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entitled 'Flood Insurance: Opportunities Exist to Improve Oversight of 
the WYO Program' which was released on September 21, 2009. 

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Report to the Ranking Member, Committee on Banking, Housing, and Urban 
Affairs, U.S. Senate: 

United States Government Accountability Office: 
GAO: 

August 2009: 

Flood Insurance: 

Opportunities Exist to Improve Oversight of the WYO Program: 

GAO-09-455: 

GAO Highlights: 

Highlights of GAO-09-455, a report to the Ranking Member, Committee on 
Banking, Housing, and Urban Affairs, U.S. Senate. 

Why GAO Did This Study: 

Since 2004, private insurance companies participating in the Federal 
Emergency Management Agency’s (FEMA) Write-Your-Own (WYO) program have 
collected an average of $2.3 billion in premiums annually and, of this 
amount, have been paid or allowed to retain an average of $1 billion 
per year. Questions have been raised about FEMA’s oversight of the 
program in light of the debts FEMA has incurred since the 2005 
hurricanes. GAO placed NFIP on its high-risk list and issued several 
reports addressing the challenges the program faces. This report 
addresses the methods FEMA uses for determining the rates at which WYOs 
are paid, its marketing bonus system for WYOs, its adherence to 
financial control requirements for the WYO program, and alternatives to 
the current system. To do this work, we reviewed and analyzed FEMA’s 
data and policies and procedures and obtained the views of select WYOs 
and flood insurance experts. 

What GAO Found: 

FEMA does not systematically consider actual flood insurance expense 
information when it determines the amount it pays the WYO for selling 
and servicing flood insurance policies and adjusting claims. Rather, 
since the inception of the WYO program, FEMA has used various proxies 
for determining the rates at which it pays the WYOs. Consequently, FEMA 
does not have the information it needs to determine (1) whether its 
payments are reasonable and (2) the amount of profit to the WYOs that 
are included in its payments. When GAO compared expense payments FEMA 
made to six WYOs to the WYOs’ actual expenses for calendar years 2005 
through 2007, we found that the payments exceeded actual expenses by 
$327.1 million, or 16.5 percent of total payments made. Considering 
actual expense information would provide transparency and 
accountability over payments to the WYOs. 

FEMA has not aligned its bonus structure with its long-term goals for 
the program. The WYOs generally offered flood insurance when requested 
but did not strategically market the product as a primary insurance 
line. FEMA has not set explicit marketing goals beyond a 5 percent goal 
of increasing policy growth each year, and the WYO program primarily 
rewards companies that are new to NFIP for sales increases that may 
result from external factors, including flood events. The Government 
Performance and Results Act states that when results could be 
influenced by external factors, agencies can use intermediate goals to 
measure contributions to specific goals. Paying bonuses based on such 
intermediate targeted goals could bring the bonus structure more in 
line with FEMA’s goals for the NFIP program. 

FEMA has explicit financial control requirements and procedures for the 
WYO program but has not implemented all aspects of its Control Plan. 
FEMA provides guidance for WYOs that is intended to ensure compliance 
with the statutory requirements for the NFIP and contains checks and 
balances to help ensure that taxpayer funds are spent appropriately. 
FEMA did most of the required biennial audits and underwriting and 
claims reviews but did not do most of the required audits for cause; 
state insurance department audits; and marketing, litigation, and 
customer service operational reviews. In addition, FEMA did not 
systematically track the outcomes of the various audits, inspections, 
and reviews that it performed for the 10 WYOs included in this review 
of FEMA’s oversight of the program. Because FEMA does not implement all 
aspects of the Control Plan, it cannot ensure that the WYOs are fully 
complying with program requirements. 

What GAO Recommends: 

GAO makes recommendations to improve oversight of the WYO program. They 
include reviewing data on WYO companies’ expenses, targeting incentive 
bonuses in line with NFIP goals, and providing more comprehensive 
oversight of program requirements and procedures. FEMA agreed with our 
recommendations regarding NAIC data, the incentive structure, and 
program oversight, but not the transparency of WYO payments. We 
continue to believe that FEMA could better leverage actual expense 
data. 

View [hyperlink, http://www.gao.gov/products/GAO-09-455] or key 
components. For more information, contact Orice Williams Brown at (202) 
512-8678 or williamso@gao.gov, or Jeanette M. Franzel at (202) 512-2600 
or franzelj@gao.gov. 

[End of section] 

Contents: 

Letter: 

Background: 

FEMA Does Not Systematically Consider WYOs' Actual Expenses When 
Setting Payment Rates: 

FEMA Has Not Aligned Its Bonus Structure with Its Long-Term Goals for 
NFIP: 

FEMA Followed Some but Not All of Its Internal Control Requirements and 
Procedures: 

Alternative WYO Program Administrative Structures Could Be Used to 
Incorporate Competition into the Payment Process: 

Conclusions: 

Recommendations for Executive Action: 

Agency Comments and Our Evaluation: 

Appendix I: Briefing Slides: 

Appendix II: Scope and Methodology: 

Appendix III: Comments from the Department of Homeland Security: 

Appendix IV: GAO Contacts and Staff Acknowledgments: 

Abbreviations: 

Control Plan: FEMA's Financial Control Plan and Procedures: 

FEMA: Federal Emergency Management Agency: 

NAIC: National Association of Insurance Commissioners: 

NFIP: National Flood Insurance Program: 

SFHA: special high-risk flood hazard area: 

ULAE: Unallocated Loss Adjustment Expenses: 

WYO: Write-Your-Own: 

[End of section] 

United States Government Accountability Office:
Washington, DC 20548: 

August 21, 2009: 

The Honorable Richard C. Shelby:
Ranking Member:
Committee on Banking, Housing, and Urban Affairs:
United States Senate: 

Dear Senator Shelby: 

Private insurers sell and service policies and adjust claims for the 
National Flood Insurance Program (NFIP) under an arrangement with the 
Federal Emergency Management Agency (FEMA) of the Department of 
Homeland Security. Under this program, known as the Write-Your-Own 
(WYO) program, these companies have collected an average of $2.3 
billion in premiums annually since 2004 and have been paid or allowed 
to retain an average of $1 billion for each of these years. These WYO 
companies--around 90 in 2008--are not only compensated for their 
services, but are also paid a bonus for expanding NFIP's policy base by 
increasing the number of flood insurance policies they sell. 

As we have previously reported, the amounts WYOs receive for their 
services represent from one-third to two-thirds of the total NFIP 
premiums collected annually, depending on the number of flood claims 
filed.[Footnote 1] In fiscal year 2006, these payments peaked at more 
than $1.5 billion, or about 67 percent of WYO premiums collected, 
largely because of expenses related to the 2005 hurricanes. The amount 
of payments and bonuses that WYOs have received has led to increased 
scrutiny of FEMA's oversight of these insurance companies and its 
methods for determining the rates at which they are paid. 

At your request, we reviewed FEMA's oversight of the WYO insurance 
companies that sell and service NFIP policies. Our objectives were to 
(1) assess FEMA's practice of determining the amounts it pays WYOs for 
selling and servicing flood insurance and adjusting claims; (2) examine 
how FEMA evaluates the effectiveness of its WYO bonus incentive 
structure and determine whether the bonuses it pays reflect actual 
efforts to market flood insurance policies; (3) evaluate the extent to 
which FEMA oversees the WYO companies, including reviewing external 
audits, reinspecting flood claims, and conducting operational reviews; 
and (4) evaluate the advantages and disadvantages of three alternative 
arrangements for selling and servicing flood insurance policies and 
adjusting claims using a competitively awarded contract. 

On June 19, 2009, we briefed your staff on the results of our work. 
This letter summarizes the briefing; the briefing slides are included 
in appendix I of this report. 

To assess FEMA's method for determining the amounts it pays WYOs for 
their services, we selected a sample of six WYOs that represented 53 
percent of total WYO program net premiums written, 71 percent of total 
WYO program claim losses paid, and 59 percent of total expense payments 
FEMA made to the approximately 90 companies for fiscal years 2005 to 
2007. We compared the payments FEMA made to these companies in calendar 
years 2005 to 2007 with the actual flood insurance expenses the 
companies reported to the National Association of Insurance 
Commissioners (NAIC) for those years. We also interviewed officials 
from FEMA, WYO companies, and NAIC. To address the remaining 
objectives, we selected a sample of 10 WYOs that represented more than 
50 percent of the flood insurance premiums written in fiscal year 2007, 
including companies of various sizes that incurred different levels of 
flood losses and had different operating models. To assess the extent 
to which FEMA evaluates the effectiveness of its WYO bonus incentive 
structure, we discussed the bonus payment methodology with FEMA and WYO 
officials and reviewed documents relating to the methodology and 
history of the bonus payment system. To assess the extent to which FEMA 
was implementing its oversight requirements for WYOs, we evaluated 
FEMA's Financial Control Plan Requirements and Procedures (Control 
Plan) and requested and reviewed all documents that were required under 
the plan, and discussed the plan and procedures with appropriate FEMA 
officials, WYO insurers, and other stakeholders. To evaluate the 
advantages and disadvantages of alternatives to the WYO program, we 
identified three possible arrangements, all of which would incorporate 
a competitive feature. We then discussed these alternatives with WYO 
insurers in our sample; FEMA staff; and other stakeholders, such as 
flood insurance vendors and consultants. Appendix II contains a more 
detailed description of our scope and methodology. 

We conducted this audit from December 2007 to 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 the evidence we 
obtained provides a reasonable basis for our findings and conclusions 
based on our audit objectives. 

Background: 

Because of the catastrophic nature of flooding and the difficulty of 
adequately predicting flood risks, private insurance companies have 
largely been unwilling to underwrite and bear the risk of flood 
insurance. Under NFIP, the federal government assumes liability for 
flood insurance losses and sets rates and coverage limitations, among 
other responsibilities. Since its inception, NFIP, to a large extent, 
has relied on the private insurance industry to sell and service 
policies, as Congress envisioned when it authorized the program in 
1968. The authorizing legislation provides broad authority for FEMA to 
work with the private insurance industry, and over time, FEMA has 
utilized several arrangements with private insurers, including with 
companies themselves and with a single vendor.[Footnote 2] Because of 
customer complaints and stagnant policy growth, in 1983, FEMA 
established the WYO program. According to FEMA, the goals of the WYO 
program are to increase the NFIP policy base and the geographic 
distribution of policies, improve service to NFIP policyholders through 
the infusion of insurance industry knowledge, and provide the insurance 
industry with direct operating experience with flood insurance. 

In 1986--the first year of the WYO program--48 WYO insurance companies 
were responsible for about 50 percent of the more than 2 million 
policies in force. As of September 2008, about 90 WYO insurance 
companies accounted for 97 percent of the nearly 5.6 million policies 
in force at that time.[Footnote 3] Because WYOs are not risk-sharing 
insurers, they are not paid an explicit profit percentage or amount. 
[Footnote 4] 

Private insurers become WYOs by entering into an arrangement with FEMA 
(the Financial Assistance/Subsidy Arrangement) to issue flood policies 
in their own name. The insurers must have experience in property and 
casualty insurance lines, be in good standing with state insurance 
departments, and be capable of adequately selling and servicing flood 
insurance policies. They must also comply with the provisions of FEMA's 
Control Plan, which outlines the companies' responsibilities for 
program operations, including underwriting, claims adjustments, cash 
management, and financial reporting, as well as FEMA's responsibilities 
for management and oversight. 

WYOs adjust flood claims and settle, pay, and defend all claims arising 
from the flood policies. Insurance agents from these companies are the 
main point of contact for most policyholders. Based on information the 
insurance agents submit, WYOs issue policies, collect premiums, deduct 
an allowance for commission and operating expenses from the premiums, 
and remit the balance to NFIP. In most cases, insurance companies hire 
subcontractors--flood insurance vendors--to conduct some or all of the 
day-to-day processing and management of flood insurance policies. 

When flood losses occur, policyholders report them to their insurance 
agents, who notify the WYO insurance companies. The WYO companies 
review the claims and process approved claims for payment. FEMA 
reimburses the WYO insurance companies from the National Flood 
Insurance Fund for the amount of the claims plus expenses for adjusting 
and processing the claims, using rates that FEMA establishes. Claims 
amounts may be adjusted after the initial settlement is paid if 
claimants submit documentation showing that some costs were higher than 
estimated. 

FEMA Does Not Systematically Consider WYOs' Actual Expenses When 
Setting Payment Rates: 

FEMA does not systematically consider actual flood insurance expense 
information when it determines the amount it pays WYOs for selling and 
servicing flood insurance policies and adjusting claims. Since the 
inception of the WYO program, FEMA has used proxies to determine the 
rates at which it pays WYOs. For example, payments for operating 
expenses are determined annually based on the average industry 
operating expenses for five lines of property insurance. WYOs' actual 
flood insurance expense information has been available since 1997, when 
the companies began reporting the data to NAIC. However, FEMA has not 
systematically considered these data when setting its payment rates, 
and thus does not determine in advance the amounts built into payment 
rates for estimated expenses and profit. Further, FEMA has not, after 
the end of each year, compared the WYOs' actual expenses to payments it 
makes to the WYOs. Because FEMA does not routinely take WYOs' actual 
flood expenses into account when calculating payments and does not 
analyze actual payments and WYO flood insurance expenses, it does not 
have the information it needs to determine whether its payments are 
appropriate and how much profit is included in its payments to WYOs. 

FEMA has occasionally modified its methods for determining the amount 
of expense payments, but only the last of these modifications, made in 
2008, has taken into account the amount of actual WYO insurance 
expenses. In 2001, FEMA increased its payments to WYOs for servicing 
flood policies by an additional 1 percent of written premiums after 
some WYOs told FEMA that the payment amounts, based on the proxy used, 
were not sufficient to cover their operating expenses. FEMA did not 
take into consideration WYOs' actual expenses in making these 
additional payments, which continued each year since 2001 and totaled 
about $25 million in fiscal year 2007. However, we found that the 
payments to the six WYOs we reviewed exceeded their actual operating 
expenses even before these payments were increased by an additional 1 
percent of written premiums. FEMA did consider actual flood insurance 
expenses in 2008 when it changed its method of paying claims processing 
expenses. Beginning in fiscal year 2008--in response to the significant 
increase in total payments made to WYO companies in fiscal year 2005 
and 2006 following the 2004 and 2005 hurricanes--FEMA changed its 
method for paying claims processing expenses to take into account 
actual flood expense data obtained from a selected number of WYO 
companies. These examples illustrate the benefit of considering actual 
flood expense data in administering the WYO program. 

We recognize that the consistency of WYOs' reporting to NAIC needs to 
be improved in order for data on the companies' expenses to be fully 
utilized. For example, we found that, among other things, some 
companies reported their flood insurance expenses to NAIC after 
offsetting them with the payments they received from FEMA. We also 
found that the actual expenses of one of the six companies we reviewed 
included payments made under service agreements with an affiliated 
company that may include profit distributions that should not be 
included in the expense amounts considered when setting payment rates. 
Nevertheless, we were able to use NAIC flood insurance data, 
supplemented with information obtained from WYO company officials, to 
compare the actual flood insurance expenses our six selected companies 
incurred and the payments they received for calendar years 2005 through 
2007. We found that FEMA's payments exceeded the companies' actual 
expenses by $327.1 million, or 16.5 percent of total payments made. 

