Coast hurricanes, SBA officials said that they 
recognized the importance of disaster planning--to improve planning, 
they created the agency's first DRP and also conducted their first 
simulation.[Footnote 9] In creating the DRP, SBA acknowledged the need 
for a systematic approach to carry out the agency's disaster assistance 
mission and ensure coordination, awareness, and support throughout the 
agency. The plan, which was issued on June 1, 2007, was designed to 
provide procedures to better handle future disasters of all sizes. Its 
major components--infrastructure, human capital, information 
technology, and communications and outreach--are designed to help 
ensure that necessary resources are available, (including reserve 
corps, staff trained in disaster loan processing, office space, and 
information technology) and that SBA has established an enhanced 
approach for communicating with the public and coordinating with other 
disaster assistance groups. 

Small Business Disaster Response and Loan Improvements Act of 2008: 

The Act comprises 26 provisions with substantive requirements for SBA; 
some with specific deadlines and some needing appropriations, and 
includes requirements that SBA must meet regarding disaster planning 
and response, disaster lending, and reporting.[Footnote 10] For 
instance, the Act includes provisions to improve SBA's coordination 
with FEMA, require that the agency conduct biennial disaster 
simulations, create a comprehensive disaster response plan, and improve 
communication with the public when disaster assistance is made 
available. It includes requirements to improve ODA's infrastructure, 
appoint an official to oversee the disaster planning and 
responsibilities of the agency, and establish reporting requirements 
for various reports to Congress. The Act also includes provisions to 
create new SBA disaster loan programs, such as the Immediate Disaster 
Assistance Program that would provide small dollar loans immediately 
following a disaster and the Expedited Disaster Assistance Loan Program 
that would provide expedited disaster assistance to businesses. 

The Act contains 9 provisions that establish deadlines for specific SBA 
actions that range from 30 days to 1 year after the Act's enactment 
(see table 2). For example, the Act requires SBA to conduct a study of 
whether the standard operating procedures (SOP) for loans offered are 
consistent with the regulations for administering the Disaster Loan 
Program and report to Congress on the study findings within 180 days 
after the Act's enactment. Additionally, the Act establishes multiple 
reporting requirements for SBA. One example of these reporting 
requirements is that SBA must submit an annual report to Congress on 
disaster assistance within 45 days after the end of each fiscal year. 
This annual report must include a report on the comprehensive disaster 
response plan, among other things. 

Table 2: Small Business Disaster Response and Loan Improvements Act 
Statutory Deadlines: 

Requirement (Act section number): (1) SBA must issue regulations about 
coordination with FEMA to ensure that each application for disaster 
assistance is submitted as quickly as practicable (12062); 
Statutory deadline[A]: 270 days. 

Requirement (Act section number): (2) SBA must create a marketing and 
outreach plan (12063); 
Statutory deadline[A]: 90 days. 

Requirement (Act section number): (3) SBA must report to Congress on 
the findings and recommendations of a study looking at consistency 
between regulations and SOPs (12064); 
Statutory deadline[A]: 180 days. 

Requirement (Act section number): (4) SBA must submit a report to 
Congress detailing the amendments to the disaster response plan-- 
specifically the report must include updates on 12 items (12072); 
Statutory deadline[A]: 3 months. 

Requirement (Act section number): (5) SBA must report to Congress about 
the individual assigned disaster planning responsibilities and related 
information (12073); 
Statutory deadline[A]: 30 days. 

Requirement (Act section number): (6) SBA must develop, implement, or 
maintain a comprehensive disaster response plan and update it annually 
or following any major disaster in which the SBA Administrator declares 
eligibility for additional disaster assistance (12075); 
Statutory deadline[A]: Various[B]. 

Requirement (Act section number): (7) SBA must; 
* issue final regulations establishing permanent criteria for qualified 
private lenders to make disaster loans; 
Statutory deadline[A]: 
* 1 year; 
* report to Congress on progress of the regulations (12083); 
Statutory deadline[A]: 
* 6 months. 

Requirement (Act section number): (8) SBA must; 
* issue final regulations establishing and implementing an Expedited 
Disaster Assistance Loan Program; 
Statutory deadline[A]: 
* 1 year; 
* report to Congress on progress of the program (12085); 
Statutory deadline[A]: 
* 5 months. 

Requirement (Act section number): (9) SBA must submit to Congress 
reports on staffing, accounting, activities; disaster assistance; and 
contracting and loan approval rates (12091); 
Statutory deadline[A]: Various[C]. 

Source: GAO. 

[A] Deadlines are calculated based on number of days or months after 
May 22, 2008. See footnote 10. 

[B] According to the Act, a comprehensive plan is due within 180 days 
of the Act's enactment and must be updated annually or following any 
major disaster in which the SBA Administrator declares eligibility for 
additional disaster assistance thereafter. 

[C] According to the Act, the staffing, accounting, and activities 
reports are due monthly. The deadline for the report on disaster 
assistance is 45 days after the end of the fiscal year--which runs from 
October 1 through September 30--and this report is due annually. The 
deadlines for the reports on contracting and loan approval rates are 6 
months after the Act's enactment date. 

[End of table] 

SBA Fully Addressed Half of the Act's Provisions, but Has Not Yet 
Established Milestones for Implementation of Remaining Requirements: 

SBA has fully addressed requirements for 13 of 26 provisions of the 
Act, partially addressed 8, and took no action on 5 that are not 
applicable at this time. In addition, 9 of the 26 provisions are 
subject to deadlines and the agency has had limited success in meeting 
them. SBA officials told us the agency did not fully address 
requirements for some provisions because the agency has to make 
extensive changes to current programs or create new programs in order 
to comply with the Act's requirements. SBA officials also told us that 
the agency needed time to pilot new programs, such as private disaster 
assistance programs, before making final decisions about 
implementation. Also, SBA has not issued its first annual report to 
Congress on disaster assistance, due November 2008, issued an annually 
updated DRP since its initial June 2007 plan, or addressed how it would 
market its Disaster Loan Program in different areas of the country and 
adapt likely scenarios for certain regions prone to disasters. 
Furthermore, the agency did not provide milestone dates for completing 
implementation of these requirements and, as a result, Congress does 
not have reliable information on the extent to which SBA has addressed 
the requirements and made improvements to its program. 

SBA Has Addressed Half of the Act's Provisions and Five Other 
Provisions Do Not Require Any Actions at This Time: 

SBA has fully addressed 13 of the 26 provisions of the Act, partially 
addressed 8, and took no action on 5 that are not applicable at this 
time.[Footnote 11] For the 13 provisions SBA addressed, the agency's 
actions included making improvements to the agency's disaster loan 
planning and response; augmenting infrastructure, information 
technology, and staff; and improving disaster lending by increasing 
access to funds for loan applicants. For example, to improve the 
agency's disaster loan planning and response, the agency conducted a 
study on the consistency between the Disaster Loan Program's SOPs and 
regulations and reported its findings to Congress.[Footnote 12] SBA has 
also taken steps to improve its infrastructure, information technology, 
and staff by putting in place a secondary facility in Sacramento, 
California to process loans during times when the main facility in Fort 
Worth, Texas is unavailable and by making improvements to DCMS to track 
and follow up with applicants. Additionally, according to SBA 
officials, the agency increased DCMS' capacity from 2,000 to more than 
12,000 concurrent users and expanded their disaster reserve staff from 
about 300 to more than 2,000 individuals.[Footnote 13] Furthermore, the 
agency increased access to funds by making nonprofits eligible for 
economic injury disaster loans, increasing loan amounts from $10,000 to 
$14,000 without requiring collateral, and changing the appropriate 
maximum disaster loan amount from $1.5 to $2 million. See table 3 for 
other requirements of the Act that SBA has addressed. 

Table 3: Requirements of Act That SBA Addressed, as of June 2009: 

Subject of requirement: Disaster loan planning and response; 
SBA actions taken (Act section number): 
* Studied and reported to Congress (December 2008) on the consistency 
between the Disaster Loan Program's SOPs and regulations (12064); 
* Changed requirements (July 2008), for loans greater than $1 million, 
so that the borrower does not have to pay any non-amortized amount for 
the first 5 years of the repayment period (12070); 
* Submitted a report to Congress (August 2008) detailing planned 
updates to the DRP and conducted disaster simulation exercises (12072). 

Subject of requirement: Infrastructure, information technology, and 
staff; 
SBA actions taken (Act section number): 
* Updated and maintained SBA's centralized information system (DCMS) to 
track and follow up with applicants and increased the system's capacity 
from 2,000 to more than 12,000 concurrent users (12067); 
* Put in place an alternative facility in Sacramento, California for 
processing loans in the event the primary facility in Fort Worth, Texas 
is unavailable (12069); 
* Secured office space and made plans to accommodate an increased 
workforce in times of disaster (12076); 
* Established EODSPO and appointed a chief (June 2008) as director of 
all disaster planning responsibilities (12073); 
* Maintained more than 1,000 full-time ODA staff and more than 2,000 
disaster reserve staff (12074). 

