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Dogs and Cats Would Benefit from Additional Management Information and 
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Report to Congressional Requesters: 

United States Government Accountability Office:
GAO: 

September 2010: 

Animal Welfare: 

USDA's Oversight of Dealers of Random Source Dogs and Cats Would 
Benefit from Additional Management Information and Analysis: 

GAO-10-945: 

GAO Highlights: 

Highlights of GAO-10-945, a report to congressional requesters. 

Why GAO Did This Study: 

For decades, the public has been concerned that lost or stolen dogs 
and cats could be used in research. The U.S. Department of Agriculture’
s (USDA) Animal and Plant Health Inspection Service (APHIS) is 
responsible for the licensing and oversight of dealers who provide 
animals for research. Random source Class B dealers—who generally 
obtain dogs and cats for research from individuals, pounds, and other 
dealers—have been the focus of this concern. 

GAO was asked to determine (1) the number of random source Class B 
dealers, (2) the extent to which APHIS conducts inspections of these 
dealers and verifies their records, and (3) the costs associated with 
APHIS’s oversight of these dealers compared to other types of dealers. 
GAO reviewed the Animal Welfare Act (AWA); APHIS regulations and 
guidance; inspection reports; agency data, such as “traceback” data 
used to verify dogs and cats are not lost or stolen; and interviewed 
and reviewed documents from agency officials and other stakeholders. 

What GAO Found: 

As of July 2010, nine Class B dealers were licensed by APHIS to sell 
random source dogs and cats for research. This number has not changed 
significantly since fiscal year 2005 but declined from over 100 
dealers in the early 1990s. Random source dealers sold 3,139 animals 
to research facilities from November 2007 to November 2008—equivalent 
to about 3 percent of the dogs and cats used in research in fiscal 
year 2008. 

APHIS inspections have found numerous random source Class B dealer 
violations, such as the condition of animal housing and inadequate 
veterinary care, but APHIS has not completed all of its fiscal year 
2009 tracebacks related to these dealers or analyzed traceback 
verification data to detect problems with the process. In reviewing 
all inspection reports for fiscal years 2007 through 2009, GAO found 
APHIS generally inspected, or attempted to inspect, each of these 
dealers at least four times a year, as directed. APHIS guidance 
directs inspectors to examine the condition of a dealer facility, 
examine the condition of the dogs and cats present, and review dealer 
records. Overall, 54 of the 156 inspection reports cited at least one 
dealer violation, and seven of the nine dealers had one or more 
violations. As of July 2010, several dealers were under further APHIS 
investigation due to repeated violations. To verify dealer records and 
help ensure dealers are not obtaining lost or stolen animals, APHIS 
attempted a total of 326 tracebacks in fiscal year 2009. Though APHIS 
has conducted tracebacks since fiscal year 1993, it did not compile 
traceback data until fiscal year 2009. As of June 2010, data showed 
APHIS successfully traced a dog or cat back to a legitimate source 
about 71 percent of the time. About 29 percent of tracebacks APHIS 
conducted during this period were either unsuccessful or had not been 
completed as of June 2010, as directed by agency guidance. Because 
APHIS does not analyze traceback data, it cannot systematically detect 
problems with tracebacks and take all available steps to ensure random 
source dealers obtain dogs and cats from legitimate sources. For 
example, without analyzing data, APHIS cannot know whether the same 
sellers or inspectors were consistently involved in late or incomplete 
tracebacks. 

According to APHIS officials, the agency does not collect cost 
information specific to its oversight of random source Class B 
dealers, or to any other class of dealer it inspects. Officials also 
said the agency does not currently have a mechanism to determine these 
costs. Federal internal control standards call for agencies to obtain 
such information for program oversight. For example, APHIS inspectors 
do not record their time by specific oversight activity or class of 
dealer. Without a methodology to collect and track costs associated 
with the oversight of these dealers, and others APHIS inspects, APHIS 
management cannot identify trends or deficiencies requiring its 
attention. Furthermore, management cannot develop a business case to 
change its oversight program, if needed, to more effectively and 
efficiently use available resources. 

What GAO Recommends: 

GAO recommends that USDA (1) improve its analysis and use of the 
traceback information it collects for random source Class B dealers 
and (2) develop a methodology to collect and track the oversight costs 
of each class of dealer and others APHIS inspects. USDA agreed with 
GAO’s recommendations and noted specific actions it will take to 
implement them. 

View [hyperlink, http://www.gao.gov/products/GAO-10-945] or key 
components. For more information, contact Lisa Shames at (202) 512-
3841 or shamesl@gao.gov. 