Our results highlight the importance of FEMA's considering actual flood 
expense data in administering the WYO program. In accordance with our 
Standards of Internal Control in the Federal Government, FEMA should 
ensure that its payment rates to WYOs are appropriate by, for example, 
comparing payments with actual flood insurance expenses.[Footnote 5] 
Further, federal managerial cost accounting standards state that 
reliable cost information is critical to the proper allocation and 
stewardship of federal resources and that actual cost information is an 
important element agency management should consider when setting 
payment rates.[Footnote 6] 

FEMA Has Not Aligned Its Bonus Structure with Its Long-Term Goals for 
NFIP: 

FEMA has not aligned its bonus structure for WYOs with its goals for 
NFIP, such as increasing penetration in low-risk flood zones, among 
homeowners without federally-related mortgages in all zones, and in 
geographic areas with repetitive losses and low penetration rates. 
Instead, FEMA uses a broad-based distribution formula that awards a 
bonus of 0.5 percent to 2 percent of the premiums collected if WYOs 
achieve a 2 percent to 5 percent net growth in policies on an annual 
basis. This formula primarily rewards companies that are new to NFIP, 
when it is easiest to increase the percentage of net policies from a 
small base. Further, we found that most WYOs generally offered flood 
insurance when requested but did not strategically market the product 
as a primary insurance line. As a result, any sales increases may in 
fact result from external factors that are outside the companies' 
control, rather than from marketing efforts--factors such as flood 
events, changes in the housing market, and economic developments. For 
example, sales of flood insurance tend to rise after flooding events, 
and FEMA's Floodsmart media marketing campaign, which also has a goal 
of increasing flood policies by 5 percent annually, may also impact 
flood insurance sales. Moreover, FEMA does not review the WYOs' 
marketing plans and therefore lacks the information needed to assess 
the effectiveness of either the WYOs' efforts to increase participation 
or the bonus program itself. 

The Government Performance and Results Act of 1993 requires agencies to 
conduct systematic studies to assess how well programs are working. 
When program results could be influenced by external factors, agencies 
can use intermediate goals to identify the program's discrete 
contribution to a specific result. Although a study funded by FEMA 
suggested that the agency should focus on increasing market penetration 
in low-risk flood zones, in targeted geographical areas, and in small, 
special high-risk flood hazard areas, FEMA has not set targeted market 
penetration goals beyond its 5 percent goal of increasing policy 
growth. Having intermediate targeted goals could help expand program 
participation, and linking such goals directly to the bonus structure 
could help ensure that NFIP and WYO goals were in line with each other. 

FEMA Followed Some but Not All of Its Internal Control Requirements and 
Procedures: 

FEMA has explicit financial control requirements and procedures for 
overseeing the WYO program. FEMA's Control Plan provides guidance for 
WYOs that is intended to ensure compliance with the statutory 
requirements for NFIP and that contains several checks and balances to 
help ensure that taxpayers' funds are spent appropriately.[Footnote 7] 
The plan has four major components that include requirements for: (1) 
monthly data and financial reporting, (2) claims reinspections by 
FEMA's contractor, (3) various audits by independent CPAs, including 
required biennial audits, audits for cause, and state insurance 
department audits, and (4) triennial operation reviews by FEMA staff. 
FEMA's Standards Committee is responsible for ensuring that 
participating companies are complying with the requirements. 

For the 10 WYOs in our sample, FEMA followed some but not all of the 
requirements and procedures of the Control Plan and did not 
systematically track the outcomes of the various audits, inspections, 
and reviews. Our review of FEMA's records for these WYOs showed the 
following: 

* FEMA collected nearly all of the required monthly data submissions. 

* WYOs from our sample whose claims were selected for reinspections 
were reinspected according to the Control Plan's methodology, and 
evidence of these activities was provided. 

* Biennial audits and underwriting and claims triennial reviews were 
also mostly implemented. FEMA officials said that they focused on 
claims and underwriting reviews because these areas were the most 
important to determining whether claims reimbursements to WYOs were 
appropriate. 

* Other audits, including audits for cause, state insurance department 
audits, and marketing, litigation, and customer service triennial 
operation reviews, were rarely or never implemented. FEMA officials 
said that they no longer performed marketing, litigation, and customer 
service operations reviews because each of these functions were being 
reviewed by other means. However, FEMA could not provide us with 
evidence that these reviews met the Control Plan's requirements. 

In addition, we found that WYO compliance with each component of the 
Control Plan was the responsibility of multiple units, and FEMA did not 
maintain a single, comprehensive monitoring system that would allow it 
to ensure compliance with all components of the plan. That is, FEMA did 
not centrally store WYO-specific evaluations, inspections, audits, or 
reviews that were to be performed in accordance with the Control Plan. 
FEMA officials told us that various staff within FEMA or its contractor 
was responsible for ensuring that appropriate documentation of 
oversight efforts were maintained. These officials told us that there 
was no centralized access, either physical or electronic, to all of the 
documentation produced in overseeing WYOs under the Control Plan. 

Systematically tracking compliance with the Control Plan could ensure 
that participating WYOs are collecting appropriate premiums and making 
appropriate claims payments. Since most payments made to WYOs are based 
on premiums collected and claims paid, adequate enforcement of the 
Control Plan is important to ensuring that WYOs are being compensated 
appropriately. Because FEMA does not implement all aspects of the 
Control Plan, it cannot ensure that the WYOs are fully complying with 
program requirements. 

Alternative WYO Program Administrative Structures Could Be Used to 
Incorporate Competition into the Payment Process: 

FEMA's current relationship with WYOs facilitates insurance companies' 
participation in NFIP. But, as previously discussed in this report, 
this relationship is based on a payment structure that may not reflect 
the actual expenses these companies incur. We examined three 
alternative administrative structures that could replace NFIP's payment 
arrangement with a competitively awarded contract that could lower 
costs for selling and servicing flood insurance policies and 
administering claims: 

* contracting with one or more insurance companies, 

* contracting with a single vendor (similar to the NFIP Direct 
program), or: 

* contracting with multiple vendors and maintaining the WYO network. 

Each of these alternatives has advantages and disadvantages in terms of 
the potential impact on the basic operations of administering flood 
insurance policies and adjusting claims, as well as on FEMA's oversight 
of the program and its contractors. For example, contracting with one 
or more insurance companies might lower FEMA's costs for the program 
through competitive bidding. But most insurance company officials we 
spoke to said that they did not want to be federal contractors because 
of the regulations that would apply and emphasized that they had agreed 
to participate in the WYO program only because it was not based on an 
explicit federal contract. Further, contracting with a single vendor, 
as FEMA does under the current NFIP Direct program, might be less 
expensive but would almost completely eliminate insurance companies' 
participation and their network of insurance agents. Experts we spoke 
with also pointed out that using a contractor to administer the flood 
program failed in the early 1980s due to the contractor's lack of 
experience in administering insurance policies. Finally, contracting 
with multiple vendors to service flood policies would allow FEMA to 
keep the WYO network and might make oversight more effective because 
FEMA would have a contractual relationship with significantly fewer 
companies. But experts we spoke to said that this structure would 
encroach on WYOs' ability to use a subcontractor to administer their 
flood line. Flood consultants, vendors, and trade groups we spoke to 
were more receptive to exploring an alternative structure using 
multiple vendors. 

Conclusions: 

Given the significant risk exposure to the federal government, it is 
imperative that FEMA carry out its stewardship responsibilities by 
effectively and efficiently overseeing the WYO program and the more 
than 90 participating insurance companies. FEMA has taken some steps to 
address these issues, including taking into consideration the actual 
expenses of a selected number of WYOs before changing its method for 
paying claims expenses and preparing a revised draft of its Control 
Plan, which had not been updated since 1999. Additional opportunities 
exist for FEMA to improve its oversight of the WYO program and ensure 
that payments to the participating insurance companies are based on 
actual company expenses, thereby improving the program's cost- 
effectiveness. However, our review demonstrates the following: 

FEMA sets rates for paying WYOs for their services without knowing how 
much of its payments actually cover expenses and how much goes toward 
profit. Specifically, it does not determine in advance the amounts 
built into the payment rates for estimated expenses and profit; 
annually analyze the amounts of actual expenses and profit in relation 
to the estimated amounts used in setting payment rates; or consider the 
results of the analysis of payments, actual expenses, and profit in 
evaluating the methods for paying WYOs. Moreover, it does not have a 
sound basis for its practice of paying WYOs an additional 1 percent of 
written premiums for operating expenses. As a result, FEMA does not 
have the information it needs to determine whether its payments to WYOs 
are reasonable. 

FEMA has not tied its bonus structure to the long-term strategic goals 
for the program. As a result, it cannot be assured that the WYO program 
is achieving its intended goals in the most cost-effective manner. 
Moreover, FEMA does not collect the information on the WYOs' marketing 
efforts, which is needed to determine whether the companies' marketing 
efforts are aimed at helping to promote increased participation among 
targeted groups and in targeted areas in line with NFIP goals. 

FEMA has not consistently implemented all aspects of its current 
Control Plan and does not systematically track WYOs' compliance with 
the plan's requirements. As a result, FEMA cannot ensure that the WYOs 
are fully complying with NFIP requirements, including oversight of the 
various payments that depend on accurate premiums collected and 
appropriate claims made. 

Recommendations for Executive Action: 

To provide transparency and accountability over the payments FEMA makes 
to WYOs for expenses and profits, we recommend that the Secretary of 
Homeland Security direct the Under Secretary of Homeland Security, 
FEMA, to: 

* determine in advance the amounts built into the payment rates for 
estimated expenses and profit; 

* annually analyze the amounts of actual expenses and profit in 
relation to the estimated amounts used in setting payment rates; 

* consider the results of the analysis of payments, actual expenses, 
and profit in evaluating the methods for paying WYOs; and: 

* in light of the findings in this report, immediately reassess the 
practice of paying WYOs an additional 1 percent of written premiums for 
operating expenses. 

To increase the usefulness of the data reported by WYOs to NAIC and to 
institutionalize FEMA's use of such data, we recommend that the 
Secretary of Homeland Security direct the Under Secretary of Homeland 
Security, FEMA, to: 

* take actions to obtain reasonable assurance that NAIC flood insurance 
expense data can be considered in setting payment rates that are 
appropriate, including identifying affiliated company profits in 
reported flood insurance expenses, and: 

* develop comprehensive data analysis strategies to annually test the 
quality of flood insurance data that WYOs report to NAIC. 

If FEMA continues to use the WYO bonus program, we recommend that the 
Secretary of Homeland Security direct the Under Secretary of Homeland 
Security, FEMA, to improve it by considering the use of more targeted 
marketing goals that are in line with FEMA's NFIP goals. 

To improve oversight of the WYO program and compliance with program 
requirements, we recommend that the Secretary of Homeland Security 
direct the Under Secretary of Homeland Security, FEMA, to: 

* consistently follow the Control Plan and ensure that each component 
is implemented; 

* ensure that any revised Control Plan include oversight of all 
functions of participating WYOs, including customer service and 
litigation expenses; and: 

* systematically track insurance companies' compliance with and 
performance under each component of the Control Plan and ensure 
centralized access to all the audits, reviews, and data analyses 
performed for each participating insurance company under the Control 
Plan. 

Agency Comments and Our Evaluation: 

We received written comments on a draft of this report in a letter from 
the Department of Homeland Security's Director, Departmental GAO/OIG 
Liaison Office, which is reproduced in appendix III. FEMA concurred 
with our recommendations regarding (1) the usefulness of the data that 
WYOs report to NAIC, (2) the alignment of the bonus structure with long-
term NFIP goals, and (3) the oversight of the WYO program. First, the 
letter noted that FEMA would work with NAIC to improve the quality of 
the flood expense data that WYOs report and would include the data as 
an additional item in determining the annual WYO expense allowance. 
Second, the letter stated that FEMA planned to examine the incentive 
bonus prior to making arrangements with WYOs for 2010 and 2011. FEMA 
said that this examination is to include an assessment of the 
incentive's effectiveness in increasing policies; the need for such an 
incentive; and possible alternatives to it, including identifying 
target markets where penetration is low and providing incentives for 
increasing policies in those markets only. Third, FEMA concurred with 
our recommendations regarding WYO program oversight, although it stated 
that the litigation, marketing, and customer service reviews were no 
longer included in the revised Control Plan because they were completed 
in other ways. Given the newness of these changes, this review did not 
include an assessment of FEMA's compliance with these alternative 
methods or their robustness relative to the Control Plan. Finally, the 
letter stated that FEMA had implemented new processes to improve the 
monitoring of WYOs' compliance with the Control Plan and would continue 
to look for ways to improve oversight in the future. While the letter 
did not provide details about the new monitoring processes, we are 
encouraged by these new steps and will be following up on these 
activities in our ongoing work. 

FEMA did not concur with our recommendations on improving the 
transparency and accountability of payments made to WYOs, specifically 
our recommendation that FEMA consider WYOs' actual expenses and profits 
when setting its payment rates. In its response, FEMA provided its 
views on issues that it believes impacted our analysis and the 
conclusions we drew from our work. Also, FEMA discussed why it does not 
consider actual flood insurance expense information. We disagree with 
FEMA's assertion that the issues it raised resulted in our reaching 
misleading conclusions, and we continue to recommend that when setting 
payments rates, FEMA should consider actual flood insurance expenses 
and the profits that result from its payments to WYO companies. 

Specifically, FEMA stated that our review was limited to only six 
companies, which FEMA believes are the low-cost operators for the five 
other lines of insurance used to determine the WYO expense allowance. 
FEMA stated that it seems reasonable that these companies would also 
have some of the lowest flood operating expenses and, therefore, 
conclude that the results of our analysis can be expected to 
significantly understate the operating expenses of the WYO companies as 
a whole. Our analysis of the expenses and profits of these companies, 
which represented 53 percent of total net premiums written, 71 percent 
of total claims losses paid, and 59 percent of total expense payments 
made by the WYO program for fiscal years 2005 to 2007, demonstrates the 
importance of information that FEMA does not have about actual expenses 
and profits that it was paying--information that we consider critical 
for making decisions regarding the proper administration of NFIP. 

FEMA stated that we did not perform a review of the stability of the 
federal flood expenses because the results for other years were not 
available to us. FEMA also stated that a review of the stability of 
federal flood expenses would show the inadvisability of reaching any 
conclusions from just 1 year of data and that basing compensation on a 
single year of data is always questionable, especially since our 
analysis, and the adjustments and assumptions we made in conducting our 
analysis, have not been vetted. However, our analysis showed that 
variances in profit over the 3 years we reviewed were caused by, among 
other things, variations in the expenses incurred to adjust and pay 
claims losses that also fluctuated from year to year. Moreover, we 
recognize that setting payments based on a single year of data may not 
be appropriate. Our recommendation that FEMA consider actual flood 
insurance expenses and profits in setting payment rates would not limit 
FEMA's consideration of actual expenses and profits to a single year of 
data. We anticipate that FEMA would annually perform an analysis of 
actual expenses and profits for the current year, and then incorporate 
that result into its analysis of these data covering the number of 
years that may be appropriate in the view of FEMA management. The 
results of the longitudinal analysis would be used to evaluate the 
rates being used and to determine in advance if a change to the rates 
is needed. Moreover, we agree that time should be allowed for others, 
such as the WYO companies and NAIC, to weigh in on the methodology for 
analyzing payments to the WYOs and their actual flood expenses. 
Importantly, however, any adjustments we made to the flood expenses 
reported by the WYOs for the purpose of our analysis were the result of 
information we obtained from and numerous discussions with WYO company 
officials. 