Subject of requirement: Disaster lending; 
SBA actions taken (Act section number): 
* Authorized (July 2008) economic injury disaster loans for nonprofit 
organizations (12061); 
* Increased (July 2008) loan amounts from $10,000 to $14,000 without 
requiring collateral (12065); 
* Allowed applicants to apply for economic injury disaster loans in 
cases of ice storms and blizzards (12071); 
* Changed requirements (April 2009) so that SBA may not rely solely on 
the loan applicant's status as a major source of employment prior to 
the disaster to qualify for disaster loans beyond the current statutory 
limit (12077); 
* Increased (July 2008) maximum loan amount from $1.5 to $2 million 
(12078). 

Source: GAO analysis of the Act and SBA documents. 

[End of table] 

Based on discussions with SBA officials and our review, 4 of the 26 
provisions require no action by SBA at this time due to their 
discretionary nature.[Footnote 14] More specifically, 1 provision 
provides SBA the discretion to offer persons receiving disaster loans 
an option to defer repayment on their loans and another provision 
provides SBA discretionary authority to refinance Gulf Coast disaster 
loans. Two additional provisions only can be triggered if the 
Administrator determines a disaster is a catastrophic event and 
authorizes additional assistance. The statute states that the 
determination is only to be made for the most extraordinary and 
devastating events. Accordingly, SBA officials told us that the agency 
needs to take no action unless a disaster is declared a catastrophic 
event and the Administrator authorizes additional funding. Agency 
officials told us SBA is able to carry out the requirements of these 
two sections and stated that after the September 11, 2001, terrorist 
attacks in New York, the agency carried out one of the requirements by 
issuing regulations and permitting loans to small businesses located 
outside of the disaster area.[Footnote 15] 

Additionally, we found that at least 1 provision--the Small Business 
Bonding Threshold--requires no action at this time because it would 
require the agency to obtain additional appropriations.[Footnote 16] 
For example, the provision states that the SBA Administrator may carry 
out the requirements of the section only with amounts appropriated in 
advance specifically to carry out the requirements. Accordingly, SBA 
would need to have an appropriation for implementation of that 
provision. However, the American Recovery and Reinvestment Act of 2009 
(ARRA) generally increased the maximum contract amount for SBA bond 
guarantee to $5 million until September 2010. [Footnote 17] According 
to SBA's Office of General Counsel, under ARRA, small business 
contracts up to $5 million are eligible for an SBA bond guarantee up to 
September 30, 2010. 

SBA Has Taken Steps to Partially Address the Remaining Requirements, 
but the Agency Has Not Demonstrated How It Will Address the 
Requirements for Region-Specific Marketing and Outreach: 

SBA partially addressed 8 provisions of the Act by taking some actions 
to implement the requirements. For example, 1 provision requires SBA to 
update the comprehensive DRP annually; while the agency originally 
issued a plan in June 2007 and agency officials have participated in 
leadership seminars to discuss revisions to the plan, SBA has failed to 
comply with the Act and issue an updated plan, as required by section 
12075. Moreover, the existing plan does not include information on, nor 
is there separate information addressing, as the Act requires in 
section 12063, regional marketing information. Additionally, at least 4 
provisions require SBA to either create new or make changes to existing 
programs. Three of these 4 provisions require SBA to issue regulations 
within 1 year of the Act's enactment, but the agency only has 
established regulations in draft form and has not issued any final 
regulations.[Footnote 18] For the 8 partially addressed provisions, our 
analysis was based on actions described by SBA officials (see table 4). 

Table 4: Requirements of Act That SBA Partially Addressed, as of June 
2009: 

Description of requirement (Act section number): (1) SBA must ensure 
that their disaster assistance programs are coordinated with FEMA 
programs to ensure that each application for disaster assistance is 
submitted as quickly as practicable. (12062); 
SBA actions taken: 
* Met with FEMA officials to coordinate programs; 
* Developed draft regulations[A] and sent to FEMA for inter-agency 
review; 
SBA planned actions: 
* Publish direct final rule in Federal Register. 

Description of requirement (Act section number): (2) SBA must 
coordinate application periods with FEMA, increase public awareness of 
disasters, and create a marketing and outreach plan, including 
providing regional marketing and ensuring the information is made 
available to SBDCs. (12063); 
SBA actions taken: 
* Coordinated application periods for disaster assistance with FEMA; 
* Communicated information to disaster loan applicants through press 
releases, newsletters, and fact sheets; 
* Submitted notification reports to Congress; 
SBA planned actions: 
* SBA believes this requirement has been met[B]. 

Description of requirement (Act section number): (3) SBA is authorized 
to enter into agreements with private contractors to process disaster 
loans and SBA must coordinate efforts with IRS to ensure tax records 
are shared with loan processes quickly. (12066); 
SBA actions taken: 
* Entered into contracts with private companies; 
* Met with IRS to discuss changes to tax information sharing processes; 
SBA planned actions: 
* SBA and IRS plan to meet on an ongoing basis and update processes as 
necessary. 

Description of requirement (Act section number): (4) SBA must develop, 
implement, and maintain a written comprehensive disaster response plan. 
SBA must update the plan annually and following any major disaster when 
SBA declares eligibility for additional disaster assistance. (12075); 
SBA actions taken: 
* Issued DRP in June 2007; 
* Participated in leadership seminars and completed After Action 
Reports to suggest draft revisions to plan; 
SBA planned actions: 
* SBA expects to issue an updated DRP by September 2009. 

Description of requirement (Act section number): (5) Establish and 
implement a Private Disaster Assistance Program. SBA may guarantee 
timely payment of principal and interest on private disaster loans 
issued to eligible small businesses and homeowners within an eligible 
disaster area. (12083); (6) SBA must establish an Immediate Disaster 
Assistance Program to provide immediate small dollar loans through 
private lenders. (12084); (7) SBA must establish an Expedited Disaster 
Assistance Business Loan Program. (12085); 
SBA actions taken: 
* Requested funding in FY 2010 President's Budget to implement pilot 
programs to test private disaster loans; 
* Developed draft regulations[A]; 
SBA planned actions: 
* Develop and implement pilot programs with private lenders; 
* Publish final regulations in Federal Register. 

Description of requirement (Act section number): (8) SBA must submit to 
Congress reports on staffing, accounting, activities each month; 
disaster assistance each year; and contracting and loan approval rates. 
(12091); 
SBA actions taken: 
* Submitted accounting, staffing, and activity reports to Congress; 
SBA planned actions: 
* Submit annual report on disaster assistance, contracting and loan 
approval rate reports to Congress. 

Sources: Act and SBA documents. 

[A] Items in bold are draft versions of documents that SBA officials 
discussed with us. 

[B] SBA told us parts of their DRP and Leadership Guide for Managing a 
Response to a Disaster already meet all of the requirements of this 
section, but these documents do not address the requirement for 
regional marketing information. 

[End of table] 

According to agency officials, SBA did not fully address requirements 
for some provisions because the agency has to make extensive changes to 
current programs or create new programs to comply with the Act's 
requirements, and it takes time to implement these types of changes. 
More specifically, according to agency officials, SBA has not 
completely addressed some provisions because: 

* Sections 12062, 12083, 12084, 12085: These 4 provisions require SBA 
to issue regulations or make amendments to its SOPs that either 
establish new disaster programs or make changes to an existing program, 
but the agency said it takes time to develop and issue regulations and, 
in some cases, it is developing pilot programs before making decisions 
about regulations. SBA officials told us they have requested funding to 
carry out requirements for two of these--the Immediate and Expedited 
Disaster Assistance Programs--in the fiscal year 2010 President's 
Budget.[Footnote 19] According to SBA, the funds will be used to 
implement pilot programs with private commercial lenders. SBA officials 
told us that such a pilot would be necessary to see how private lenders 
would administer the programs. 

* Section 12066: Requires coordination between SBA and IRS to ensure 
tax records are shared quickly, and the two agencies intend to meet on 
an ongoing basis and update processes, as necessary. 

* Section 12075: Requires the agency to issue an updated comprehensive 
DRP, and while the agency has drafted its updated plan, the draft may 
undergo additional changes after the agency holds it next Senior 
Leadership Seminar in which it will conduct disaster simulation 
exercises--scheduled for June 29-30, 2009--and then agency officials 
must submit the updated plan to the new Administrator for review and 
approval. 

* Section 12091: Establishes a new reporting requirement that SBA 
submit an annual report to Congress on disaster assistance each fiscal 
year, but SBA has not issued an annual report because the agency is 
awaiting input from the new Administrator. Furthermore, EODSPO staff 
are responsible for developing and submitting the annual report to 
Congress, but SBA officials told us the office was not fully staffed in 
November 2008 when the first annual report on disaster assistance was 
due to Congress. Specifically, the Act requires that SBA report 
annually on the total number of SBA disaster staff, major changes to 
the Disaster Loan Program (such as changes to technology or staff 
responsibilities), a description of the number and dollar amount of 
disaster loans made during the year, and SBA's plans for preparing and 
responding to possible future disasters.[Footnote 20] 

Additionally, we believe that SBA has partially addressed the provision 
in section 12063 mandating region-specific marketing and outreach. 
However, agency officials told us that their comprehensive DRP and 
Leadership Guide for Managing a Response to a Disaster include 
marketing and outreach components and satisfy the Act's requirement, 
and therefore, they do not believe a separate plan is necessary. While 
SBA believes that this requirement has been met, the DRP and Leadership 
Guide do not provide region-specific marketing information or have 
steps in place to ensure that the information is available to SBDCs--as 
required by the Act. Specifically, the Act states the marketing and 
outreach plan must (1) encourage a proactive approach to disaster 
relief efforts; (2) make clear the services provided by SBA; (3) 
describe SBA's different disaster loan programs, how they are made 
available, and the eligibility requirements for each; (4) provide 
regional marketing information, focusing on disasters occurring in each 
region, and likely scenarios for disasters occurring in each region; 
and (5) ensure the marketing and outreach plan is available at SBDCs 
and on SBA's Web site. For example, lessons learned from the 2005 Gulf 
Coast hurricanes can provide a basis for developing marketing 
information for regions that may be prone to large scale disasters 
affecting large geographic areas. Based on our review, the DRP and 
Leadership Guide do not include regional marketing information, such as 
lessons learned from prior disasters, and it is unclear how SBA ensures 
availability of the information to SBDCs and the public through the 
agency's Web site. Also, as we will describe later, officials with whom 
we spoke during our site visits to Iowa and Texas noted the importance 
of regional marketing and outreach information and suggested this type 
of information would be helpful prior to a disaster. By not developing 
region-specific information in its updated plan and clear mechanisms to 
share the information with SBDCs, SBA is not in compliance with 
requirements of the Act, and has not fully leveraged the efforts of 
regional entities, such as SBDCs and emergency management groups, to 
ensure that it and they will be better prepared for future disasters. 

SBA Has Had Limited Success in Meeting Deadlines of the Act, Including 
Issuing An Annual Report and Updating the DRP: 

SBA has had limited success in meeting the deadlines in 9 provisions of 
the Act. The agency met some deadlines for 4 provisions, missed one 
deadline by 27 days, and missed deadlines for the 4 remaining 
provisions--in some cases, by many months. The statutory deadlines 
range from 30 days to 1 year after the Act's enactment. Table 5 shows 
the status of SBA's efforts to meet the deadlines, as of June 2009. 

Table 5: Status of SBA Efforts to Meet the Act's Deadlines, as of June 
2009: 

Requirements with deadlines (Act section number): (1) SBA must issue 
regulations about their coordination with FEMA to ensure that each 
application for disaster assistance is submitted as quickly as 
practicable (12062); 
Date of statutory deadline: February 16, 2009; 
Status: Deadline not met; SBA developed draft regulations, but has yet 
to publish final regulations. 

Requirements with deadlines (Act section number): (2) Create a 
marketing and outreach plan (12063); 
Date of statutory deadline: August 20, 2008; 
Status: Deadline not met; SBA believes this requirement has been met, 
but the agency's efforts do not include a region-specific component, as 
required by the Act. 

Requirements with deadlines (Act section number): (3) SBA must report 
to Congress on the finding and recommendations of a study looking at 
consistency between regulations and SOPs (12064); 
Date of statutory deadline: November 18, 2008; 
Status: Deadline not met; SBA submitted a report to Congress 27 days 
after deadline, on December 15, 2008.[A] 

Requirements with deadlines (Act section number): (4) SBA must submit a 
report to Congress detailing amendments to the major disaster response 
plan--specifically the report must include updates on 12 items (12072); 
Date of statutory deadline: August 22, 2008; Status: Deadline met -; 
SBA submitted a report to Congress in August 2008, but this information 
has not been issued in an updated DRP.[B]. 

Requirements with deadlines (Act section number): (5) SBA must report 
to Congress about the individual assigned disaster planning 
responsibilities and related information (12073); Date of statutory 
deadline: June 21, 2008; Status: Deadline met; 
SBA appointed an official to head the agency's newly created EODSPO in 
June 2008.[C] 

Requirements with deadlines (Act section number): (6) SBA must develop, 
implement, or maintain a comprehensive DRP (12075); 
Date of statutory deadline: Various[D]; 
Status: Some deadlines met; SBA issued its DRP in June 2007 in 
anticipation of the Act's requirement, but has not issued an annual 
updated plan. 

Requirements with deadlines (Act section number): (7) SBA must; 
* issue final regulations establishing permanent criteria for qualified 
private lenders and; 
Date of statutory deadline: 
* May 22, 2009; 
* report to Congress on progress of the regulations (12083); 
Date of statutory deadline: 
* November 22, 2008; 
Status: Deadline not met; SBA has developed draft regulations, but has 
yet to publish final regulations, and has not submitted its report to 
Congress on the progress of the regulations. 

Requirements with deadlines (Act section number): (8) SBA must; 
* issue final regulations establishing and implementing an Expedited 
Disaster Assistance Loan Program and; 
Date of statutory deadline: 
* May 22, 2009; 
* report to Congress on progress of the program (12085); 
Date of statutory deadline: 
* October 22, 2008; 
Status: Deadline not met; SBA submitted a progress report to Congress 
16 days late, on November 7, 2008[E] and has developed draft 
regulations, but has yet to publish final regulations. 

Requirements with deadlines (Act section number): (9) SBA must submit 
to Congress reports on staffing, accounting, activities each month; 
disaster assistance each year; and contracting and loan approval rates 
(12091); 
Date of statutory deadline: Various[F]; 
Status: Some deadlines met; SBA submitted monthly reports to Congress 
starting in December 2008, but has not issued an annual report on 
disaster assistance, nor contracting and loan approval reports. 

Sources: Act and SBA documents. 

[A] A report to the Senate Committee on Small Business and 
Entrepreneurship and U.S. House of Representatives Committee on Small 
Businesses, Study on Consistency Between U.S. Small Business 
Administration Regulations and Standard Operating Procedures. 
(Washington, DC: December 15, 2008). 

[B] U.S. Small Business Administration, Disaster Response Plan Report 
Under Section 12072 of Title XII, Subtitle B of the Food, Conservation, 
and Energy Act of 2008 (Public Law 110-246). (Washington, DC: August 
2008). 

[C] U.S. Small Business Administration, Disaster Planning Report Under 
Section 12073 of Title XII, Subtitle B of the Food, Conservation, and 
Energy Act of 2008 (Public Law 110-246). (Washington, DC: November 
2008). 

[D] SBA must update the plan annually and following any major disaster 
when SBA declares eligibility for additional disaster assistance. 

[E] U.S. Small Business Administration, Report Required by Section 
12085(e) of Title XII, Subtitle B of the Food, Conservation, and Energy 
Act of 2008 (Public Law 110-246). (Washington, DC: November 2008). 

[F] According to the Act, SBA must submit, among other reports to 
Congress, monthly reports on staffing, accounting, and activities on 
major disasters; an annual report; and reports on contracting and loan 
approval rates 6 months after enactment. The deadline for the 
contracting and loan approval reports was November 22, 2008, while the 
deadline for the annual report was 45 days after the fiscal year end or 
November 14, 2008. 

[End of table] 

As we discussed earlier, the Act requires that SBA address region- 
specific marketing and outreach requirements, but we believe that its 
current DRP and Leadership Guide for Managing a Response to a Disaster 
do not address all the requirements in the Act and, therefore, SBA 
missed this deadline. Additionally, the Act requires SBA to issue final 
regulations for two new programs--the Private and Expedited Disaster 
Assistance Programs--and regulations for SBA's coordination of disaster 
assistance programs with FEMA. SBA officials told us the agency has 
developed draft regulations for these requirements, but missed the 
statutory deadlines to publish final regulations. According to SBA 
officials, they missed the deadlines because they needed time to issue 
new regulations, as well as create and pilot new disaster programs, and 
conduct an interagency review with FEMA before making final decisions 
about implementation. 