FEMA stated that actual expenses will be as much of a lagging indicator 
as the current methodology that uses A.M. Best numbers. FEMA also 
stated that even if actual expense data is considered to be completely 
reliable, by the time NFIP could use it to lower expense ratios, about 
2 to 3 years would have lapsed. FEMA uses the average expenses for five 
lines of property insurance other than the federal flood line for 
setting the operating expense payment rate. We recognize that 
considering WYOs' actual flood expenses will be a lagging indicator of 
the costs to service flood insurance policies. However, it will be a 
better indicator than FEMA's current methodology precisely because it 
will not reflect the trend of expenses for other lines of property 
business. Importantly, data now used to set payment rates based on 
other lines of business are subject to events and market forces that 
affect their expense ratios, but which are not relevant to the WYO 
program. Our recommendation that FEMA use actual flood expenses to set 
payment rates would differ from its current methodology in one 
important aspect: actual expenses and not a proxy would be used to set 
those rates. 

FEMA stated that our analysis assumes that actual WYO company expenses 
are stable, which FEMA concludes could yield misleading results. FEMA 
also stated that during the last 5 years insurance companies have 
managed to significantly reduce their operating expenses in other 
lines, and suspects that many of those efficiency gains also made it 
into companies' flood insurance operations. Our analysis was not based 
on any assumptions about the trends in WYO company expenses, in 
general, or flood expenses, in particular. Rather, we analyzed the 
actual flood expenses of selected companies over a 3-year period and 
compared the payments to the companies' actual flood expenses. As 
previously indicated, we observed fluctuations from year to year in 
actual flood expenses--in particular, expenses for adjusting and 
processing claims. Our recommendation that FEMA consider actual flood 
expenses and profit when setting payment rates will move FEMA from not 
knowing ("suspecting") the trend in actual flood expenses to 
considering those trends when setting rates, and not continuing to 
utilize proxies of other lines of business and the trends in those 
other lines that may not be relevant to the WYO program. Whether actual 
expenses are stable or otherwise is not relevant. 

FEMA stated that while we acknowledge in the body of our report that 
the years we reviewed--2005 to 2007--included the heaviest loss years 
in the history of the program and that these years are not indicative 
of typical years for loss adjustment expenses, we do not carry these 
caveats forward to our conclusions. FEMA stated that this results in a 
significant distortion of the expense reimbursement to WYO companies 
for the loss adjustment expenses. We did consider the unusually high 
losses in 2005 and 2006 when reaching our conclusion that FEMA sets 
rates for paying WYOs for their services without knowing how much of 
its payments cover expenses and how much is for profit. An analysis of 
actual expenses over time would enable FEMA to identify and correlate 
trends in actual WYOs' flood expenses to flood events and related 
claims losses. In fact, such an analysis could have helped FEMA to 
determine before the hurricanes of 2004 and 2005 that its method for 
paying claims processing expenses would result in significant payments 
in excess of actual expenses in heavy loss years. 

FEMA also stated that it addressed the problem that led to outsized WYO 
compensation by changing how WYOs are paid for claims processing 
expenses--referred to as Unallocated Loss Adjustment Expenses (ULAE). 
As support, FEMA cited the fact that WYOs' compensation for ULAE would 
have been $29 million less and $267 million less in fiscal years 2005 
and 2006, respectively, and would have been $9 million more in 2007. 
This would have been a combined decrease of $287 million for the 3 
years had this new payment schedule been in place then. Further, FEMA 
said that had the new payment schedule been in place in those years, it 
is likely that most, if not all, of the $155 million in profit from 
claims adjusting and processing that we reported for the six companies 
we reviewed would disappear. Prior to 2008, FEMA paid WYOs 3.3 percent 
of claim losses incurred for claims processing expenses. Beginning in 
2008, FEMA began paying the WYOs 1 percent of net premiums written and 
1.5 percent of claim losses incurred for their claims processing 
expenses. Our analysis showed that for the years 2005 to 2007 FEMA paid 
the six WYOs in our analysis profits of $327.1 million, including 
$155.2 million for claims adjusting and processing expenses, without 
knowing the actual flood expenses of any of these companies. FEMA's 
statements that it is not clear how much of its "savings" would have 
been borne by the six WYOs we reviewed and that FEMA can only speculate 
as to the effect the change would have on the companies' profit support 
our finding that FEMA does not know how much of its payments are for 
actual flood expenses and how much are for profit. Our point is that 
FEMA should know how much it is paying for expenses and for profit. 

In our judgment, considering actual expenses and profit in setting 
payment rates would result in a fair and equitable treatment of 
policyholders and the WYO companies over time, as well as serve to 
better protect the interests of taxpayers who ultimately bear the risk 
of losses from the WYO program. In discussing why it does not consider 
actual flood insurance expenses in setting payment rates, FEMA said 
that the WYO flood insurance program is based on companies' applying 
their normal business practices to NFIP and that these practices are 
bound to vary from company to company, and that it would be impossible 
for NFIP to accurately calculate actual expenses for 90 companies. FEMA 
also said that because of these two factors, and the fact that in the 
early years of the program actual flood insurance expenses of the 
companies' were not available, the decision was made to use information 
on other lines of insurance business from A. M. Best as a proxy in 
setting rates for payments to NFIP companies. FEMA also stated that 
even now, when some WYOs' flood insurance expense information is 
available, FEMA is not certain how accurate this information is, and 
that its management is skeptical that using actual flood insurance 
expenses, as GAO recommends, would yield lower payment rates than would 
result from the proxies that the program uses to set payment rates. 
FEMA further stated that it will work with NAIC to improve the quality 
of the flood expense data. 

We agree that business practices will vary among the participating 
companies and we agree with FEMA's statement that actual flood 
insurance expenses of WYOs were not readily available 25 years ago, 
when the program started. However, the National Association of 
Insurance Commissioners (NAIC) began requiring that companies report 
financial information on their federal flood insurance business in 
1997. Therefore, continuing to use other lines of business as proxies 
for setting WYO program payment rates is no longer necessary. Moreover, 
continuing with the same practice without assessing the reasonableness 
of the payments made to WYOs by comparing those payments to the WYOs' 
actual expenses does not provide sufficient justification or 
accountability for hundreds of million of dollars in federal program 
expenses. 

We are encouraged by FEMA's statement that, in the future, it will 
consider actual flood insurance expenses WYOs report to NAIC as an 
additional item when determining the annual WYO expense allowance, 
which is intended to cover the companies' operating, marketing, and 
administrative expenses. While this is a positive step, given the 
changes in the program and available information, we continue to 
recommend that FEMA consider all categories of expenses when setting 
payment rates, including payments for commissions, claims adjusting, 
and other claims-related expenses. Consideration of all categories of 
actual flood insurance expenses reported by WYOs in setting payment 
rates for these expenses, as well as the profits that the program pays 
to the companies for their participation in NFIP, is necessary for FEMA 
to know whether its payments to the WYOs are reasonable. 

As agreed with your office, unless you publicly announce the contents 
of this report earlier, we plan no further distribution of this report 
until 30 days from the report date. At that time, we will provide 
copies to the Chairman of the Senate Committee on Banking, Housing, and 
Urban Affairs; the Chairman and Ranking Member of the Senate Committee 
on Homeland Security and Governmental Affairs; the Chairman and Ranking 
Member of the House Committee on Financial Services; the Chairman and 
Ranking Member of the House Committee on Homeland Security; and other 
interested committees. We are also sending a copy of this report to the 
Secretary of Homeland Security and other interested parties. In 
addition, the report will be available at no charge on our Web site at 
[hyperlink, http://www.gao.gov]. Contact points for our Offices of 
Congressional Relations and Public Affairs may be found on the last 
page of this report. 

If you or your staff has any questions about this report, please 
contact Orice Williams Brown at (202) 512-8678 or willamso@gao.gov, or 
Jeanette M. Franzel at (202) 512-2600 or franzelj@gao.gov. GAO staff 
who made major contributions to this report are listed in appendix IV. 

Sincerely yours, 

Signed by: 

Orice Williams Brown: 
Director, Financial Markets and Community Investment: 

Signed by: 

Jeanette M. Franzel: 
Managing Director, Financial Management and Assurance: 

[End of section] 

Appendix I: Briefing Slides: 

Opportunities Exist to Improve Oversight of the WYO Program: 

Senate Committee on Banking, Housing,and Urban Affairs: 
June 19, 2009: 

Overview: 
* Objectives; 
* Summary of Findings; 
* Background; 
* Scope and Methodology; 
* Discussion of Findings and Recommendations. 

Objectives: 

Our objectives were to: 

* Assess the Federal Emergency Management Agency’s (FEMA) practice of 
determining the amounts it pays write-your-own(WYO) companies for 
selling and servicing flood insurance and adjusting claims. 

* Examine how FEMA evaluates the effectiveness of its WYO bonus 
incentive structure and whether bonuses paid reflect actual efforts to 
market flood insurance policies. 

* Evaluate the extent to which FEMA oversees the WYO companies, 
including collecting external audits, reinspecting flood claims, and 
conducting operational reviews. 

* Evaluate the advantages and disadvantages of three alternative 
arrangements for selling and servicing flood insurance policies and 
adjusting claims using a competitively awarded contract. 

Summary of Findings: 

FEMA does not systematically consider the WYO companies’ actual flood 
expenses when it determines the amount it pays the companies. 
Consequently, FEMA does not have the information it needs to determine 
(1) whether its payments are appropriate and (2) the amount of profit 
to the WYO companies that are included in its payments.[Footnote 8] 

FEMA’s bonus program lacks the necessary information to evaluate the 
incentive’s effectiveness, and the bonus that FEMA pays WYO companies 
does not reflect the agency’s marketing priorities. 

FEMA followed some but not all of the WYO oversight requirements for 
the 10 insurance companies in our sample and did not systematically 
track the outcomes of the audits, inspections, and reviews. 

Three alternative arrangements—each with advantages and disadvantages—
could replace FEMA’s current payment structure: a competitively awarded 
contract with either an insurance company, a single vendor, or a group 
of vendors. If it decides to make a change, Congress would have to 
balance the advantages and disadvantages of each option, particularly 
in regard to cost, oversight, and program coverage. 

Background: 

Congress established the National Flood Insurance Program (NFIP)in 1968 
to provide homeowners and businesses with insurance coverage against 
flood damage as an alternative to costly disaster assistance. As of 
September 2008, NFIP had 5.7 million policies in force. 

The WYO program, which was established in 1983, is administered by FEMA 
and as of September 2008, had about 90 participating insurance 
companies, 10 of which collect approximately 80 percent of NFIP’s 
premium revenue. 

* In FY 2008, the WYO program administered 97 percent of FEMA flood 
insurance policies. The remaining 3 percent were administered under the 
NFIP Direct program, which is run by a federal contractor. 

* The federal government assumes the liability for the insurance 
coverage and sets rates and coverage limitations, among other 
responsibilities. 

* WYOs sell and service flood insurance policies and adjust and pay 
claims on FEMA’s behalf; in turn, FEMA pays the companies for their 
services. 

FEMA annually enters into arrangements with WYO companies that set 
forth the roles and responsibilities of the federal government and the 
participating insurance companies, including the services the WYO 
companies will provide and the basis for the amounts the government 
will pay the companies for providing those services. 

Effective oversight of the WYO program depends on having accurate 
premiums and claims information to ensure that participating insurance 
companies are complying with program requirements. 

Figure 1: WYO Program Requirements: 

[Refer to PDF for image: illustration] 

Subsidy arrangement: 
FEMA: expense payments to WYO. 

Accurate expense payments calculations depend on accurate premium and 
claim information. 

Financial control plan: 

FEMA: claims $ to WYO; 
WYO: claims $ to policy holder. 

Policy holder: premiums $ to WYO; 
WYO: premiums $ to FEMA. 

Source: GAO analysis. 

[End of figure] 

As noted in our 2007 report,WYO payments ranged from $695 million in FY 
2004 to almost $1.6 billion in FY 2006, the year most of the Hurricane 
Katrina payments were made.[Footnote 9] 

In most years, WYOs receive between 30 and 40 percent of the total 
flood insurance premiums they collect, but the companies received more 
as a result of the 2004 and 2005 hurricanes. 

Figure 2: Amounts Paid to WYOs in Dollars and as a Percentage of 
Premiums, FY 2004 through 2008: 

[Refer to PDF for image: vertical bar graph] 

Fiscal year: 2004; 
Dollars paid to participating insurance companies: $0.69 billion; 	
Dollars paid to participating insurance companies as a percentage of 
premiums collected: 39.2%; 
Total claims payments for the fiscal year: $0.76 billion. 

Fiscal year: 2005; 
Dollars paid to participating insurance companies: $0.98 billion; 
Dollars paid to participating insurance companies as a percentage of 
premiums collected: 50.7%; 
Total claims payments for the fiscal year (Note: FEMA did not provide 
September 2005 claims payment data): $2.86 billion. 

Fiscal year: 2006; 
Dollars paid to participating insurance companies: $1.59 billion; 
Dollars paid to participating insurance companies as a percentage of 
premiums collected: 69.4%; 
Total claims payments for the fiscal year: $5.74 billion. 

Fiscal year: 2007; 
Dollars paid to participating insurance companies: $0.89 billion; 
Dollars paid to participating insurance companies as a percentage of 
premiums collected: 35.1%; 
Total claims payments for the fiscal year: $1.03 billion. 

Fiscal year: 2008; 
Dollars paid to participating insurance companies: $0.94 billion; 
Dollars paid to participating insurance companies as a percentage of 
premiums collected: 33.9%; 
Total claims payments for the fiscal year: $0.81 billion. 

Source: GAO analysis. 

[End of figure] 

Table 1: Types of Payments Made to WYO Companies: 

Types of payments: Commission expenses; 
Proxy to determine payment: Established in 1983 after consultations 
with industry representatives and have not changed since; 
Basis for calculating the payment, per the FY 2007 subsidy agreement: 
15 percent of net written premium. 

Types of payments: Operating expenses; 
Proxy to determine payment: Determined annually based on the average 
industry operating expenses for five lines of property insurance, as 
reported by A.M. Best; 
Basis for calculating the payment, per the FY 2007 subsidy agreement: 
16.2 percent, 15.8 percent, and 15.2 percent of net written premium in 
fiscal years 2005, 2006, and 2007, respectively. 