The Act also establishes multiple reporting requirements, and while SBA 
has met some deadlines, others were missed. For example, SBA 
successfully submitted monthly accounting, staffing, and activity 
reports to Congress, starting in December 2008. However, the agency 
missed deadlines for submitting its first annual report on disaster 
assistance, due November 2008, as noted earlier, and contracting and 
loan approval rate reports. According to officials, SBA is waiting for 
input from the newly confirmed Administrator--who also must review and 
approve the reports prior to their issuance. 

In addition, because SBA has not published an update to the DRP since 
the plan's issuance in June 2007, we found that it contained obsolete 
information in some areas, and did not include information on many of 
the changes resulting from the Act or the agency's own disaster reform 
efforts since 2007, such as the establishment of EODSPO and appointment 
of a chief as director of all disaster planning responsibilities, 
update to DCMS to track and follow up with applicants, the increase in 
the system's capacity from 2,000 to more than 12,000 concurrent users, 
and incorporation of disaster simulations to enhance its disaster 
planning. As we noted earlier, agency officials may revise the plan 
following its leadership seminar in June 2009. Agency officials said 
the updated plan will likely be issued in August or September 2009 and 
will incorporate changes to the Disaster Loan Program resulting from 
the Act. 

Finally, the agency did not provide milestone dates for completing 
implementation of the requirements that have not been completely 
addressed. Because these actions and reports have been delayed and SBA 
did not have a plan detailing expected completion dates on the 
requirements that still need to be addressed, Congress does not have 
reliable information on the extent to which SBA is reforming its 
Disaster Loan Program. Furthermore, failure to produce the annual 
report can lead to a lack of transparency on the agency's progress in 
reforming the program, and the delay in updates to the DRP limits SBA's 
ability to adequately prepare for and respond to disasters. 

SBA's Response Following 2008 Disasters Aligned with Certain Components 
of its DRP, but SBA's Response to Disaster Victims' Feedback on the 
Application Process Could be Improved: 

SBA's initial response after the 2008 Midwest floods and Hurricane Ike 
aligned with certain components of its DRP, such as infrastructure, 
human capital, information technology, and communications and outreach. 
For example, many of the individuals we met in Iowa and Texas said that 
SBA staff provided outreach and public information about its Disaster 
Loan Program, distributed application information, assigned 
knowledgeable customer service representatives to various DRCs and 
BRCs, and assisted in the initial application process by answering 
questions, providing guidance, and offering one-on-one help. 
Individuals we interviewed and results from SBA's 2008 Disaster Loan 
Program Customer Satisfaction Survey provided some positive feedback 
about SBA's performance following recent disasters. However, 
interviewees and these same survey results indicated areas for 
improvement; in particular, these sources both indicated that the 
application paperwork was burdensome and that the application process 
needed improvement. SBA officials told us that they intend to improve 
the application process, but did not provide documentation of such 
plans and did not appear to take advantage of feedback from applicants, 
such as that received from the customer survey. 

Major Disasters of 2008 Provided a Limited Test of SBA's Ability to 
Plan for and Respond to Disasters in Accordance With Its DRP: 

Three major disasters struck our nation in 2008 that provided a limited 
test of SBA's ability to plan for and respond to major disasters and 
tested the improvements stemming from recent disaster reform efforts-- 
the Midwest floods and Hurricanes Ike and Gustav.[Footnote 21] First, 
beginning in late May 2008, tornadoes, severe storms, and flooding 
affected six Midwestern states (Iowa, Illinois, Indiana, Missouri, 
Nebraska, and Wisconsin). Notices of Presidential declarations of major 
disasters were issued in each state. Flooding continued into July 2008 
in some areas, with Cedar Rapids, Iowa, being hardest hit, in terms of 
suffering the most physical damage and business losses. The floods left 
13 dead and damage region-wide was estimated in the tens of billions of 
dollars. In addition to FEMA, state and local emergency management 
agencies, the American Red Cross, and the National Guard assisted the 
victims of flooding with disaster relief and evacuation. Second, in 
early September 2008, a major disaster struck the Gulf Coast states 
when Hurricane Ike made its way through Texas and Louisiana. Hurricane 
Ike made landfall as a Category 2 hurricane near Galveston, Texas, on 
September 7, 2008, and was declared a major disaster by the President 
on September 13, 2008.[Footnote 22] Ike was the third most destructive 
hurricane to make landfall in the United States and the third major 
hurricane of the 2008 Atlantic hurricane season; it caused widespread 
damage to some Gulf Coast areas already trying to recover from 
Hurricane Gustav, which hit Louisiana on September 1, 2008.[Footnote 
23] Hurricane Ike was blamed for at least 100 deaths and damages are 
estimated at approximately $24 billion. 

Based on our review, SBA's response following the 2008 Midwest floods 
and Hurricane Ike aligned with certain components of its DRP, and the 
agency's efforts were in accordance with the plan. Though we noted 
earlier that the 2007 plan has not been updated and, therefore, has 
some obsolete information, for purposes of this study, we found that 
the plan addresses the major components--including infrastructure, 
human capital, information technology, and communications and outreach-
-and puts into writing a disaster assistance framework and related 
processes for how the agency plans to prepare for and respond to 
victims of potential disasters, and subsequently, offer assistance 
through its Disaster Loan Program. For example, according to SBA, 
following both disasters the agency used its organizational 
infrastructure and key staff in each of its core functions to provide 
disaster assistance. ODA also utilized available operational and 
technological support, and communications and outreach, to help ensure 
that the agency would be able to provide timely financial assistance to 
the disaster victims. While the 2008 disasters were not as severe as 
those in 2005, the agency's performance in the aftermath of the 2008 
flooding dramatically improved over its performance in the aftermath of 
the 2005 Gulf Coast hurricanes. Specifically, following the 2005 Gulf 
Coast hurricanes, processing times for a home loan reached a maximum of 
about 90 days, but in 2008 the processing time was about 5 days. 
Similarly, SBA took 70 days to process a business loan in 2005, but in 
2008 the average processing time was about 9 days. In addition, on June 
24, 2008, SBA opened a BRC in Cedar Rapids, which was co-located with 
FEMA's DRC. The BRC enabled businesses owners and homeowners to work 
directly with SBA staff to learn about available recovery resources and 
programs, receive counseling, and receive face-to-face answers to their 
questions. At the peak of its efforts, SBA reported having 194 staff 
working from about 67 centers in Iowa to provide recovery assistance to 
flood victims in more than 81 counties. As of June 2009, SBA had 
approved more than $411 million in disaster assistance to individuals 
and business owners whose homes or property were damaged by the Midwest 
floods. 

In addition, in the aftermath of Hurricane Ike, SBA had about 116 
disaster staff in Texas and 200 in Louisiana. In Texas, particularly, 
SBA customer service representatives provided assistance to Hurricane 
Ike victims through 13 DRCs, two Disaster Loan Outreach Centers, and 
two BRCs. The customer service representatives were available to meet 
individually with disaster victims to issue loan applications, answer 
questions about SBA's disaster loan program, explain the application 
process, and help individuals complete their applications. 
Additionally, as of June 2009, SBA had approved approximately $677 
million in SBA disaster loans to Texas and Louisiana homeowners, 
renters, businesses, and nonprofits who sustained damages from 
Hurricane Ike. Specifically, SBA provided about $478 million in loans 
to more than 9,260 homeowners and renters, and about $199 million in 
loans to nearly 1,640 businesses and nonprofit organizations. 

Similar to its response following the Midwest floods, SBA took less 
time to process disaster loan applications during its post-Hurricane 
Ike response because of upgrades made to DCMS, an expanded disaster 
response workforce, and an online electronic loan application-- 
eliminating the need to mail an application or visit a center. As a 
result, the time needed to process a home loan following Hurricane Ike 
averaged about 5 days and a business loan averaged about 12 days. 

SBA's Response to Recent Major Disasters Considered Satisfactory, but 
Both Our Interviewees and SBA's Survey Results Identified Areas for 
Improvement: 

Individuals affected by both disasters told us they considered the 
agency's overall performance satisfactory in responding to the 
disasters. However, the individuals believed some improvements could be 
made to SBA's disaster loan application process. Similarly, our review 
of SBA's 2008 Disaster Loan Program Customer Satisfaction Survey also 
showed that respondents provided some positive feedback about SBA's 
performance, but they too believed that improvements were needed. 
During our site visits to areas in Iowa and Texas, we obtained insights 
on the devastation caused by the Midwest floods and Hurricane Ike from 
various state and local government officials and small business owners, 
as well as their perceptions of SBA's initial efforts. SBA District 
Office officials and SBDCs affected by the disasters, as well as 
representatives of nongovernmental organizations also gave their views 
on the disaster recovery efforts. According to SBA and SBDC officials, 
state and local government officials, nongovernmental representatives, 
and business owners we interviewed in Iowa and Texas, in the days 
immediately following the disasters, ODA staff reported to the affected 
areas, established several BRCs, assigned knowledgeable customer 
service representatives, and began providing the needed disaster 
assistance. The individuals said that SBA representatives distributed 
loan applications and assisted in the initial application process by 
answering questions, providing guidance about the Disaster Loan 
Program, its eligibility rules and requirements, offering one-on-one 
assistance with filling out the disaster loan application, and 
accepting completed applications. 

Additionally, interviewees said SBA staff provided outreach and public 
information to affected individuals and businesses about the Disaster 
Loan Program. For example, to ensure that individuals and businesses 
knew about available assistance, SBA staff worked with the local media 
in providing television, radio and newspaper interviews, communicating 
information about loan availability, and disseminating information 
through various community briefings and town hall meetings. The 
interviewees said SBA staff also made several visits to state and local 
groups, such as the Chamber of Commerce to tell them about SBA's 
Disaster Loan Program. Many of the people we interviewed said that 
while most applicants used the paper application, the electronic loan 
application--introduced in August 2008 just prior to Hurricane Ike-- 
worked well and they were not aware of any DCMS problems. Furthermore, 
many of them were satisfied overall with SBA's initial disaster 
assistance efforts, and the feedback we received on SBA's response to 
the disasters indicated to us that the agency's assistance was 
consistent with the processes and procedures outlined in the DRP. 

As mentioned, respondents to SBA's 2008 Disaster Assistance Program 
Customer Satisfaction Survey also were somewhat satisfied with ODA's 
Disaster Loan Program.[Footnote 24] Specifically, our review of the 
2008 survey results showed that ODA's aggregated customer satisfaction 
index score was 55 on a scale of 100. Respondents, however, had mixed 
reaction to the program and the agency's performance in key areas such 
as application processing, SBA's Customer Service Center and the 
disaster recovery centers, inspection and decision processes, and loan 
closing.[Footnote 25] Specifically, survey results showed applicants 
who were declined for an SBA disaster loan had lower satisfaction 
ratings compared to applicants that were approved for disaster loans. 
For example, the declined applicants' overall customer satisfaction 
index was 34 as compared to approved applicants' customer satisfaction 
index, which ranged from 63 to 81, with homeowners and renters 
generally more satisfied than business owners.[Footnote 26] The survey 
results also showed that the inspection process and disaster recovery 
center areas were rated positively by all respondents. The respondents 
noted that the DRCs were easy to locate, had convenient hours of 
operation and accessible SBA staff; and rated SBA staff as being 
professional, knowledgeable and helpful. Additionally, respondents 
rated the SBA inspection process as an area where SBA staff excelled. 

Interviewees and Survey Results Point to the Need for Improvements in 
the Application Process, but SBA Does Not Have A Clear Process with 
Which to Respond to Ongoing Concerns: 

While SBA's response to the disasters was considered satisfactory 
overall, both the individuals we interviewed and survey results point 
to areas for improvement and suggested ways to increase satisfaction 
with SBA's disaster assistance process. For example, some business 
owner applicants we interviewed expressed concern over collateral 
requirements and interest rates. They also complained about disparity 
between verbal versus final written loan terms and amounts, having 
multiple loan officers or case managers, and SBA not using district and 
branch office staff for follow up after centers were closed in their 
areas. Additionally, some business owner applicants said that the 
disaster loan application was too complex or lacked adequate 
instructions--a problem which interviewees believed sometimes caused 
some applicants to withdraw their application or decide not to apply 
for SBA disaster loans. 

Both the interviewees and the survey results indicated the amount of 
paperwork required for the application process was burdensome, and 
interviewees also expressed concerns about the timeliness of loan 
disbursements. Specifically, some interviewees said that improvements 
were necessary to speed up loan disbursements because some business 
owners had to wait as long as 7 months after submitting the disaster 
loan application to receive an initial loan disbursement, by which time 
a small business could be so economically weakened that its future 
operations would be in question. In terms of the survey, business loan 
and economic injury disaster loan recipients were dissatisfied 
particularly with the timeliness of fund disbursals after loan 
approval, and rated the application process for business loans as among 
the areas most needing improvement. In addition, the application and 
decision process were consistently among the lower-rated performing 
areas. 

In addressing some of the areas in need of improvement, many business 
owner applicants we interviewed suggested changes to SBA's disaster 
loan application process, such as providing partial disbursements 
earlier in the process and using bridge loans to help ensure disaster 
victims receive timely assistance. We also consistently heard from 
SBDCs and state and local emergency management agencies, the need for 
joint pre-planning and disaster preparedness efforts with SBA, and more 
up-front information about SBA's disaster response plan and their 
expected roles and responsibilities as part of that response effort. In 
addition, during our interviews, some business owner applicants 
complained that they had to provide copies of 3 years of federal income 
tax returns, although they had signed an IRS form 8821--Tax Information 
Authorization--which allows SBA to get tax return information directly 
from IRS.[Footnote 27] Interviewees found this process burdensome and 
somewhat inefficient and, as a result, suggested that SBA change its 
application requirements to remove the requirement that applicants must 
provide copies of tax returns. SBA officials explained the current 
process for obtaining tax information from IRS and stated that SBA does 
not require copies of tax returns from all business applicants. Rather, 
they said that SBA requests copies on a case-by-case basis when it is 
unable to determine repayment ability based on the tax transcript 
obtained by using IRS form 8821. However, our review of SBA's filing 
requirements for business loans showed that SBA's written procedures 
differed from those the officials explained. Specifically, SBA's 
written requirements for business loans state that while SBA requires 
business applicants to sign form 8821, applicants also must submit 
copies of their tax returns. In addition to the potential paperwork 
burden for applicants, the conflicting written procedures and SBA's 
current process could cause confusion and inefficient processing during 
disaster responses. 

Similarly, one suggestion from the ACSI report of survey results was 
that SBA improve or maintain its process in high-performing areas of 
the loan application process and work to improve its performance in the 
low-performing areas to demonstrate commitment to further improving the 
process for future disaster loan applicants. For instance, areas with 
the lowest impact on an applicant's overall satisfaction, such as the 
inspection process and DRCs, were rated higher than other areas by all 
respondent groups and those areas rated as having the highest impact on 
satisfaction for most respondents--the application and decision areas--
scored lowest in satisfaction. 

Consequently, in reporting the results and suggestions for agency 
action, SBA was encouraged to: (1) maintain its efforts in areas that 
were high performing and had low impact on overall customer 
satisfaction, and (2) increase its efforts to improve areas that were 
low performing and had a higher impact on satisfaction. 

During our review and analysis of the 2008 customer satisfaction 
survey, we found that the survey's results were not a formal part of 
the agency's process for reforming its disaster loan program, or its 
efforts to continually improve the application process. SBA officials 
were unable to cite specific actions taken to incorporate the survey's 
results into efforts to improve its disaster program, and it appears 
that its primary use for the annual survey is linking it to the 
agency's budget and performance accountability reports to provide an 
outcome measure for the Disaster Loan Program. Additionally, apart from 
SBA's 2008 launch of its online disaster loan application, we found 
that the agency's other disaster reform efforts, to date, have not 
focused on the complexity of the disaster loan application 
(particularly for business applicants), the extensive amount of 
paperwork and documents required, or the timeliness of disbursements. 
While SBA officials said they continually look for ways to improve the 
disaster loan application, the agency does not appear to have a formal 
process for addressing problem areas within its program and making 
needed improvements. Consequently, it may be missing opportunities to 
demonstrate its commitment to further improve the application process 
for future applicants. 

Finally, some of the improvements suggested by the individuals we 
interviewed are related to some requirements in the Act. For example, 
as we noted earlier, the Act requires that SBA provide specific 
regional marketing and outreach information and scenarios in its DRP, 
and include SBDCs in preparing for future disasters. Additionally, the 
Act requires that SBA coordinate with IRS, as necessary, in sharing tax 
records of disaster loan applicants to ensure expedited processing of 
all disaster loans. As mentioned earlier in this report, as of June, 
SBA has yet to address these two requirements. 