Types of payments: Claims adjustment expenses; 
Proxy to determine payment: Determined periodically based on 
information FEMA collects from independent adjusting firms on their 
cost of adjusting losses in other lines of insurance business; 
Basis for calculating the payment, per the FY 2007 subsidy agreement: 
From $60 to $1,250 in flat fees for claims up to $50,000; fees for 
claims over $50,000 are based on a percentage of the claim 
loss,beginning at 3 percent and declining to 2.1 percent for claim 
losses of more than $250,000. 

Types of payments: Claims processing expenses; 
Proxy to determine payment: Established in 1983 based on loss 
adjustment expense data for other lines of insurance and remained 
unchanged through 2007. Beginning in 2008, FEMA changed its payment 
rate for these expenses; 
Basis for calculating the payment, per the FY 2007 subsidy agreement: 
3.3 percent per claim losses incurred. 

Types of payments: Additional adjusting and other expenses; 
Proxy to determine payment: None; 
Basis for calculating the payment, per the FY 2007 subsidy agreement: 
Actual expenses incurred (e.g., litigation, engineering, and 
appraisal). 

Types of payments: Incentive bonuses; 
Proxy to determine payment: None; 
Basis for calculating the payment, per the FY 2007 subsidy agreement: 
0.5–2 percent of net written premium. 

Source: FEMA. 

Homeowners who have mortgages from federally-regulated lenders and 
whose properties are located in participating communities that are 
identified as being in special high-risk flood hazard areas (SFHAs) are 
required to purchase flood insurance. 

Most home and business owners with properties in participating 
communities are eligible to purchase flood insurance, even if their 
properties do not lie in SFHAs or do not carry a mortgage. 

According to a February 2006 Rand Corporation study, about 50 percent 
of homeowners inside SFHAs and less than 1 percent of homeowners 
outside SFHAs have flood insurance policies. 

Figure 3: Market Penetration in Special Flood Hazard Areas: 

[Refer to PDF for image: illustrated table] 

Inside special flood hazard areas: 
Single-family homes with NFIP policies as a percentage of total homes, 
percentage: 49%; 
Single-family homes with NFIP policies as a percentage of total homes, 
number: 1.76 million out of 3.57 million. 

Outside special flood hazard areas: 
Single-family homes with NFIP policies as a percentage of total homes, 
percentage: 1%; 
Single-family homes with NFIP policies as a percentage of total homes, 
number: 0.81 million out of 75.6 million. 

Source: Rand Corporation, February 2006 (data). 

[End of figure] 

FEMA’s Financial Control Plan Requirements and Procedures (Control 
Plan) is designed to oversee participating insurance companies and 
ensure that they are implementing the WYO program in accordance with 
NFIP regulations. 

Figure 4: Four Major Components of the Control Plan: 

[Refer to PDF for image: illustration] 

Four Major Components of the Control Plan: 
* Audits; 
* Monthly data and financial reporting; 
* Triennial operation reviews; 
* Claims reinspections. 

FEMA: Ensures that audits, reinspections, and reviews are performed. 

Standard committee: Reviews WYO performance under the Control Plan. 

Source: GAO. 

[End of figure] 

Scope and Methodology: 

To assess FEMA’s practice for determining the amount that it pays WYO 
companies, we compared the payments FEMA made to six WYO companies to 
the actual expenses that the companies reported to the National 
Association of Insurance Commissioners (NAIC) for calendar years 2005–
2007.[Footnote 10] These six companies represent 53 percent of total 
WYO program net premiums written, 71 percent of total WYO program claim 
losses paid, and 59 percent of total expense payments FEMA made to the 
approximately 90 companies for fiscal years 2005-2007. We also 
interviewed FEMA officials, WYO company officials,and NAIC officials. 
We did not audit the financial information the companies submitted to 
FEMA, NAIC, or us. We reviewed this information and performed other 
procedures, including converting FEMA’s fiscal year WYO data to 
calendar year amounts, to ensure that the data were sufficiently 
reliable for our purposes. 

To evaluate the effectiveness of its WYO bonus incentive structure and 
determine whether bonuses paid reflect actual efforts to market flood 
insurance policies, we discussed the bonus payment methodology with 
FEMA staff, WYO companies, and other stakeholders and reviewed 
documents relating to the methodology used to make the bonus payments. 

To evaluate the extent to which FEMA oversees the WYO companies,we 
tested FEMA’s compliance with aspects of the Control Plan. In so doing, 
we discussed procedures with appropriate FEMA staff, requested and 
reviewed all the documents that are required under the plan, and 
discussed these requirements with the WYO companies and other 
stakeholders. We also selected a sample of 10 WYO companies that 
represented approximately 50 percent of the flood insurance premiums 
written in fiscal year 2007, including companies of various sizes that 
incurred different levels of losses and had different operating models 
(e.g., vendor usage). We used a data collection instrument to 
facilitate our review of the required documents for the 10 WYOs 
selected. 

As requested, we identified three possible alternatives that would 
incorporate a competitive feature. To evaluate the advantages and 
disadvantages of these alternatives to the WYO program, we discussed 
the alternatives with FEMA staff; the WYO companies in our sample; and 
other stakeholders, such as flood insurance vendors and consultants. 

Objective 1: FEMA Does Not Consider Actual Expenses When Paying WYO 
Companies: 

Since the inception of the WYO program, FEMA has used various proxies 
to determine the amounts it pays WYO companies. FEMA officials stated 
that proxies were initially used in part because actual flood insurance 
expense data were not readily available. 

Without considering actual expense data, FEMA does not have the 
information it needs to determine whether its payments are appropriate. 
Further, FEMA does not have the information it needs to determine the 
amount of profit to the insurance companies that is included in its 
payments. 

For the purposes of this review, we considered profits to be the 
difference between the amounts paid to the WYO companies and the 
companies’actual flood insurance expenses on a pretax basis. The 
companies report their flood insurance expenses to NAIC, along with the 
expenses for their other property and casualty lines of business. 
[Footnote 11] Our calculation of the companies’ pretax profit will not 
equal the pretax profit for the flood line of business the companies 
reported to NAIC because, among other things, the NAIC amounts include 
allocations of miscellaneous other companywide income and expenses. 

In accordance with on our Standards of Internal Control in the Federal 
Government,FEMA should ensure that its payment rates to WYO companies 
are appropriate by, for example, comparing payments to actual flood 
insurance expenses.[Footnote 12] 

Further, federal managerial cost accounting standards state that 
reliable cost information is critical to the proper allocation and 
stewardship of federal resources and that actual cost information is an 
important element for agency management to consider when setting 
payment rates.[Footnote 13] 

Objective 1: NAIC Provides Information on WYO Companies’ Actual Flood 
Insurance Expenses: 

In response to a request by FEMA, in 1997 NAIC began requiring that 
companies report financial information on their federal flood insurance 
business as part of their annual filings. 

However,FEMA continued its practice of not systematically considering 
the actual historical flood insurance expense data that WYO companies 
submitted to NAIC when setting its expense payment rates. FEMA also did 
not consider this data after the fact, to compare payments it had made 
to companies’ actual annual expenses for the year or to evaluate its 
payment methodologies. 

We recognize that the consistency of WYOs’ reporting to NAIC needs to 
be improved in order for the benefits of the data to be fully realized. 
For example, we noted that, among other things, some companies reported 
their flood insurance expenses to NAIC after offsetting them with the 
payments they received from FEMA. However, we were able to use NAIC 
flood insurance data, supplemented with information obtained from WYO 
company officials, to compare actual flood insurance expenses that our 
selected companies incurred and the payments they received. 

Objective 1: FEMA Has Made Some Changes to Its Methods for Paying WYO 
Companies: 

Since 1983, FEMA has occasionally modified its methods for determining 
the amount of expense payments for certain WYO expenses. But in making 
these changes, FEMA has not considered the amount of actual flood 
insurance expenses incurred by the WYO companies, with one exception-—a 
2008 change in the method for paying claims processing expenses. 

FEMA also did not systematically consider actual flood insurance 
expenses in deciding to continue to increase the amount of operating 
expense payments by 1 percent of written premiums in each year since 
2001. 

FEMA instituted this increase after some WYO companies told FEMA that 
their actual expenses to service flood insurance policies exceeded the 
industry average for the five lines of property insurance other than 
flood that are used as a proxy to set this payment rate. These five 
lines of property insurance are fire, allied lines, farmowners multiple 
peril, homeowners multiple peril, and commercial multiple peril 
(nonliability portion). 

FEMA's decision increased operating expense payments to the WYO 
companies in 2001 and each year since; in fiscal year 2007, the 
additional 1 percent of written premiums was about $25 million. 
However, we found that the payments to the WYO companies we reviewed 
exceeded their actual operating expenses before these additional 
payments. 

FEMA did consider actual flood insurance expenses in making a 2008 
change in its method of paying claims processing expenses. 

In response to the significant increase in total payments made to WYO 
companies in fiscal years 2005 and 2006 after Hurricane Katrina, 
beginning in fiscal year 2008, FEMA began paying claims processing 
expenses that took into account actual flood expense data obtained from 
a selected number of WYO companies. 

FEMA estimated that its claims processing payments for all WYO 
companies would have been reduced by approximately $300 million for the 
period 2005 and 2006 had this new methodology been in effect. 

These examples of operating and claims payments that exceeded WYO 
expenses illustrate the need to consider annual actual flood expense 
data in administering the WYO program. 

Objective 1: FEMA’s Expense Payments to WYOs: 

FEMA pays WYO companies to sell and service flood insurance policies 
and to adjust claims. FEMA also pays WYO companies bonuses for 
achieving certain marketing goals. 

FEMA expense payments to WYO companies are determined by applying 
various proxies to either premiums written or claim losses (see table 
2). 

Table 2: WYO Program Net Written Premium, Claim Losses Paid, and 
Expense Payments to WYO Companies, Fiscal Years 2005 to 2007 
(unaudited) (Dollars in millions): 

Category: Net written premium; 
FY05: $1,940.5; 
FY06: $2,288.2; 
FY07: $2,535.4. 

Category: Claims losses paid; 
FY05: $2,691.5; 
FY06: $16,091.7; 
FY07: $897.7. 

Category: Expense payments to WYO companies; 
FY05: 
Based on net written premiums: $652.6; 
Based on claim losses: $329.6; 
Total: $982.2; 
FY06: 
Based on net written premiums: $738.2; 
Based on claim losses: $805.8; 
Total: $1,544.0; 
FY07: 
Based on net written premiums: $793.8; 
Based on claim losses: $74.7; 
Total: $868.5. 

Source: NFIP financial statements. 

[End of table] 

The increase in claim losses paid in fiscal year 2006 caused a 
significant increase in payments to WYO companies for adjusting and 
paying those claims (see table 3). 

Table 3: Types of Expense Payments Made to WYO Companies, Basis for 
Payments, and Amounts Paid, Fiscal Years 2005 to 2007 (unaudited) 
(Dollars in millions): 

Types of payments: Commission expenses; 
Basis for payments: 15 percent of net written premium; 
Amount paid, FY 05: $291.1; 
Amount paid, FY 06: $343.2; 
Amount paid, FY 07: $380.3. 

Types of payments: Operating expenses; 
Basis for payments: 16.2 percent, 15.8 percent, and 15.2 percent of net 
written premium in fiscal years 2005, 2006, and 2007, respectively[A]; 
Amount paid, FY 05: $322.5; 
Amount paid, FY 06: $350.72; 
Amount paid, FY 07: $393.5. 

Types of payments: Incentive bonuses; 
Basis for payments: 0.5-2 percent of net written premium[B]; 
Amount paid, FY 05: $39.0; 
Amount paid, FY 06: $44.3; 
Amount paid, FY 07: $20.0. 

Types of payments: Claims adjustment expenses; 
Basis for payments: From $60 to $1,250 in flat fees for claims up to 
$50,000; fees for claims over $50,000 are based on a percentage of the 
claim loss, beginning at 3 percent and declining to 2.1 percent for 
claims losses of more than $250,000. 
Amount paid, FY 05: $86.5; 
Amount paid, FY 06: $422.5; 
Amount paid, FY 07: $35.7. 

Types of payments: Claims processing expenses; 
Basis for payments: 3.3 percent per claim losses incurred; 
Amount paid, FY 05: $236.7; 
Amount paid, FY 06: $376.5; 
Amount paid, FY 07: $26.2. 

Types of payments: Additional adjusting expenses[C]; 
Basis for payments: Actual expenses incurred; 
Amount paid, FY 05: $6.4; 
Amount paid, FY 06: $6.9; 
Amount paid, FY 07: $12.8. 

Types of payments: Total; 
Amount paid, FY 05: $982.2; 
Amount paid, FY 06: $1,544.0; 
Amount paid, FY 07: $868.5. 

Source: NFIP financial statements. 

Notes: GAO calculations of commissions and operating expenses are 
derived from written premiums net of refunds and expense allowance 
amounts reported in the NFIP financial statements. 

[A] Operating expense amounts include miscellaneous expenses incurred 
of $8.2 million, ($10.8) million, and $8.1 million for fiscal years 
2005, 2006, and 2007, respectively. 

[B] Incentive bonus amounts represent bonus expenses accrued during the 
year in which WYO companies earned them. Bonuses are paid in the fiscal 
year following the year in which they are earned. Bonuses paid in 
fiscal years 2005, 2006, and 2007 were $31.6 million, $21.4 million, 
and $44.6 million, respectively. 

[C] Additional adjusting expenses include engineering, adjuster, 
litigation, and appraisal expenses. 

[End of table] 

Objective 1: FEMA’s Payments to Six WYO Companies Exceeded Their Actual 
Flood Expenses: 

We compared FEMA’s payments to six WYO companies to the companies’ 
actual flood expenses for the 3 calendar years 2005, 2006 and 2007. 

The total payments FEMA made to the six companies we tested exceeded 
the companies’ actual expenses reported to NAIC (as adjusted) by $327.1 
million. This profit, or excess of payments over expenses, represented 
16.5 percent of the payments made to those companies for the 3-year 
period ending December 31, 2007. 

The significant profit in 2006 (see table 4) was primarily attributable 
to payments the companies received to process claim losses incurred as 
a result of the 2005 hurricanes. In 2007, total payments declined 
primarily because of reduced claim losses. These factors, combined with 
the companies’ adjustments to their loss adjustment expenses reported 
to NAIC, contributed to payments in excess of expenses for 2007. 

Amounts representing profit distributions should be excluded from WYO 
company expenses for FEMA’s purpose of considering actual expenses when 
setting payment rates. For example, we found that the actual expenses 
of one of our six WYO companies included payments of over $30 million 
made in 2007 under service agreements with an affiliated company. It is 
not known what portion of these payments represent expense and profit 
distributions between the affiliated companies. Excluding affiliated 
company profits would increase the profit-excess of payments over 
expenses shown in table 4. 

Table 4: Total Expense Payments, Total Reported Expenses (as Adjusted), 
and Total Profit-–Excess of Payments over Expenses, for Six Selected 
Companies, Calendar Years 2005 to 2007 (Dollars in millions): 

Types of payments: Commission and operating expenses; 
Expense payments: $1,130.4; 
Reported expenses per NAIC, adjusted: $1,008.7; 
Profit: excess of payments over expenses: $121.7; 
Profit: excess of payments over expenses: 10.8%[A]. 