Conclusions: 

SBA's response to the 2005 Gulf Coast hurricanes exposed many 
deficiencies in the agency's Disaster Loan Program and demonstrated the 
need for reform. Since then, SBA has taken steps to improve its 
program. For instance, SBA issued a DRP, adopted an electronic loan 
application, upgraded the system capacity of its DCMS, improved 
employee training and expanded its disaster reserve staff. With passage 
of the Act, Congress also acted to transform and improve SBA's Disaster 
Loan Program and ensure the agency is better prepared to handle future 
large-scale disasters. SBA adapted its initial DRP in June 2007, which 
laid out a framework and processes the agency has in place that would 
enable it to respond effectively to disasters, and the Act requires 
that SBA have such a plan and regularly update it. However, SBA has not 
addressed specifically how it would market its Disaster Loan Program in 
different areas of the country, nor adapted likely scenarios for 
certain regions prone to disasters. Although SBA believes that it has 
addressed the requirement for marketing and outreach in its DRP, the 
2007 plan does not provide any regional perspective, nor has the agency 
updated this plan since 2007. We consistently heard from regional 
entities, such as SBDCs and emergency management groups, about the need 
for more upfront information on SBA's Disaster Loan Program and their 
expected roles and responsibilities in disaster response efforts. By 
taking such actions, SBA could leverage the efforts and capacity of 
SBDCs, as well as state and local emergency management agencies, and 
ensure that it and they will be better prepared for future events, 
especially in disaster-prone areas. 

SBA has taken a number of steps to address the many requirements of the 
Act; however, some provisions have presented challenges for SBA in 
implementing specific requirements and meeting some associated 
deadlines. For example, SBA has not completely met certain requirements 
and the agency does not have an implementation plan in place to ensure 
the remaining requirements are addressed. Some of the changes required 
by the Act, especially those requiring SBA to create new programs, will 
take time to implement. It will be important for the agency to do so in 
a comprehensive manner; but because the implementation process already 
is behind schedule, it also will be important for SBA to ensure it has 
a plan for implementing the remaining requirements and report on its 
progress to Congress. Failure to produce annual reports on schedule can 
lead to a lack of transparency on the agency's progress in reforming 
the program. Delays in updates to the DRP also limit its ability to 
adequately prepare for and respond to disasters. By continuing its 
efforts to address and implement all requirements in the Act and 
expeditiously communicate its actions, SBA could improve its operations 
for the 2009 hurricane season, build on the lessons learned in the 
aftermath of the 2005 Gulf Coast hurricanes, and further signal its 
commitment to its mission of providing affordable and timely financial 
assistance to help businesses and homeowners recover from disasters. 

SBA's initial response following the 2008 Midwest floods and Hurricane 
Ike aligned with certain components of its DRP, and the affected 
individuals we interviewed, as well as respondents to SBA's 2008 
Disaster Loan Program Customer Satisfaction Survey were somewhat 
satisfied with the agency's performance after the major disasters of 
2008. However, the individuals we interviewed and survey results both 
indicated areas for improvement with SBA's disaster loan program. For 
instance, our interviewees and the survey results indicated the amount 
of paperwork in the application process was burdensome and cited the 
application process, including tax information requirements, as an area 
for improvement. As discussed in this report, while SBA has made 
progress, the agency has missed opportunities to further improve its 
Disaster Loan Program, and, in particular, improve the application 
process for future applicants. For example, it was unclear to what 
extent it had a formal process in place for addressing identified 
problem areas and making needed improvements to its program. By 
establishing such a process to address identified problem areas, SBA 
could better demonstrate its commitment to improve the Disaster Loan 
Program. 

Recommendations for Executive Action: 

To facilitate SBA's progress in meeting and complying with requirements 
of the Act and improve the Disaster Loan Program, we recommend that the 
Administrator of SBA take the following five actions: 

* develop procedures for regional entities that would enable SBA to 
meet all region-specific requirements of the Act. Specifically, 
building on the lessons learned from previous disasters, SBA should 
include likely scenarios for certain regions prone to disasters and 
regional marketing information for SBDCs, other local resources, and 
local emergency management groups. In addition, SBA should make this 
information and other Disaster Loan Program information readily 
available to these regional entities prior to the likely occurrence of 
a disaster; 

* complete the first annual report to Congress on disaster assistance, 
and adhere to the required time frames for subsequent annual reports; 

* expeditiously issue an updated DRP that reflects recent changes 
resulting from the Act's requirements, as well as SBA's own disaster 
reform efforts; 

* develop an implementation plan and report to Congress on the agency's 
progress in addressing all requirements within the Act--including 
creating and implementing new programs, such as the Immediate and 
Expedited Disaster Assistance Programs--and include milestone dates for 
completing implementation and any major program, resource, or other 
challenges the agency faces as its continues efforts to address 
requirements and meet deadlines in the Act; and: 

* develop and implement a process to address identified problems in the 
disaster loan application process for future applicants. 

Agency Comments and Our Evaluation: 

We provided SBA a draft of this report for review and comment. In 
comments provided to us in an email, SBA generally agreed with our 
recommendations and stated the agency's plan to incorporate them into 
its ongoing efforts to implement the Act and improve the application 
process. Specifically, SBA said that the agency has plans to expand its 
outreach efforts to ensure the public in all regions of the country are 
more aware of SBA disaster assistance programs before a disaster 
strikes. SBA is also planning to submit both the required annual 
report, and the 2009 revision to its DRP to Congress by November 15, 
2009. Additionally, SBA officials said the agency has plans to develop 
an implementation plan for completion of the remaining provisions. 
Finally, in response to our recommendation on the application process, 
the officials cited the electronic loan application as an example of 
its efforts to improve the application process and said the agency has 
plans to continue its improvement efforts and make such improvements an 
ongoing priority. The comments also referred to ongoing efforts since 
2005 to improve various processes, including 79 projects to improve the 
processing and disbursement process, but did not specify how these 
efforts improved the application process for disaster victims. In 
addition, SBA did not say how it would implement a formal process to 
address identified problem areas in the disaster loan application 
process. 

We are sending copies of this report to interested Members of Congress 
and the Administrator of the Small Business Administration. In 
addition, this report will be available at no charge on the GAO Web 
site at [hyperlink, http://www.gao.gov]. 

Please contact me at (202) 512-8678 or shearw@gao.gov if you or your 
staff have any questions about this report. Contact points for our 
Office 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. 

Sincerely yours, 

Signed by: 

William B. Shear: 
Director, Financial Markets and Community Investment: 

[End of section] 

Appendix I: Objectives, Scope, and Methodology: 

Our objectives were to review (1) the extent to which the Small 
Business Administration (SBA) addressed the requirements of the Small 
Business Disaster Response and Loan Improvements Act of 2008 (Act), and 
(2) how SBA's response, following the major disasters of 2008, aligned 
with key components of its June 2007 Disaster Recovery Plan (DRP). 

To respond to these objectives overall, we reviewed agency documents 
related to SBA's implementation of the Act's requirements, identified 
key components of the DRP, interviewed key officials at SBA 
headquarters about their roles and responsibilities in implementing the 
Act and SBA's response to major disasters in 2008, and identified the 
requirements specified in the Act--including any statutory deadlines 
for implementing specific provisions of the Act. SBA officials we met 
with included senior officials representing the Executive Office of 
Disaster Strategic Planning and Operations (EODSPO) and the Office of 
Disaster Assistance (ODA). We also met with officials from SBA's Office 
of the Inspector General to discuss planned audits and oversight 
activities related to SBA's Disaster Loan Program and the agency's 
implementation of the Act. 

To determine the extent to which SBA addressed the requirements and 
deadlines of the Act, we: 

* reviewed the Act and identified 26 provisions with substantive 
statutory requirements and 9 provisions with related deadlines; 

* reviewed the Act to determine which provisions require general or 
explicit appropriations; 

* obtained, reviewed and analyzed documentation, such as policy 
memorandums, reports issued to Congress, or progress reports to 
determine if requirements had been addressed and deadlines had been 
met; 

* interviewed agency officials to obtain information on what, if any, 
challenges exist that may affect SBA's ability to address certain 
requirements--including identifying reasons for any delays in meeting 
the statutory deadlines; and: 

* met with SBA to obtain information about the agency's next steps and 
resources the agency identified it needs to completely address the 
remaining provisions. During these meetings, we requested expected time 
frames for completion, milestone dates, resources needed, and reasons 
for delay, if applicable, for the partially addressed provisions. 

To assess whether SBA's initial response following the 2008 disasters 
aligned with key components of its 2007 DRP, we conducted site visits 
to areas impacted by the 2008 Midwest floods (Iowa) and Hurricane Ike 
(Texas). We reviewed SBA's DRP and other plans issued by the agency 
(i.e., SBA's ODA Field Operations, Processing and Disbursement Center, 
and Customer Service Center Disaster Response Plans) to identify some 
of the key components of the plans such as determining the agency's 
strategy for establishing field operations, disseminating information, 
coordinating with Small Business Development Centers (SBDC) and other 
regional entities, and effectively processing applications, as well as 
the agency's DRP that discusses its approach for being prepared for and 
responding to a disaster declaration, strategy for internal and 
external communication, and a description of ODA's responsibilities. In 
both Iowa and Texas, we interviewed various stakeholders including SBA 
and SBDC officials, state and local government officials, 
representatives of local Chambers of Commerce and economic development 
organizations, and small business owners to discuss what worked well, 
in terms of SBA carrying out key components of their DRP, and what, if 
any, improvements were suggested for SBA's Disaster Loan Program and 
processes. While our limited number of site visits was too small for 
generalizing the information obtained to assess ODA's overall ability 
to respond to any disaster, the observations and perspectives expressed 
by the various stakeholders was sufficient to suggest that SBA has 
begun institutionalizing key reforms in its disaster program's policy 
and practices. Furthermore, we obtained information about loan 
applicants' and recipients' satisfaction with the agency's Disaster 
Loan Program and related services immediately following the Midwest 
floods and Hurricane Ike. 

We also reviewed the 2008 Disaster Assistance Program Customer 
Satisfaction Survey that addressed five customer segments which measure 
customer satisfaction with SBA's Disaster Loan Program.[Footnote 28] It 
included four types of loan recipients--homeowners, renters, and 
business owners who received physical damage and economic injury 
disaster loans, as well as declined applicants. The survey 
questionnaire, which was developed through a collaborative effort 
between the Claes Fornell International (CFI) Group and SBA, measured 
overall satisfaction with SBA's program in areas such as application 
processes, customer service center, recovery center, and inspection 
processes. About 4,800 loan recipients and declined applicants were 
included in the survey population resulting in about 570 completed 
responses used for analysis--a response rate of about 20 percent. 
Further, the number of completed interviews was based on a quota for 
calling among the five customer segments, with weights applied to 
responses for the number of completed surveys and the number of loan 
recipients and declined applicants studied. Our overall data 
reliability assessment of the Customer Satisfaction survey was 
generally based on discussions with SBA officials and our knowledge of 
the Disaster Loan Program, publicly available information on ACSI, and 
our prior reports which included analyses of past years' survey 
results. As a result, we determined that survey data were sufficiently 
reliable for purposes of this report. 

We conducted this performance audit from October 2008 through July 
2009, 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. 

[End of section] 

Appendix II: Summary of the 2008 Small Business Disaster Response and 
Loan Improvements Act Requirements: 

Figure 1: SBA's Status in Addressing Requirements and Deadlines of the 
Small Business Disaster Response and Loan Improvements Act of 2008: 

Section: 12061; 
Description of requirement: SBA permitted to make economic injury 
disaster loans to nonprofits. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline: [Empty]. 

Section: 12062[A]; 
Description of requirement: SBA must ensure its disaster assistance 
programs are coordinated to the maximum extent practicable with FEMA 
programs. 
Status: Partially addressed or some deadlines met; 
Deadline: Not addressed or missed deadline. 

Section: 12063; 
Description of requirement: Better public awareness of disaster 
declaration, application periods, and creation of a marketing and 
outreach plan. 
Status: Partially addressed or some deadlines met; 
Deadline: Not addressed or missed deadline. 

Section: 12064; 
Description of requirement: SBA must conduct a study looking at the 
consistency between standard operating procedures and regulations of 
the Disaster Loan Program. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline:Not addressed or missed deadline. 

Section: 12065; 
Description of requirement: SBA increased loan amounts from $10,000 to 
$14,000 without requiring collateral. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline: [Empty]. 

Section: 12066; 
Description of requirement: SBA authorizes private contractors to 
process disaster loans and coordinate efforts with IRS to expedite loan 
processing. 
Status: Partially addressed or some deadlines met; 
Deadline: [Empty]. 

Section: 12067; 
Description of requirement: SBA must develop, implement, or maintain a 
centralized information system to track and follow up with disaster 
loan applicants. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline: [Empty]. 

Section: 12068; 
Description of requirement: SBA is authorized to increase the deferment 
period of loans, but the deferment may not exceed 4 years. 
Status: N/A; 
Deadline: [Empty]. 

Section: 12069; 
Description of requirement: SBA must put in a place a secondary 
facility for processing disaster loans in case the primary facility is 
unavailable. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline: [Empty]. 

Section: 12070; 
Description of requirement: SBA can not require the borrower to pay any 
non-amortized amount for the first 5 years after repayment begins. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline: [Empty]. 

Section: 12071; 
Description of requirement: SBA is authorized to make economic injury 
disaster loans in cases of ice storms and blizzards. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline: [Empty]. 

Section: 12072; 
Description of requirement: SBA must develop and implement a major 
disaster response plan and conduct a disaster simulation exercise at 
least once every 2 years. 
Status: Addressed (initial or ongoing) or deadline met; 
Deadline: Addressed (initial or ongoing) or deadline met. 

Section: 12073; 
Description of requirement: SBA must assign an individual the disaster 
planning responsibilities and report to Congress. 
Status: Addressed (initial or ongoing) or deadline met; 
Deadline: Addressed (initial or ongoing) or deadline met. 

Section: 12074; 
Description of requirement: SBA should ensure that the number of full-
time equivalent ODA employees is not fewer than 800 and in the disaster 
cadre not fewer than 1,000. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline: [Empty]. 

Section: 12075; 
Description of requirement: SBA must develop, implement, or maintain a 
comprehensive written disaster response plan and update the plan 
annually. 
Status: Partially addressed or some deadlines met; 
Deadline: Partially addressed or some deadlines met[B]. 

Section: 12076; 
Description of requirement: SBA must develop long-term plans to secure 
sufficient office space to accommodate an increased workforce in times 
of disaster. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline: [Empty]. 

Section: 12077; 
Description of requirement: SBA may not rely solely on the loan 
applicant’s status as a major source of employment prior to the 
disaster to qualify for disaster loans beyond the current statutory 
limit. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline: [Empty]. 

Section: 12078; 
Description of requirement: Maximum disaster loan amount increased from 
$1.5 to $2 million. 
Status: Addressed (initial or ongoing) or deadline met. 
Deadline: [Empty]. 

Section: 12079; 
Description of requirement: SBA may guarantee any surety against loss 
on a bid, payment, performance, or ancillary bond on any work order or 
contract that at the time of the bond execution does not exceed $5 
million. 
Status: N/A; 
Deadline: [Empty]. 

Section: 12081; 
Description of requirement: If the President declares a major disaster, 
SBA may declare eligibility for additional disaster assistance. 
Status: N/A; 
Deadline: [Empty]. 

Section: 12082; 
Description of requirement: SBA permitted to make economic injury 
disaster loans to eligible small business concerns located anywhere in 
the US (including outside the disaster area) when the SBA declares 
eligibility for additional disaster assistance. 
Status: N/A; 
Deadline: [Empty]. 

Section: 12083[A]; 
Description of requirement: SBA must establish and implement a Private 
Disaster Assistance Program. SBA may guarantee timely payment of 
principal and interest on private disaster loans issued to eligible 
small businesses and homeowners within an eligible disaster area. 
Status: Partially addressed or some deadlines met; 
Deadline: Not addressed or missed deadline. 

Section: 12084; 
Description of requirement: SBA must establish an Immediate Disaster 
Assistance Program to provide immediate small dollar loans through 
private lenders. 
Status: Partially addressed or some deadlines met; 
Deadline: [Empty]. 

Section: 12085[A]; 
Description of requirement: SBA must establish an Expedited Disaster 
Assistance Business Loan Program. 
Status: Partially addressed or some deadlines met; 
Deadline: Not addressed or missed deadline. 

Section: 12086; 
Description of requirement: SBA is allowed to institute a program to 
refinance Gulf Coast disaster loans resulting form Hurricanes Katrina, 
Rita, or Wilma up to an amount no greater than the original loan. 
Status: N/A; 
Deadline: [Empty]. 

Section: 12091; 
Description of requirement: SBA must submit reports to Congress on 
disaster assistance. 
Status: Partially addressed or some deadlines met; 
Deadline: Partially addressed or some deadlines met. 

Source: GAO analysis of the Act and SBA documents. 

Note: The Act explicitly establishes appropriation requirements for 
procurements related to a major disaster for the provision in bold. 

N/A: Not applicable because no action is needed to be taken by SBA at 
this time, due to provisions’ discretionary nature. 

[A] The Act requires SBA to issue regulations for these provisions. 

[B] SBA has not yet issued an updated DRP. 

[End of table] 

[End of section] 

Appendix III: GAO Contact and Staff Acknowledgments: 

GAO Contact: 

William B. Shear, Director, (202) 512-8678, or shearw@gao.gov. 