Types of payments: Incentive bonuses; 
Expense payments: $50.2; 
Reported expenses per NAIC, adjusted: N/A[B]; 
Profit: excess of payments over expenses: $50.2; 
Profit: excess of payments over expenses: [Empty]. 

Types of payments: Claims adjusting and processing expenses; 
Expense payments: $802.2; 
Reported expenses per NAIC, adjusted: $647.0; 
Profit: excess of payments over expenses: $155.2; 
Profit: excess of payments over expenses: 19.4%[C]. 

Types of payments: Total; 
Expense payments: $1,982.8; 
Reported expenses per NAIC, adjusted: $1,655.7; 
Profit: excess of payments over expenses: $327.1; 
Profit: excess of payments over expenses: 16.5%[D]. 

Source: GAO analysis of WYO companies’data. 

[A] Profit (excess of payments over commissions and operating expenses) 
for calendar years 2005, 2006, and 2007 was 11.6 percent, 9.9 percent, 
and 10.9 percent, respectively. 

[B] Reported WYO company expenses attributable to marketing activities 
are not separately identifiable. 

[C] Profit for calendar years 2005, 2006, and 2007 was 9.1 percent, 
74.5 percent, and (24.0) percent, respectively. Variances in the profit 
ratio per year are caused by differences in the nature and amount of 
claim losses, the amount of expenses to adjust and pay these losses, 
and differences between when companies recognize actual expenses and 
when they are paid for those expenses. 

[D] Total profit for calendar years 2005, 2006, and 2007 was 11.6 
percent, 28.2 percent, and 13.4 percent, respectively. 

[End of table] 

Objective 1: Recommendations: 

To provide transparency and accountability over the payments FEMA makes 
to WYO insurance companies for expenses and profit, we recommend that 
the Secretary of Homeland Security direct the Under Secretary of 
Homeland Security, FEMA, to: 

* determine in advance the amounts built into the payment rates for 
estimated expenses and profit; 

* annually analyze the amounts of actual expenses and profit in 
relation to the estimated amounts used in setting payment rates; 

* consider the results of the analysis of payments, actual expenses, 
and profit in evaluating the methods for paying WYOs; and; 

* in light of the findings in this report, immediately reassess the 
practice of paying WYOs an additional 1 percent of written premiums for 
operating expenses. 

To increase the usefulness of the data reported by WYO companies to 
NAIC and to institutionalize FEMA’s use of such data, we recommend that 
the Secretary of Homeland Security direct the Under Secretary of 
Homeland Security, FEMA, to: 

* take actions to obtain reasonable assurance that NAIC flood insurance 
expense data can be considered in setting payment rates that are 
appropriate, including identifying affiliated company profits in 
reported flood insurance expenses; and; 

* develop comprehensive data analysis strategies to annually test the 
quality of flood insurance data that WYO companies report to NAIC. 

Objective 2: FEMA Has Made Bonus Payments to WYO Companies: 

First begun in 1989, WYO marketing bonuses were discontinued in 1991 
after FEMA could not evaluate whether policy growth was due to WYOs’ 
efforts, flood events, the economy, or the mandatory purchase 
requirement. 

In 1995, FEMA restarted a new bonus program to allow WYOs to make up 
for a 2 percent reduction in the subsidy arrangement expenses (from 
32.6 percent to 30.6 percent of premiums collected). 

FEMA regulations stated that the bonus was to be determined based on 
whether WYOs met marketing goals set each year. 

FEMA has maintained an overall goal for the WYO bonus and for its 
current Floodsmart media marketing campaign of increasing flood 
policies by 5 percent annually. 

FEMA has administratively set a distribution formula that awards a 
bonus of 0.5 percent to 2 percent of the premiums retained if WYOs 
achieve a 2 percent to 5 percent net growth in policies. 

Figure 5: Timeline of FEMA’s Bonus: 

[Refer to PDF for image: illustration] 

1989-1991: Active years for FEMA bonus payment program to WYOs; 
1992-1994: No bonus payment program; 
1995: Bonus program restarted to make up for 2 percent subsidy 
agreement reduction; 
1996: Federal regulation tying WYO marketing goals to bonus; 
1995-1998: Cover America; 
1999-2003: Cover America II; 
2004-2007: Cover America III. 

Source: GAO. 

[End of figure] 

Objective 2: Bonuses Have Fluctuated Over Time: 

In 2005, following a record storm season, 60 percent of the WYOs 
received over $21 million in bonus payments. 

In 2006, the year after Hurricane Katrina, payments more than doubled, 
with 67 of 88 WYOs receiving almost $45 million in bonuses, and 59 
receiving the largest possible bonus. 

In 2007, bonuses paid were closer to the 2005 figure, with about60 
percent of WYOs receiving bonuses. 

In 2008, bonuses dropped to $9.2 million, with about 40 percent of WYOs 
receiving bonuses, reflecting a worsening economy and lower policy 
retention. 

Figure 6: Bonus Payments Made to WYOs, Fiscal Years 2005 through2008: 

[Refer to PDF for image: illustrated table] 

Policy growth level: less than 2.0%; 
Bonus level (percentage of premiums): 0%. 
WYO companies 2005 (percentage, number, dollars in millions): 40%; 37; 
$0. 
WYO companies 2006 (percentage, number, dollars in millions): 24%; 21; 
$0; 
WYO companies 2007 (percentage, number, dollars in millions): 38%; 36; 
$0. 
WYO companies 2008 (percentage, number, dollars in millions): 58%; 51; 
$0. 

Policy growth level: 2.0%; 
Bonus level (percentage of premiums): 0.5%; 
WYO companies 2005 (percentage, number, dollars in millions): 4%; 4; 
$1.6. 
WYO companies 2006 (percentage, number, dollars in millions): 1%; 1; 
$0.01. 
WYO companies 2007 (percentage, number, dollars in millions): 9%; 8; 
$3.3. 
WYO companies 2008 (percentage, number, dollars in millions): 6%; 5; 
$3.0. 

Policy growth level: 3.0%; 
Bonus level (percentage of premiums): 1.0%; 
WYO companies 2005 (percentage, number, dollars in millions): 8%; 7; 
$3.0. 
WYO companies 2006 (percentage, number, dollars in millions): 2%; 2; 
$0.1. 
WYO companies 2007 (percentage, number, dollars in millions): 11%; 10; 
$6.0. 
WYO companies 2008 (percentage, number, dollars in millions): 5%; 4; 
$0.1. 

Policy growth level: 4.0%; 
Bonus level (percentage of premiums): 1.5%; 
WYO companies 2005 (percentage, number, dollars in millions): 7%; 6; 
$6.0. 
WYO companies 2006 (percentage, number, dollars in millions): 6%; 5; 
$2.4. 
WYO companies 2007 (percentage, number, dollars in millions): 7%; 7; 
$0.9. 
WYO companies 2008 (percentage, number, dollars in millions): 7%; 6; 
$4.6. 

Policy growth level: 5.0%; 
Bonus level (percentage of premiums): 2.0%; 
WYO companies 2005 (percentage, number, dollars in millions): 40%; 39; 
$10.7. 
WYO companies 2006 (percentage, number, dollars in millions): 67%; 59; 
$42.1. 
WYO companies 2007 (percentage, number, dollars in millions): 35%; 33; 
$11.7. 
WYO companies 2008 (percentage, number, dollars in millions): 25%; 22; 
$1.5. 

Total: 
WYO companies 2005 (percentage, number, dollars in millions): 100%; 93; 
$21.3. 
WYO companies 2006 (percentage, number, dollars in millions): 100%; 88; 
$44.7. 
WYO companies 2007 (percentage, number, dollars in millions): 100%; 94; 
$21.9. 
WYO companies 2008 (percentage, number, dollars in millions): 100%; 88; 
$9.2. 

Source: GAO. 

Note: Percentages may not total 100% due to rounding. 

[End of figure] 

Objective 2: External Factors Affect Sales of Flood Insurance Policies: 

FEMA and WYO officials agreed that other factors outside of the control 
of the WYOs may have accounted for changes in the number of flood 
policies, including: 
* consumer awareness after a flood event, 
* FEMA’s Floodsmart marketing program, 
* housing market expansion/contraction, and, 
* economic growth/recession. 

WYO bonuses have generally tracked flood losses. 

Figure 7: WYO Bonuses Earned and Flood Losses: 

[Refer to PDF for image: line and vertical bar graph] 

Year: 1996; 
Losses paid: $828 billion; 
Bonuses paid by FEMA to WYOs: $12,481,806. 

Year: 1997; 
Losses paid: $519.5 billion; 
Bonuses paid by FEMA to WYOs: $6,813,433. 

Year: 1998; 
Losses paid: $886.3 billion; 
Bonuses paid by FEMA to WYOs: $9,420,000. 

Year: 1999; 
Losses paid: $755 billion; 
Bonuses paid by FEMA to WYOs: $4,200,000. 

Year: 2000; 
Losses paid: $251.7 billion; 
Bonuses paid by FEMA to WYOs: $14,313,306. 

Year: 2001; 
Losses paid: $1,276.9 billion; 
Bonuses paid by FEMA to WYOs: $15,737,006. 

Year: 2002; 
Losses paid: $433.6 billion; 
Bonuses paid by FEMA to WYOs: $19,379,312. 

Year: 2003; 
Losses paid: $778.8 billion; 
Bonuses paid by FEMA to WYOs: $25,188,512. 

Year: 2004; 
Losses paid: $2,214.3 billion; 
Bonuses paid by FEMA to WYOs: $31,485,922. 

Year: 2005; 
Losses paid: $3,600 billion; 
Bonuses paid by FEMA to WYOs: $21,394,212. 

Year: 2006; 
Losses paid: $632.7 billion; 
Bonuses paid by FEMA to WYOs: $44,300,024. 

Year: 2007; 
Losses paid: $523.2 billion; 
Bonuses paid by FEMA to WYOs: $21,900,010. 

Year: 2008; 
Losses paid: $626 billion; 
Bonuses paid by FEMA to WYOs: $9,200,000. 

Source: GAO analysis of FEMA data. 

Objective 2: Bonuses Benefit Mostly Newer and Smaller WYOs: 

FEMA and WYO officials also agreed that the bonus formula favored newer 
WYOs with fewer flood insurance policies. 

For example, in FY 2008: 

* Of the nine WYOs collecting premiums of $100 million or more 
(74percent of premiums written), four qualified for a bonus, and none 
qualified for the top (2 percent) bonus. These nine WYOs average 19 
years selling flood insurance. 

* The 22 WYOs that received the top (2%) bonus accounted for less than 
3 percent of all premiums. Nine had premiums of less than $1million, 
and 10 had premiums of between $1 million and $10 million. The largest 
WYO receiving the top bonus had $14.2 million in premiums. These 22 
WYOs averaged 6years selling flood insurance. 

Figure 8: FY 2008 Premiums Written and Bonuses Received by WYO Size: 

[Refer to PDF for image: two pie-charts] 

Premiums written: 
Small (less than $1 million): 0.4%; 9.8 premiums; 29 WYOs; 
Medium ($1 to $10 million): 4.7%; 129.2 premiums; 32 WYOs; 
Large: ($10 to $100 million): 18.1%; 498.5 premiums; 17 WYOs; 
Very Large (more than $100 million): 76.9% 2,117.3 premiums; 9 WYOs. 

Top (2%) bonus received: 
Small (less than $1 million): 40.9%; 9 WYOs; 
Medium ($1 to $10 million): 45.5%; 10 WYOs; 
Large: ($10 to $100 million): 13.64%; 3 WYOs; 
Very Large (more than $100 million): none. 

Source: GAO analysis. 

[End of figure] 

Objective 2: FEMA Has Not Evaluated WYOs’ Marketing Efforts: 

FEMA’s bonus distribution formula is based on the number of net new 
policies the WYOs sell. Moreover, FEMA has not tied the bonuses to 
WYOs’ actual marketing efforts. 

FEMA’s regulations state that the purpose of the premium withheld by 
WYOs (including an adjustment for the bonus) is in part to pay them for 
marketing expenses. 

However, external factors such as recent flood events can help drive 
sales of flood insurance. FEMA does not take such factors into account. 

Further, FEMA has not evaluated the bonus since it was reinstated in 
1996 or evaluated the feasibility of using a more targeted strategy. 

Under the Government Performance and Results Act of 1993, systematic 
studies should be conducted periodically or on an ad hoc basis to 
assess how well a program is working. The studies are often conducted 
by experts external to the program, either inside or outside the 
agency, as well as by program managers. When program results could be 
influenced by external factors, agencies can use intermediate goals to 
measure the discrete contribution to a specific result. 

Of the 10 WYOs that we reviewed: 

* Only one WYO had submitted a marketing plan, and for only one year. 

* FEMA officials had conducted only one marketing operational review, 
as required by their policies and procedures. 

* Most WYOs did not consider the flood insurance bonus as critical to 
their company marketing strategy. 

* Some WYOs generally offered flood insurance when requested but did 
not strategically market the product as a primary insurance line. 

- One of the WYOs we spoke with said that they received FEMA’s 
performance bonus even though they did no marketing at all. They 
explained that they get all of their new business from those mortgage 
lenders that require flood insurance. 

- Also, FEMA’s NFIP Direct program, which responds only to policy 
inquiries and does not market its services, would have qualified for 
the top bonus in 2006 if it were eligible for FEMA’s bonus program. 

Objective 2: A FEMA-Funded Study Has Suggested Marketing Goals for 
NFIP: 

FEMA does not have an explicit goal beyond the 5 percent annual 
increase in policies. 

The February 2006 Rand Corporation study, part of a multi-volume study 
of NFIP funded by FEMA, suggested that FEMA: 

* assess strategies to increase market penetration among homes that are 
not subject to the mandatory purchase requirement; 

* develop a marketing strategy to increase penetration in certain 
geographical areas, particularly noncoastal communities in SFHAs; 

* limit the effects of policy growth on loss variability by focusing 
efforts to increase market penetration outside the southeastern part of 
the country and the Gulf States; and; 

* address the low market penetration rates in communities with fewer 
than 500 homes in SFHAs. 

Objective 2: Recommendation: 

As currently established, the WYO program primarily rewards companies 
that are small or new to NFIP for sales increases that may result from 
external factors. 

The bonus would be more effective if FEMA established more targeted WYO 
goals in line with its NFIP goals, such as increasing penetration in 
low-risk flood zones, among homeowners without federally backed 
mortgages in all zones, and in geographic areas with repetitive losses 
and low penetration rates. 

Recommendation: 
To improve the WYO marketing bonus program should FEMA decide to 
continue it, we recommend that the Secretary of Homeland Security 
direct the Under Secretary of Homeland Security, FEMA, to consider 
using more targeted marketing goals that are in line with FEMA’s NFIP 
goals. 

Objective 3: FEMA Uses Four Major Oversight Tools: 

FEMA’s Control Plan includes a variety of tools for overseeing WYO 
companies, but FEMA has not used these controls consistently. 