Staff Acknowledgments: 

In addition to the individual named above, Kay Kuhlman, Assistant 
Director; Michelle Bowsky; William Chatlos; Beth Ann Faraguna; 
Alexandra Martin-Arseneau; Marc Molino; Linda Rego; and Barbara 
Roesmann made significant contributions to this report. 

[End of section] 

Footnotes: 

[1] Pub. L. No. 110-246, subtitle B, 122 Stat. 2168 (2008). 

[2] SBA can lend individuals amounts up to $200,000 for their primary 
residence and $40,000 for household goods and personal effects and can 
lend businesses up to an aggregated $2 million for physical and 
economic injury disaster loans, before the individuals or business 
owners receive their insurance recovery. In these cases, the loan 
recipient must use the insurance recovery funds to reduce the balance 
of the SBA disaster loan. Even individuals or business owners who 
believe they have full insurance coverage are encouraged to apply for 
an SBA loan because their insurance recovery may turn out to be only 
partial, or their damage may exceed insurance policy limits. 

[3] For a catastrophic disaster, application periods can be extended at 
the state governor's request. 

[4] The Disaster Field Operations Center-East, in Atlanta, handles 
field operations and public information activity for disaster 
declarations in the states east of the Mississippi River, plus 
Washington, D.C., Minnesota, the U.S. Virgin Islands and Puerto Rico. 
The Disaster Field Operations Center-West, in Sacramento, handles field 
operations and public information activity for disaster declarations in 
all states west of the Mississippi River, Alaska, Hawaii, and the U.S. 
Pacific Islands (Guam, American Samoa, Marshall Islands, Northern 
Mariana Islands, and Micronesia). 

[5] SCORE is a nonprofit government-chartered corporation and SBA 
resource partner that focuses on entrepreneur education and training, 
and the creation, growth, and success of small businesses nationwide. 

[6] See S. Rep. No. 110-64, at 5 (2007) (expressing concern over the 
SBA not having a "proactive, comprehensive disaster response plan in 
place in August 2005"). 

[7] According to section 12075, Comprehensive Disaster Recovery Plan, 
the plan must include a description of the disasters most likely to 
occur regionally, including (1) an assessment of the disaster; (2) an 
assessment of the likely demand for SBA assistance; (3) an assessment 
of SBA's resource needs related to information technology, 
telecommunications, human resources, and office space; and (4) 
guidelines on SBA's use of resources and how it intends to coordinate 
with other agencies. 

[8] GAO, Small Business Administration: Additional Steps Needed to 
Enhance Agency Preparedness for Future Disasters, [hyperlink, 
http://www.gao.gov/products/GAO-07-114] (Washington, D.C.: Feb. 14, 
2007). 

[9] SBA refers to its comprehensive disaster response plan (as required 
by section 12075) as its DRP. SBA's use of the term "disaster recovery 
plan" differs from how it is generally used in referring to an 
information technology-focused plan designed to restore operability of 
a system, application, or computer facility following an emergency. 

[10] In June 2008, as part of the Food, Conservation, and Energy Act 
(also commonly known as the Farm Bill), Pub. L. No. 110-246, 122 Stat. 
1651, Congress enacted the Small Business Disaster Response and Loan 
Improvements Act of 2008. This law repealed and replaced a duplicative 
enactment, which had been enacted on May 22, 2008. However, the Farm 
Bill contains a provision that generally preserved the prior act's date 
of enactment if it would provide an earlier effective date than the 
date of enactment of the Farm Bill. Although the Act was enacted on 
June 18, 2008, the enactment date for purposes of determining the 
effective date is May 22, 2008. Therefore, all statutory deadlines 
presented in this report are calculated from May 22, 2008. 

[11] Appendix II provides details on the 26 provisions of the Act and 
SBA's status in addressing the requirements. 

[12] A report to the Senate Committee on Small Business and 
Entrepreneurship and U.S. House of Representatives Committee on Small 
Businesses, Study on Consistency Between U.S. Small Business 
Administration Regulations and Standard Operating Procedures. 
(Washington, D.C.: December 15, 2008). 

[13] SBA's disaster reserve consists of both active and ready reserve 
staff. SBA estimates 75 percent of their active reserve staff and 50 
percent of their ready reserve staff will be available when called upon 
to quickly staff disaster field offices in the event of a major 
disaster. 

[14] Sections 12068, 12081, 12082, and 12086. 

[15] 13 C.F.R. pt. 123, subpt. G (2009). The travel restrictions placed 
around the disaster area adversely affected small businesses located 
throughout the United States because distributors that served New York 
businesses were located throughout the country. Accordingly, SBA 
expanded the eligibility for economic injury disaster loans to include 
businesses located outside of the disaster area. 

[16] Under Section 12079, Small Business Bonding Threshold, SBA may for 
any procurement related to a major disaster, guarantee any surety 
against loss on a bid, payment, performance, or ancillary bond on any 
work order or contract that at the time of the bond execution does not 
exceed $5 million. 

[17] Pub. L. No.111-5, title V, 123 Stat. 115, 151, 158-161 (2009). 

[18] On May 11, 2009, SBA, as part of its unified agenda for 
regulations at the proposed rule stage, indicated that in implementing 
the Act it will issue regulations to make conforming changes to 
existing regulations and establish three new programs: The Private 
Disaster Loan program, the Immediate Disaster Assistance program, and 
the Expedited Disaster Assistance program for businesses. SBA also 
indicated that it would issue new regulations to provide guidance on 
expanded assistance during catastrophic disasters and address 
coordination with FEMA. 74 Fed. Reg. 22009, 22010 (May 11, 2009). 

[19] According to agency officials, the pilot program will be designed 
to test requirements applicable to sections 12084 and 12085. 

[20] The Act also states the annual report must include information on 
some requirements under certain provisions, such as (a) the regulations 
on coordination with FEMA to assure that applications for disaster 
assistance are submitted as quickly as practicable, as required under 
section 12062; (b) disaster simulation exercises conducted by the 
agency under section 12072; (c) updates to the comprehensive DRP, 
required under section 12075; and (d) updates to SBA's plans for 
securing office space to accommodate an expanded workforce, required 
under section 12076. 

[21] While SBA received a large number of applications as a result of 
Hurricane Gustav, the agency's total loan amount approved for the 
Midwest floods and Hurricane Ike were far greater than for Hurricane 
Gustav. Because of the greater dollar amounts approved as a result of 
the Midwest floods and Hurricane Ike, we decided to conduct site visits 
to areas affected by these two disasters. 

[22] Hurricane Ike was a Category 2 hurricane, according to the Saffir- 
Simpson Hurricane Wind Scale--which is a 1 to 5 categorization, based 
on the hurricane's intensity with 5 indicating the most severe winds. 

[23] According to FEMA, Hurricane Gustav affected areas of Florida, 
Alabama, Mississippi, Louisiana, and Texas. Affected counties and 
parishes are eligible for different types of federal assistance, but 
SBA approved disaster loans due to damage caused by Hurricane Gustav in 
Mississippi and Louisiana. For example, 52 Louisiana parishes were 
declared eligible for individual assistance and all 64 parishes were 
declared for some form of public assistance. As of June 2009, SBA 
approved more than 4,100 applications, totaling more than $123 million 
in disaster loans to home and business owners affected by Hurricane 
Gustav. 

[24] The response rate for the survey was about 20 percent. About 4,800 
loan recipients and declined applicants were included in the survey 
population, which resulted in approximately 570 completed responses 
used for survey analysis. The survey results should be viewed with 
caution because of the low response rate. 

[25] The American Customer Satisfaction Index (ACSI) is the national 
indicator of customer evaluations of the quality of goods and services 
available to U.S. residents. ACSI is a uniform cross-industry/ 
government measure of customer satisfaction, including its causes and 
its effect. ACSI is provided through a partnership of the University of 
Michigan Business School, Claes Fornell International (CFI) Group, and 
the American Society for Quality. 

[26] There is a range of scores because the survey includes four 
categories of approved applicants: homeowners (81), renters (80), 
business owners (63), and recipients of economic injury disaster loans 
(66). The scores address the respondents' overall satisfaction, 
satisfaction compared to expectations, and satisfaction compared to an 
"ideal" organization, based on averages with 0 meaning "poor" and 100 
meaning "excellent". 

[27] SBA officials told us the agency requests copies of tax records to 
help loan officers prepare cash flow analyses and to calculate 
repayment ability. 

[28] The survey used the American Customer Satisfaction Index (ACSI) 
which is the indicator of customer evaluations of the quality of goods 
and services available to U.S. residents. Since 1999, the ACSI has 
measured satisfaction, its causes, and its effects for more than 100 
programs of federal government agencies. The ACSI is produced by the 
University of Michigan Business School, CFI Group, and the American 
Society for Quality. 

[End of section] 

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