The Control Plan is designed to ensure that WYOs are complying with the 
requirements of the flood program—including assessing whether premiums 
received and claims payments disbursed are accurate—through: 

* monthly data reporting, with participating WYO companies submitting 
signed certifications that are evaluated by FEMA’s contractor; 

* claims reinspections performed by FEMA’s contractor; 

* various audits by independent CPAs, including required biennial 
audits, audits for cause, and state insurance department audits; and; 

* triennial operation reviews performed by FEMA staff. 

FEMA has also established a Standards Committee, composed of insurance 
company representatives and FEMA officials, to oversee the performance 
of WYO companies under the Control Plan. 

Objective 3: FEMA Did Not Implement All Oversight Requirements: 

FEMA implemented some but not all of the requirements and procedures of 
the Control Plan. 

Figure 9: FEMA’s Compliance with the Control Plan for the 10 WYOs in 
GAO’s Sample: 

[Refer to PDF for image: illustrated table] 

Oversight component (from the Control Plan): Monthly policy and claims 
data review; 
FEMA's level of compliance: Consistently implemented. 

Oversight component (from the Control Plan): Claims reinspections; 
FEMA's level of compliance: Consistently implemented. 

Oversight component (from the Control Plan): Audits: Biennial; 
FEMA's level of compliance: Partially implemented. 

Oversight component (from the Control Plan): Audits: For cause; 
FEMA's level of compliance: Rarely or never implemented. 

Oversight component (from the Control Plan): Audits: State insurance 
department; 
FEMA's level of compliance: Rarely or never implemented. 

Oversight component (from the Control Plan): Triennial operation 
reviews[A]: Underwriting; 
FEMA's level of compliance: Consistently implemented. 

Oversight component (from the Control Plan): Triennial operation 
reviews[A]: Claims; 
FEMA's level of compliance: Consistently implemented. 

Oversight component (from the Control Plan): Triennial operation 
reviews[A]: Marketing; 
FEMA's level of compliance: Rarely or never implemented. 

Oversight component (from the Control Plan): Triennial operation 
reviews[A]: Litigation; 
FEMA's level of compliance: Rarely or never implemented. 

Oversight component (from the Control Plan): Triennial operation 
reviews[A]: Customer service; 
FEMA's level of compliance: Rarely or never implemented. 

Source: GAO. 

[A] FEMA officials told us that they were revising the Control Plan and 
no longer performed marketing, litigation, and customer service 
operation reviews. 

[End of figure] 

Objective 3: FEMA Consistently Collected, Evaluated, and Reported WYO 
Policy and Claims Data Submissions: 

Our review of FEMA’s records for the 10 WYOs in our sample showed that 
FEMA had collected nearly all of the required monthly data submissions. 

* The Control Plan requires that FEMA collect policies, claims data, 
and financial statements from participating WYO companies each month. 
[Footnote 14] 

* FEMA documents that we reviewed showed that the agency had collected 
over 90 percent of the required monthly data submissions, financial 
statements, and signed certifications for the 10 companies in our 
sample. 

Our analysis also showed that FEMA had evaluated most of the monthly 
submissions for data errors and financial inconsistencies for the 10 
companies in our sample. 

* FEMA documents we reviewed showed that the agency had evaluated 
nearly 90 percent of the required monthly data submissions and 
financial statements, for the 10 companies in our sample. 

- FEMA regularly found errors in the companies’ submissions, but none 
of these errors were above FEMA’s tolerance threshold, which FEMA 
officials identified as errors that are 6 months old. 

- FEMA also consistently found financial inconsistencies in each 
submission but did not assess these variances to determine whether they 
were above the tolerance threshold. 

FEMA documents we reviewed also showed that the agency had consistently 
reported and summarized WYO performance under the monthly submissions 
component of the Control Plan, including tracking errors, describing 
the causes of these errors, and logging follow-up done on WYO 
companies. 

Objective 3: The Claims Reinspection Program Is Consistent With the 
Control Plan: 

The Control Plan requires that FEMA inspect claims payments on a sample 
of policies for large flood events. FEMA’s contractor uses flood 
insurance adjusters to visit recently damaged properties and assess 
whether insurance company adjusters have accurately determined claims. 

According to the Control Plan, FEMA is to select files from those 
companies that have filed more than 400 claims for a single large flood 
event. 

Of the 10 WYO companies in our sample, FEMA officials said that 3 of 
them were subject to claims reinspection based on the selection 
methodology in the Control Plan. Using FEMA's flood insurance database, 
we verified that FEMA accurately applied the selection methodology, and 
FEMA provided evidence that claims reinspections were performed on 
these three WYO companies. 

Objective 3: FEMA Reinspected a Limited Number of Claims Files for Our 
Sample: 

Of the 11,998 flood claims filed in FY 2007 by the 10 WYOs in our 
sample, FEMA identified 1,539 claims, or about 13 percent of the total, 
that were eligible for reinspection according to the methodology in the 
Control Plan. 

* These eligible claims represent about 15 percent, or $31.2 million of 
the $210.2 million in claims paid in FY 2007. 

* FEMA reported that it actually reinspected 243 (about 16 percent)of 
the eligible claims. We found that this number represented about 2 
percent of the total claims (11,998) filed for these 10 companies in FY 
2007. 

We also confirmed that FEMA implemented a previous GAO recommendation 
to select claims files at random as part of their claims operation 
reviews. With the claims operation reviews, FEMA can potentially 
evaluate the accuracy of those claims files that were not selected for 
reinspection. 

Figure 10: Claims Reinspections for FY 2007 for the 10 WYOs in GAO’s 
Sample: 

[Refer to PDF for image: illustration] 

11,998 total claims filed: 100%; 
1,539 claims eligible for reinspection: 13% 
243 claims reinspected: 2%. 

Source: GAO analysis of FEMA data. 

[End of figure] 

Objective 3: FEMA Did Not Collect All the Audits Required in the 
Control Plan: 

FEMA collected some but not all of the required biennial audits for the 
10 companies in our sample. 

FEMA did not perform any audits for cause or collect any state 
insurance department audits on these 10 companies. 

Table 5: Biennial Audits Collected from GAO’s WYO Sample between Fiscal 
Years 2000 and 2007: 

Complete set of biennial audits collected: 
Number of companies in our sample for which FEMA had a full set of 
biennial audits covering the period of review: 0. 

Most biennial audits collected: 
Number of companies in our sample for which FEMA collected biennial 
audits covering two-thirds or more of the years we reviewed: 2. 

Some biennial audits collected: 
Number of companies in our sample for which FEMA collected biennial 
audits for one-third to two-thirds of the years we reviewed: 6. 

Few biennial audits collected: 
Number of companies in our sample for which FEMA collected biennial 
audits for less than one third of the years we reviewed: 2. 

[End of table] 

Objective 3: Starting in 2006, FEMA Began Consistently Collecting 
Biennial Audits: 

In response to findings that FEMA had failed to consistently enforce 
the biennial audit requirement, FEMA officials told us that they had 
exempted some companies from this requirement after the 2005 hurricane 
season. 

The officials said that they had exempted those companies that said 
that they were overwhelmed with administering flood claims after the 
2005 hurricane season. 

Starting in fiscal year 2006, however, we found that FEMA consistently 
collected the biennial audits from the 10 insurance companies in our 
sample. 

Objective 3: FEMA Focused on Underwriting and Claims Operation Reviews: 

While FEMA conducted nearly all of the required underwriting and claims 
reviews between FY 2000 and FY 2007, it conducted almost none of the 
marketing, customer service, and litigation reviews. 

Table 6: Operation Reviews for GAO’s Sample of 10 WYOs between FY 2000 
and FY 2007: 

Number of companies in our sample that did not undergo any operation 
reviews for the period: 
Underwriting: 9; 
Claims: 8; 
Marketing: 0; 
Customer Service: 0; 
Litigation: 0. 

Number of companies in our sample that had 1 or more operation reviews 
missing for the period: 
Underwriting: 1; 
Claims: 2; 
Marketing: 1; 
Customer Service: 1; 
Litigation: 0. 

Number of companies in our sample that had a complete set of operation 
reviews for the period: 
Underwriting: 0; 
Claims: 0; 
Marketing: 9; 
Customer Service: 9; 
Litigation: 10. 

[End of table] 

Objective 3: FEMA Focused on Underwriting and Claims Operation Reviews: 

Nearly all of the operation reviews FEMA conducted involved 
underwriting and claims. 

* FEMA officials said that they focused on claims and underwriting 
reviews because these areas were the most important to determining 
whether participating insurance companies were collecting appropriate 
premiums and making appropriate claims payments. 

FEMA officials said that they no longer performed marketing, 
litigation, and customer service operation reviews because each of 
these functions were being reviewed by other methods. 

* Litigation: FEMA officials said that they collected the data to 
ensure correct litigation payments to insurance companies but did not 
do operation reviews for these cases. 

* Customer Service: FEMA officials said that they relied on state 
insurance departments to report to them any deficiencies in customer 
service from participating companies. 

* Marketing: FEMA officials said that companies were already 
incentivized to market flood insurance under the bonus program and that 
as a result, FEMA no longer needed to perform operation reviews to 
ensure that the companies were actually marketing flood polices. 

Objective 3: FEMA’s Draft Control Plan Removes Three Operation Review 
Requirements: 

FEMA officials provided a draft Control Plan showing that the agency 
would no longer require the marketing, litigation, and customer service 
operation reviews. 

We reviewed the draft Control Plan and found that FEMA had not replaced 
the litigation and customer service operation reviews with the 
information that they said that they had collected in lieu of these 
reviews. 

* FEMA officials said that they collected information on all payments 
made for litigation expenses and approved those that were for more than 
$5,000. However, their draft Control Plan did not include this 
oversight requirement. 

* In addition, FEMA staff said that they relied on the various state 
insurance departments to report deficient customer service, but their 
draft Control Plan did not include this review as a component of WYO 
oversight. 

* Furthermore, because FEMA did not obtain any state insurance 
department audits on the 10 WYOs in our sample, we could not determine 
whether this information was being collected from the states for any of 
the WYO companies. 

If FEMA views the Control Plan as its primary oversight tool, key 
components should be included in the plan to help ensure that WYOs are 
fully complying with program requirements. 

However, if FEMA establishes a bonus program that is more in line with 
its own marketing goals, FEMA will be able to measure WYO marketing 
efforts annually and may not need a separate marketing operation 
review. 

Objective 3: The Standards Committee Focused on Data Submissions and 
Operation Reviews: 

The Standards Committee met at least twice a year to discuss WYO 
performance under the Control Plan. 

Our review of committee minutes found that the discussions centered 
largely on monthly data reporting and claims and underwriting operation 
reviews. 

The committee did not discuss results from claims reinspections, 
biennial audits, audits for cause, or state insurance department 
audits. 

Figure 11: Topics of Discussion at Standards Committee Meetings, 
October 2003 to March 2008: 

[Refer to PDF for image: stacked vertical bar graph] 

Date: October 2003; 
Number of WYOs discussed: Operation reviews: 0; 
Number of WYOs discussed: Monthly data reporting: 11. 

Date: June 2004; 
Number of WYOs discussed: Operation reviews: 0; 
Number of WYOs discussed: Monthly data reporting: 25. 

Date: October 2004; 
Number of WYOs discussed: Operation reviews: 3; 
Number of WYOs discussed: Monthly data reporting: 14. 

Date: February 2005; 
Number of WYOs discussed: Operation reviews: 0; 
Number of WYOs discussed: Monthly data reporting: 5. 

Date: June 2005; 
Number of WYOs discussed: Operation reviews: 1; 
Number of WYOs discussed: Monthly data reporting: 8. 

Date: October 2005; 
Number of WYOs discussed: Operation reviews: 1; 
Number of WYOs discussed: Monthly data reporting: 13. 

Date: March 2006; 
Number of WYOs discussed: Operation reviews: 3; 
Number of WYOs discussed: Monthly data reporting: 8. 

Date: July 2006; 
Number of WYOs discussed: Operation reviews: 2; 
Number of WYOs discussed: Monthly data reporting: 11. 

Date: October 2006; 
Number of WYOs discussed: Operation reviews: 1; 
Number of WYOs discussed: Monthly data reporting: 11. 

Date: January 2007; 
Number of WYOs discussed: Operation reviews: 0; 
Number of WYOs discussed: Monthly data reporting: 4. 

Date: February 2007; 
Number of WYOs discussed: Operation reviews: 1; 
Number of WYOs discussed: Monthly data reporting: 7. 

Date: March 2007; 
Number of WYOs discussed: Operation reviews: 1; 
Number of WYOs discussed: Monthly data reporting: 9. 

Date: July 2007; 
Number of WYOs discussed: Operation reviews: 1; 
Number of WYOs discussed: Monthly data reporting: 11. 

Date: January 2008; 
Number of WYOs discussed: Operation reviews: 4; 
Number of WYOs discussed: Monthly data reporting: 15. 

Date: March 2008; 
Number of WYOs discussed: Operation reviews: 1; 
Number of WYOs discussed: Monthly data reporting: 15. 

Source: GAO analysis. 

[End of figure] 

Objective 3: FEMA Implemented Three Previous GAO Recommendations on 
Oversight: 

Table 7: Assessment of FEMA’s Implementation of Previous GAO 
Recommendations Relating to the Control Plan: 

Oversight component of the Control Plan: Claims reinspections; 
Previous GAO recommendation: FEMA should draw a statistically 
representative sample of files for claim reinspections[A]; 
Status of recommendation: Partially implemented: FEMA’s March 2009 
draft Control Plan changes the file selection methodology to a random 
selection, but selects only from a population that fits a certain 
criteria of over 400 claims per a single event. For our sample of 10 
WYOs, we found that this eligible population represented a small 
portion (13 percent) of all claims filed in FY2007. 

Oversight component of the Control Plan: Biennial audits; 
Previous GAO recommendation: FEMA should conduct and review biennial 
audits[B]; 
Status of recommendation: Implemented: As of FY 2006, FEMA had 
consistently collected the biennial audits from the 10 WYOs in our 
sample. Furthermore, as of FY 2008 FEMA is using a tracking schedule to 
document audits received and those reviewed by FEMA staff. 

Oversight component of the Control Plan: Underwriting operation 
reviews; 
Previous GAO recommendation: FEMA should draw statistically 
representative samples of files for underwriting reviews[A]; 
Status of recommendation: Implemented: FEMA’s March 2009 draft Control 
Plan changes the methodology to reflect this recommendation and FEMA 
documentation showed that the agency is currently selecting 
statistically representative sample of files to review. 

Oversight component of the Control Plan: Claims operation reviews; 
Previous GAO recommendation: FEMA should draw statistically 
representative samples of files for claims reviews[A]; 
Status of recommendation: Implemented: FEMA’s March 2009 draft Control 
Plan changes the methodology to reflect this recommendation, and FEMA 
documentation showed that the agency is currently selecting 
statistically representative sample of files to review. 

[A] See GAO, Federal Emergency Management Agency: Improvements Needed 
to Enhance Oversight and Management of the National Flood Insurance 
Program, [hyperlink, http://www.gao.gov/products/GAO-06-119] 
(Washington, D.C.: Oct. 18, 2005). 

[B] See GAO, National Flood Insurance Program: FEMA’s Management and 
Oversight of Payments for Insurance Company Services Should Be 
Improved, [hyperlink, http://www.gao.gov/products/GAO-07-1078] 
(Washington, D.C.: Sept. 5, 2007). 

Objective 3: FEMA Does Not Systematically Track or Centrally Maintain 
Reports, Inspections, Audits, and Reviews: 

FEMA tracks WYOs’ compliance with each component of the Control Plan 
but does not have a single, comprehensive monitoring system. 

* As of FY 2008, FEMA was tracking biennial audits and the results of 
its internal reviews of these audits. 

* As of FY 2009, FEMA tracked underwriting and claims operation reviews 
and the results of these reviews. 

FEMA does not centrally store WYO-specific evaluations, inspections, 
audits or reviews performed under the Control Plan. 

* FEMA officials said that various staff within FEMA or their 
contractor manage the documentation of oversight performed on 
participating WYO companies. For example, FEMA’s underwriting staff 
manage the underwriting operation reviews and store the resulting 
documentation. 

* The officials told us that there was no centralized access, either 
physical or electronic, to all the documentation produced in overseeing 
the WYOs under the Control Plan. 

Objective 3: Recommendations: 

Because FEMA does not implement all aspects of the Control Plan,it 
cannot ensure that the WYOs are fully complying with program 
requirements. 

Compliance with the Control Plan also ensures that participating WYO 
companies are being compensated appropriately according to the 
regulations. 

In addition, because FEMA does not systematically track and centrally 
store all required evaluations, inspections, audits, or reviews, FEMA 
management cannot have timely access to all documentation in order to 
help ensure that it is effectively overseeing the 90-plus participating 
insurance companies. 

Recommendations: 

To improve oversight of the WYO program and compliance with program 
requirements, we recommend that the Secretary of Homeland Security 
direct the Under Secretary of Homeland Security, FEMA, to: 

* consistently follow the Control Plan and ensure that each component 
is implemented; 

* ensure that any revised Control Plan includes oversight of all 
functions of participating WYOs, including customer service and 
litigation; and; 

* systematically track insurance companies’ compliance with and 
performance under each component of the Control Plan and ensure 
centralized access to all the audits, reviews, inspections, and data 
analyses performed for each participating insurance company under the 
Control Plan. 

Objective 4: Alternatives to the Current WYO Program Would Involve 
Competitive Bidding: 

We identified three alternatives to FEMA’s current payment arrangement. 
Competition among firms could ensure that FEMA is incorporating the 
private sector into the flood program in a more cost-effective manner. 

Alternative 1: FEMA contracts with one or more insurance companies. 

* FEMA would solicit bids or proposals for a contract—not an 
arrangement—with one or more insurance companies to sell and service 
flood polices and adjust claims. 

Alternative 2: FEMA contracts with one vendor. 

* FEMA would solicit bids or proposals for a contract with a flood 
insurance vendor, as opposed to an insurance company, to service flood 
polices. This alternative is similar to the NFIP Direct program. 

* FEMA’s contractor would sell flood insurance policies only through 
independent insurance agents, excluding those agents that have 
contractual relationships to sell policies for only one insurance 
company. 

Alternative 3: FEMA contracts with multiple vendors and maintains the 
WYO network. 

* FEMA would solicit bids or proposals for contracts from multiple 
flood insurance vendors to service flood polices. 

* Insurance companies that want to sell flood insurance would contract 
with one or more of these vendors to service flood policies sold by 
insurance company agents. 

* Since FEMA would pay vendors to administer the flood policies, 
participating insurance companies would not incur any operational 
expenses for their flood line. However, FEMA would pay the insurance 
companies a sales bonus for performance. 

Objective 4: Alternatives to the Current WYO Program Would Involve 
Competitive Bidding: 

Figure 12: Alternatives to FEMA’s Current Payment Structure: 

[Refer to PDF for image: illustration] 

Current WYO Program: 

FEMA: arrangement based: 
Insurance companies (90+); 
Flood vendors (about 10); 
Independent and dependent agents and claims adjusters; 
Policyholders (5.5 million). 

Alternative 1: One or more insurers: 

FEMA: Contract based: 
Insurance companies (1 or more on contract); 
Flood vendor(s) (optional); 
Insurance company's agents and adjusters; 
Policyholders. 

Alternative 2: Contract with single vendor: 

FEMA: Contract based: 
Flood vendor (1 on contract); 
Independent agents only; Claims adjusters; 
Policyholders. 

Alternative 3: Contract with multiple vendors: 

FEMA: Contract based (plus oversight): 
[Bonus relationship with: insurance companies (90+)]; 
Flood vendors (about 10); 
Independent and dependent agents and claims adjusters; 
Policyholders. 

Source: GAO. 

[End of figure] 

Objective 4: Each Alternative Has Advantages and Disadvantages: 

Table 8: Advantages and Disadvantages of Alternative WYO Structures: 

Alternative structures: Current program: WYO program; 
Advantages: 
* Incorporates insurance industry; maximizes the number of companies 
and agents selling flood insurance and the number of claims adjusters. 
* Offers presence in all states and territories. 
* Has increased participation in the program since 1983 by 3.7 million 
polices.
Disadvantages: 
* Insurers are compensated per a schedule of fees rather than under a 
competitively awarded contract. 
* FEMA has not consistently been able to oversee the large number of 
WYO companies. 
* WYOs typically resort to using vendors to conform to the terms of the 
program, and FEMA does not have direct oversight of these vendors. 

Alternative structures: Alternative 1: FEMA contracts with one or more 
insurance companies; 
Advantages: 
* Incorporates competition, potentially leading to lower costs. 
* Incorporates insurance industry. 
* Makes oversight easier because fewer companies are involved.
Disadvantages: 
* A competitive process may or may not reduce the price per policy. 
* Insurance companies may not want to be federal contractors. 
* It minimizes the number of insurance companies by reducing the number 
of agents, limiting choice for consumers. 
* Insurers may not offer presence in all states and territories. 

Alternative structures: Alternative 2: FEMA contracts with one vendor; 
Advantages: 
* Incorporates competition, potentially leading to lower costs. 
* Makes oversight easier, with one company to oversee. 
* Improves administrative efficiency because flood vendors service most 
flood policies for the WYOs. 
Disadvantages: 
* The insurance industry is not directly involved. 
* The sales network is restricted to independent agents. 
* A Direct program failed in the early 1980s because the vendor did not 
have the industry expertise—-including long-standing relationships with 
agents and adjusters—to provide competent service to policyholders. 
* Independent agents may prefer to sell through insurance companies 
that they have a relationship with rather than through a vendor. 

Alternative structures: Alternative 3: FEMA contracts with multiple 
vendors and maintains the WYO network; 
Advantages: 
* Incorporates competition, potentially leading to lower costs. 
* Incorporates insurance industry; maintains the current network of 
insurance companies and their sales force. 
* Removes the need to pay WYOs for servicing and claims-related 
expenses. 
* Makes oversight easier because FEMA has a contractual relationship 
with significantly fewer companies.
Disadvantages: 
* A competitive process may or may not reduce the price per policy. 
* The direct relationship between the insurance industry and FEMA is 
severed, so FEMA might be less likely to incorporate insurance industry 
input. 
* Participating insurance companies would be required to use a vendor, 
even if they did not currently use one. 

[End of table] 

Objective 4: Experts Had Similar Views on the Three Alternatives: 

Most WYOs said that they did not want to be federal contractors because 
they did not want to conform to requirements such as labor laws. 

* As a potential cost savings, WYO officials said that the federal 
government should pass legislation to explicitly prohibit local 
governments from charging premium taxes on flood insurance premiums. 

FEMA officials that administer the WYO program were generally not 
receptive to the alternative payments structures and proposed another 
alternative for compensating WYOs. 

* FEMA officials said that insurance companies did not want to become 
federal contractors (alternative 1), that using a single vendor would 
likely result in fewer agents selling flood insurance, and that the 
hybrid approach would sever the long-standing relationship between FEMA 
and the insurance industry. 

* FEMA officials stated that in the past, they had considered various 
alternative approaches, including a pure premium approach to 
reimbursing the insurance companies that would authorize the WYOs to 
charge any price per policy to cover their expenses. This price would 
be above a minimum amount that FEMA identified as necessary to cover 
expected flood claims (the pure premium) and would allow the insurance 
companies to compete on price. 

Objective 4: Experts Had Similar Views on the Three Alternatives: 

Flood consultants, vendors, and trade groups were more receptive to 
exploring the third alternative (FEMA contracts with multiple vendors). 

* For example, one vendor we spoke to emphasized the need for multiple 
vendors in FEMA’s contract so that participating insurance companies 
could have a choice in determining which vendor to use, depending on 
their needs. 

FEMA Comments: 

We provided a draft of this presentation to FEMA for its review and 
they agreed with the content. 

[End of section] 

Appendix II: Scope and Methodology: 

WYO Expenses: 

To assess FEMA's practice of determining the amounts it pays to WYO 
insurance companies for their services without considering the 
companies' actual expenses, we compared the payments FEMA made to six 
WYO companies to the companies' actual flood insurance expenses. 
Insurance companies report flood insurance expense data in annual 
statements that are submitted to NAIC, which also include expenses for 
the companies' other property and casualty lines of business. The six 
WYOs we selected wrote flood insurance policies whose premiums totaled 
approximately 53 percent of the total WYO program premiums in fiscal 
year 2007. Our sample is not a representative sample of all WYOs, so 
the results of our analysis cannot be generalized to the universe of 
WYOs. 

We reviewed NAIC and FEMA flood financial information to assess the 
reliability of the information for our purposes. Because FEMA's 
payments to WYOs are determined by applying various proxies to premiums 
written or claim losses, we identified differences between the written 
premiums and claim losses that the companies reported to FEMA and NAIC. 
We obtained from WYO company officials explanations of these 
differences and determined that they would not significantly impact the 
companies' flood expenses. Further, to review the payments and expenses 
for the six companies selected, we: 

* converted FEMA's fiscal year WYO payment data to calendar year 
amounts for comparison to calendar year actual expenses reported to 
NAIC; 

* recalculated the expense payments reported by the six WYOs to FEMA on 
a test basis, using the written premium and claim losses incurred 
amounts the WYOs reported to FEMA and FEMA's payment rates, all without 
exception; and: 

* interviewed officials of the WYOs regarding their flood operations, 
accounting for and assignment of expenses to the flood line, and 
reporting of flood line data to NAIC. 

To assist in comparing actual expenses to the expense payments, we 
adjusted the WYOs' reported flood expenses in cases where, for example, 
companies offset their expenses incurred with the payments they 
received from FEMA. We found that the data the six companies submitted 
to NAIC and FEMA were, as adjusted by us, sufficiently reliable for our 
purposes. 

For the purposes of this audit, we considered profits to be to the 
difference between the amounts paid to the WYO companies and the 
companies' actual flood expenses on a pretax basis. In determining 
profits, we excluded miscellaneous other companywide income and 
expenses. 

We did not audit the financial data the six WYOs submitted to FEMA, 
NAIC, or to us. However, the federal flood financial information the 
companies submitted to NAIC was included in financial statements 
prepared in accordance with statutory accounting principles that were 
audited by independent certified public accounting firms, which 
expressed unqualified opinions for those years covered by our review. 
We compared amounts in the audited financial statements for calendar 
year 2005 to 2007 to amounts the companies reported in their annual 
statements for earned premiums, losses incurred, and underwriting and 
loss adjustment expenses incurred for all lines of property and 
casualty insurance. The differences we identified did not significantly 
impact our analysis. Further, the federal flood financial information 
the companies submitted to FEMA was included in biennial financial 
statements prepared in accordance with generally accepted accounting 
principles that were also audited by independent certified public 
accounting firms who expressed unqualified opinions. We reviewed the 
audited biennial financial statements for four of the six companies 
that had submitted separately audited statements to FEMA. The 
differences we identified did not significantly impact our analysis. 

Marketing and Bonuses: 

To evaluate the extent to which bonus payments to WYOs for increasing 
the number of flood policies they sell were based on WYOs' actual 
marketing efforts, we discussed the bonus payment methodology with FEMA 
staff, WYOs, and other stakeholders and reviewed documents relating to 
the methodology used to make the bonus payments. We analyzed the bonus 
payments and evaluated the extent to which they could be attributed to 
the marketing efforts of WYOs or to other external factors, such as 
flood events and economic conditions. To determine whether the existing 
bonus formula benefited WYOs with fewer policies and years in NFIP, we 
compared those WYOs by size and year in the program to those receiving 
top bonuses. 

For the 10 WYOs that we selected to interview, we identified those that 
had submitted marketing plans or undergone a marketing operations 
review. We also asked whether the bonus was a major factor in their 
marketing efforts and whether they considered flood insurance to be a 
primary insurance line. 

Program Oversight: 

To evaluate FEMA's compliance with the Control Plan, we discussed 
procedures with appropriate FEMA staff, requested and reviewed all the 
documents that were required under the plan, and discussed these 
requirements with the WYOs and other stakeholders. To address FEMA's 
oversight of the WYOs, we selected a sample of 10 WYOs that 
administered over 50 percent of the flood insurance policies written 
for the year 2007. Our sample included companies that covered the 
spectrum of WYOs--for instance, they differed in size based on premiums 
written, losses incurred, and overall rank in market share and included 
companies that did and did not use a vendor. 

We used a data collection instrument to review the required documents 
for the 10 WYOs selected for our review. Our data collection instrument 
included the four major components of FEMA's Control Plan: (1) monthly 
data and financial reporting; (2) claims reinspections performed by 
FEMA's contractor; (3) various audits by independent CPAs, including 
required biennial audits, audits for cause, and state insurance 
department audits; and (4) triennial operation reviews performed by 
FEMA staff. We used the 1999 Control Plan that was being used at the 
time of our review NFIP has a draft plan that it began developing in 
2007. 

Alternative Administrative Structures: 

In consultation with congressional staffers, we identified three 
possible alternatives that would incorporate a competitive feature. To 
evaluate the advantages and disadvantages of the three alternatives to 
the WYO program, we discussed the alternatives with staff within GAO; 
the WYOs in our sample; FEMA staff; and other stakeholders, such as 
flood insurance vendors and consultants. 

We conducted this audit from December 2007 to 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 the evidence we 
obtained provides a reasonable basis for our findings and conclusions 
based on our audit objectives. 

[End of section] 

Appendix III: Comments from the Department of Homeland Security: 

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

July 24, 2009: 

Orice Williams Brown: 
Director, Financial Markets and Community Investment: 
U.S. Accountability Office: 
441 G Street, NW: 
Washington, DC 20548: 

Thank you for providing Draft Report GAO-09-455, "Flood Insurance: 
Opportunities Exist to Improve Oversight of the WYO Program" to the 
Department of Homeland Security, Federal Emergency Management Agency 
(FEMA) for review and comment. FEMA completed its review and is 
providing the following comments on the report and its recommendations. 
FEMA concurs with recommendations 2, 3, and 4, however, does not concur 
with recommendation 1. 

FEMA Does Not Systematically Consider Actual WYO Company Expenses When 
Setting Payment Rates: 

The industry's willingness to participate in the Write Your Own (WYO) 
Program was conditioned upon a number of factors that have been 
explained before, including the nature of Federal oversight, an 
understanding of the primary role of the States in regulating the 
business of insurance, and a feasible method of determining equitable 
compensation for expenses. Because the WYO Program is based on 
companies applying their normal business practices to the sale and 
servicing of National Flood Insurance Program (NFIP) policies, these 
practices are bound to vary from company to company, and it would be 
impossible for the NFIP to accurately calculate actual expenses for 90 
companies. For that reason, and the fact that in the early years of the 
program flood expenses were not available, the decision was made to use 
as a proxy the expenses collected by A.M. Best for five similar lines 
of property coverage. Since these lines, unlike flood, are competitive 
lines of coverage, there is an inherent incentive to keep expenses 
ratios as low as possible, an incentive that accrues to the benefit of 
the NFIP. Even now, when some WYO company flood expense reports have 
become available, it is not certain how accurate they are, and there is 
serious skepticism on the part of FEMA management that they would yield 
a lower expense ratio for flood insurance than the A.M. Best figures. 

FEMA appreciates the analysis that GAO performed in determining the WYO 
companies' actual expenses and we plan to use a similar type of 
analysis when we initiate our own ongoing annual review of company 
expenses. Our concerns that the conclusions drawn from the data are 
misleading are discussed below: 

* The review was limited to only six companies, which we believe are 
the low cost operators for the five other lines of insurance used to 
determine the WYO expense allowance. It seems reasonable to expect that 
these companies would have some of the lowest flood operating expenses 
as well. Hence, the results of the analysis can be expected to 
significantly understate the operating expenses of the WYO companies as 
a whole. 

* There was no review of the stability of the Federal flood expenses 
because the results for other years were not available to GAO. However, 
such a review would show the inadvisability of reaching any conclusions 
from just one year of data. Basing expense compensation on a single 
year of data is always questionable, especially since this analysis has 
not been vetted. There were many adjustments and assumptions made by 
GAO. While we believe that those assumptions were reasonable, time 
should be allowed for others to weigh in on the appropriateness of 
those responses. 

* Using "actual company expenses" will be as much of a lagging 
indicator as the current methodology using A.M. Best's numbers. If 
actual expense data is considered to be completely reliable, by the 
time the NFIP could use it to lower expense ratios about two to three 
years would have lapsed. 

* The analysis assumes that actual WYO company expenses are stable, 
varying little from year-to-year, which FEMA thinks could yield 
misleading results. During the last five years, insurance companies 
have managed to significantly reduce their operating expenses in other 
lines and we suspect that many of those efficiency gains also made it 
into their flood insurance operations. 

* The time period analyzed includes the heaviest loss years in the 
NFIP's history, which is not indicative of typical years for loss 
adjustment expenses. This is acknowledged in the body of the report 
but, these caveats are not carried forward to the conclusions. This 
results in a significant distortion of the expected reimbursement to 
WYO companies for their Loss Adjustment Expenses (LAE) expenses. 

* The NFIP has addressed the Unallocated Loss Adjustment Expenses 
(ULAE) problem that led to outsized WYO compensation and has determined 
how much less the companies would have received if the current ULAE 
schedule had been in place then. Based on the paid losses shown under 
Marketing and Bonuses of the report, the WYO companies' compensation 
for ULAE under the schedule in place today would have been $29M and 
$267M less in fiscal years 2005 and 2006, and would have been $9M more 
in fiscal year 2007, for a combined decrease of $287M for the entire 
three years. It is unclear just how much of that reduction would have 
been home by the six companies reviewed in Table 4, but it is likely 
that most, if not all, of their $155M "profit" from claims adjusting 
and processing would have disappeared. 

FEMA Has Not Aligned Its Bonus Structure with Its Long-Term Goals for 
the NFIP: 

We will be examining the marketing incentive in anticipation of the 
2010-2011 WO Arrangement Year. The examination will include the extent 
to which the incentive has been effective in increasing policies, 
whether an incentive is needed, and possible alternatives to the 
current incentive. Of most interest is the possibility of identifying 
target markets where penetration is low and incentivizing policy growth 
in these areas. 

FEMA Followed Some but Not All of Its Internal Control Requirements and 
Procedures: 

We are providing the following clarifications in response to GAO's 
comments on FEMA's implementation of the Financial Control Plan. 

* With regard to audits for cause, the Financial Control Plan requires 
them only when the Federal Insurance Administrator, the Standards 
Committee, or the OIG require them. During the review period, FEMA was 
not required to perform an audit for cause. State Departments of 
Insurance (DOI) audits also require a trigger. In the case of a State 
DOI audit, a financial officer of the insurer alerts FEMA of an audit 
involving NFIP activities. During the review period, no notice was 
given to FEMA. In recent years State DOI's understand that the 
responsibility for NFIP matters rests with the Federal government and 
are most happy to routinely send those issues directly to FEMA. 

* In the most recent version of the revised but unpublished Financial 
Control Plan, the Litigation Operation Review is accomplished by a 
review of litigation expenses. Under the new process, when litigation 
expenses reach $5,000 or more for an individual law suit, they must be 
approved by FEMA before the insurer can be reimbursed. 

* FEMA's claims and underwriting branches receive copies of the 
Biennial Audits and based on the nature of the findings, follow-up on 
the next Claims or Underwriting Operational Review for that insurer. In 
addition, copies of all Claims Operation Review Reports are provided to 
the FEMA Claims Monitor of the contractor performing reinspections as 
these findings can enrich the reinspection process. In return, when 
reinspections are performed, the FEMA Claims Monitor will make findings 
available to the Claims and Appeals Branch for use during Claims 
Operation Reviews. 

* The litigation, marketing, and customer service reviews are no longer 
included in the revised, but unpublished Financial Control Plan. 

Alternative WYO Program Administrative Structures Could be Used to 
Incorporate Competitive Bidding into the Payment Process: 

Considering possible alternatives to the current NFIP structure of 
working through private insurance companies under the WYO Program 
involves a degree of complexity that may not be immediately apparent. 
The rationale underlying the WYO Program is that it is important to the 
effective implementation of the NFIP that the private insurance 
industry, with all its resources and expertise, be the primary vehicle 
for selling and servicing NFIP policies. The soundness of this 
rationale has been demonstrated time and again, especially in 
catastrophic flooding events that require the mobilization of vast 
company resources to respond quickly and efficiently. It has been 
generally acknowledged that the NFIP performed admirably in the 
response to Hurricane Katrina, which resulted in approximately 200,000 
claims. 

That said FEMA will give consideration to engaging a qualified firm to 
analyze possible alternatives to the WYO structure, including those 
proposed by the GAO, to determine the relative merits of such 
alternatives. In addition to examining the costs and benefits of each 
alternative, it will be important in this analysis to assess the 
willingness of the private insurance industry to participate in such 
alternatives and the extent to which various alternatives may reduce 
the number of companies participating in a Federal program, which would 
not be in the best interests of the NFIP. 

Recommendation 1: "To provide transparency and accountability over the 
payments FEMA makes to WYOs, we recommend that the Secretary of 
Homeland Security direct the Under Secretary, FEMA, to: 

* determine in advance the amounts built into the payment rates for 
estimated expenses and profit; 

* annually analyze the amounts of actual expenses and profit in 
relation to the estimated amounts used in setting payment rates; 

* consider the results of the analysis of payments, actual expenses, 
and profits in evaluating the methods for paying WYOs; and; 

* in light of the findings in this report, immediately reassess the 
practice of paying WYOs an additional 1 percent of written premiums for 
operating expenses." 

Response: Non-concur. FEMA does not concur with the set of 
recommendations regarding providing transparency and accountability 
over payments made to WYOs. The large number of insurers that 
participate in the WYO Program benefits NFIP policyholders and supports 
the goal of making flood insurance widely available. Since expenses 
vary by company, considering profit in setting the WYO expense 
allowance would potentially compromise achieving the NFIP's goals. We 
do not believe that currently available North American Industrial 
Classification (NAIC) data is adequate enough to allow us to consider 
profit in determining company compensation. 

Recommendation 2: "To increase the usefulness of the data reported by 
WYOs to NAIC and to institutionalize FEMA's use of such data, we 
recommend that the Secretary of Homeland Security direct the Under 
Secretary of Homeland Security, FEMA, to: 

* take actions to obtain reasonable assurance that NAIC flood insurance 
expense data can be considered in setting payment rates that are 
appropriate, including identifying affiliated company profits in 
reported flood insurance expenses; and; 

* develop comprehensive data analysis strategies to annually test the 
quality of flood insurance data that WYOs report to NAIC." 

Response: Concur. FEMA concurs with the set of recommendations 
regarding increasing the usefulness of the data being reported by WYOs 
to the NAIC. FEMA will continue to work with the NAIC to improve the 
quality of the flood expense data and will include this data as an 
additional item in determining the annual WYO expense allowance. 

Recommendation 3: "If FEMA continues to use the WYO bonus program, we 
recommend that the Secretary of Homeland Security direct the Under 
Secretary of Homeland Security, FEMA, to improve it by considering the 
use of more targeted marketing goals that are in line with FEMA's NFIP 
goals." 

Response: Concur. FEMA concurs with the recommendation to use more 
targeted marketing goals and will examine the marketing incentive 
program in anticipation of the 2010-2011 WYO arrangement year. 

Recommendation 4: "To improve oversight of the WYO Program and 
compliance with program requirements, we also recommend that the 
Secretary of Homeland Security direct the Under Secretary of Homeland 
Security, FEMA, to: 

* consistently follow the Control Plan and ensure that each component 
is implemented; 

* ensure that any revised Control Plan include oversight of all 
functions of participating WYOs, including customer service and 
litigation expenses, and; 

* systematically track insurance companies' compliance with and 
performance under each component of the Control Plan and ensure 
centralized access to all the audits, reviews, and data analyses 
performed for each participating insurance company under the Control
Plan." 

Response: Concur. FEMA concurs with the set of recommendations 
regarding oversight of the WYO Program. It should be noted that the 
litigation reviews are being addressed through a review of litigation 
expenses. Companies are required to submit information about their 
marketing activities as a condition of participation in the WYO Program 
and FEMA will review them annually. FEMA will continue to monitor 
customer service complaints filed with State insurance departments or 
submitted to the NFIP. FEMA has implemented new processes to improve 
the monitoring of WYO compliance with the Financial Control Plan and 
will continue to look for ways to improve oversight in the future. 

Thank you again for the opportunity to comment on this Draft Report and 
we look forward to working with you on future homeland security issues. 

Sincerely, 

Signed by: 

Jacqueline L. Lacasse, for: 

Jerald E. Levine: 
Director: 
Departmental GAO/OIG Liaison Office: 

[End of section] 

Appendix IV: GAO Contacts and Staff Acknowledgments: 

GAO Contacts: 

Orice Williams Brown, (202) 512-8678 or willamso@gao.gov: 

Jeanette M. Franzel, (202) 512-2600 or franzelj@gao.gov: 

Staff Acknowledgments: 

In addition to the contacts named above, the following individuals made 
key contributions to this report: Andrew E. Finkel (Assistant 
Director), Robert Owens (Assistant Director), Grace Haskins (Analyst- 
in-Charge), H. Donald Campbell, Emily Chalmers, Tony Eason, Fredrick 
Evans, Jeffrey Isaacs, Scott McNulty, Marc Molino, Roberto Pinero, Paul 
Revesz, and Carrie Watkins. 

[End of section] 

Footnotes: 

[1] See GAO, National Flood Insurance Program: FEMA's Management and 
Oversight of Payments for Insurance Company Services Should Be 
Improved, [hyperlink, http://www.gao.gov/products/GAO-07-1078] 
(Washington, D.C.: Sept. 5, 2007). 

[2] From 1969 through 1977, the Department of Housing and Urban 
Development (HUD), which administered the NFIP at the time, had an 
agreement with a consortium of private insurers known as the National 
Flood Insurers Association. Under this agreement, HUD reimbursed the 
association for operating costs and provided an annual operating 
allowance equal to 5 percent of policyholders' premiums. From 1978 to 
1983, a federal contractor--not an insurance company--sold and serviced 
policies. 

[3] Although WYOs handle most flood policies, FEMA still contracts with 
a company that serves as the insurer of last resort when an eligible 
customer cannot purchase insurance from a WYO. The Direct Program 
services both standard policies and other types, including repetitive 
loss and group policies. 

[4] For the purpose of this review, we considered profits to be the 
difference between the amounts paid to the WYO companies and the 
companies' actual flood insurance expenses on a pretax basis. In 
determining profits, we excluded miscellaneous other companywide income 
and expenses. 

[5] GAO, Standards for Internal Control in the Federal Government, 
[hyperlink, http://www.gao.gov/products/GAO/AIMD-00-21.3.1] 
(Washington, D.C.: November 1999). 

[6] Statement of Federal Financial Accounting Standards (SFFAS) No. 4, 
Managerial Cost Accounting Concepts and Standards for the Federal 
Government. 

[7] The WYO program is operating under a Control Plan from 1999, but 
NFIP has a draft plan it began in 2007. The draft revises the Control 
Plan to no longer require marketing, litigation, and customer service 
operation reviews. The plan had not been finalized as of July 2009. 

[8] For the purpose of this review, we considered profits to be the 
difference between the amounts paid to the WYO companies and the 
companies’ actual flood insurance expenses on a pretax basis. 

[9] GAO, National Flood Insurance Program: FEMA’s Management and 
Oversight of Payments for Insurance Company Services Should Be 
Improved, [hyperlink, http://www.gao.gov/products/GAO-07-1078] 
(Washington, D.C.: Sept. 5, 2007). 

[10] NAIC is an organization of state insurance regulators that, among 
other things, issues financial reporting requirements and guidance for 
insurance companies. Property and casualty insurance companies must 
submit an annual statement, including separate amounts for federal 
flood insurance, to NAIC. Companies must also prepare audited financial 
statements and reconcile amounts in those statements with the annual 
statement. 

[11] For the purposes of our analysis, we adjusted the flood insurance 
expenses that our selected WYO companies reported to NAIC to assist in 
comparing expense payments made by FEMA to the WYO companies’ actual 
expenses. 

[12] GAO,Standards for Internal Control in the Federal Government, 
[hyperlink, http://www.gao.gov/products/GAO/AIMD-00-21.3.1] 
(Washington, D.C.: November 1999). 

[13] Statement of Federal Financial Accounting Standards (SFFAS) No. 4, 
Managerial Cost Accounting Concepts and Standards for the Federal 
Government. 

[14] FEMA uses a contractor to manage the data collection, evaluate the 
data for errors and inconsistencies, and follow up with companies as 
needed. FEMA hired a new contractor for FY 2009 to perform these tasks, 
and FEMA officials said that processing would change from monthly to 
daily by fall 2009. 

[End of section] 

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