[End of section] 

Contents: 

Letter: 

Background: 

Nine Class B Dealers Provide Random Source Dogs and Cats for Research, 
Far Fewer Than in Recent Decades: 

APHIS Inspections Have Found Numerous Dealer Violations, but APHIS Has 
Not Completed All Tracebacks or Fully Analyzed Traceback Data: 

APHIS Does Not Collect Data on the Cost of Its Oversight of Specific 
Classes of Dealers, or Others It Inspects, Including Random Source 
Class B Dealers: 

Conclusions: 

Recommendations for Executive Action: 

Agency Comments and Our Evaluation: 

Appendix I: Objectives, Scope, and Methodology: 

Appendix II: Comments from the U.S. Department of Agriculture: 

Appendix III: GAO Contact and Staff Acknowledgments: 

Abbreviations: 

APHIS: Animal and Plant Health Inspection Service: 

AWA: Animal Welfare Act: 

USDA: U.S. Department of Agriculture: 

[End of section] 

United States Government Accountability Office:
Washington, DC 20548: 

September 24, 2010: 

The Honorable Blanche L. Lincoln:
Chairman:
The Honorable Saxby Chambliss:
Ranking Member:
Committee on Agriculture, Nutrition, and Forestry:
United States Senate: 

The Honorable Collin C. Peterson:
Chairman:
The Honorable Frank D. Lucas:
Ranking Member:
Committee on Agriculture:
House of Representatives: 

The Honorable Tom Harkin:
United States Senate: 

Many medical advances that enhance the lives of humans originate from 
animal studies. For decades, however, the public has been concerned 
that dogs and cats used in research could be treated inhumanely and 
that lost or stolen pets could be sold for research. Adding to this 
concern has been media attention focused on violations by a few 
dealers who obtained dogs and cats from sources such as pounds and 
shelters and sold them for research--known as "random source" dealers. 
For example, Life magazine published an article in 1966 about a 
Maryland dealer who provided random source dogs and cats for research 
and the inhumane conditions in which he kept his animals. This article 
helped build momentum for legislation to address this concern. In a 
more recent example, a 2006 television documentary on an Arkansas 
random source dog dealer vividly showed the harsh way in which this 
dealer treated his dogs. 

Congress passed the Animal Welfare Act (AWA) in 1966 to protect animal 
owners from theft by preventing the use or sale of stolen animals. 
[Footnote 1] As amended, AWA is also intended to ensure the humane 
treatment of all animals that are intended to be used in research 
facilities, kept as pets, exhibited to the public, or commercially 
transported, among other things. AWA names the Secretary of 
Agriculture as responsible for its implementation and enforcement. 
That responsibility is delegated to the U.S. Department of 
Agriculture's (USDA) Animal and Plant Health Inspection Service 
(APHIS), which is responsible for the licensing and oversight of 
dealers who acquire and sell a variety of animals. Dealers who sell 
random source dogs and cats--animals obtained from pounds or shelters, 
auction sales, or from owners who bred and raised the animal on the 
owner's premises--are referred to as random source Class B dealers. 
They are a subset of Class B dealers and deal in animals that they did 
not exclusively breed and raise themselves.[Footnote 2] Some 
researchers maintain that the attributes of random source dogs and 
cats are important to biomedical research because these animals 
generally are more genetically diverse and older than those obtained 
from dealers who breed their own animals. AWA regulations require that 
random source Class B dealers maintain accurate and complete records 
on the acquisition and disposition of the dogs and cats they provide 
to researchers and that they adhere to certain standards of humane 
care and treatment. To ensure these dealers comply with AWA and its 
regulations, APHIS conducts unannounced inspections of their 
facilities at least quarterly and performs "tracebacks"--an oversight 
process unique to this type of dealer. Tracebacks involve APHIS 
inspectors using a dealer's records to trace a particular dog or cat 
back to the source from which that dealer obtained the animal, both to 
verify the legitimacy of the sale and to ensure the dog or cat was not 
lost or stolen. For example, using an individual's address information 
obtained from the dealer's records, an inspector may contact and 
interview the individual in person to verify the origin of the animal. 

In this context, our objectives were to determine (1) the number of 
Class B dealers that sell random source dogs and cats for research, 
(2) the extent to which APHIS conducts inspections of these dealers 
and verifies the accuracy of their records, and (3) the costs 
associated with APHIS's oversight of these dealers compared with its 
costs for oversight of other types of dealers. 

To determine the number of Class B dealers that sell random source 
dogs and cats for research and understand any change in this number 
over time, we reviewed APHIS documents and interviewed agency 
officials. To determine the extent to which APHIS inspects these 
dealers and reviews their records, we reviewed all APHIS inspection 
reports for fiscal years 2007 to 2009 and a random sample of 2009 
traceback documentation; interviewed agency officials, including all 
field inspectors assigned to random source Class B dealers; 
accompanied APHIS inspectors on three dealer inspections in two 
states; and interviewed all dealers currently licensed to sell random 
source dogs and cats. We also interviewed and reviewed documents 
obtained from a cross section of stakeholders, including animal 
welfare groups, medical research associations, the National Research 
Council, and the National Institutes of Health, to provide us with 
further context for understanding these issues. To determine the costs 
associated with APHIS's oversight of these dealers, we reviewed agency 
documents and interviewed agency officials. Appendix I provides a more 
detailed description of our objectives, scope, and methodology. 

We conducted this performance audit from June 2009 to September 2010 
in accordance with generally accepted government auditing standards. 
Those standards require that we plan and perform the audit to obtain 
sufficient, appropriate evidence to provide a reasonable basis for our 
findings and conclusions based on our audit objectives. We believe 
that the evidence obtained provides a reasonable basis for our 
findings and conclusions based on our audit objectives. 

Background: 

For decades, animal dealers have been providing dogs and cats to 
scientific researchers. Within this broader group, random source Class 
B dealers are those who provide dogs and cats that they obtain from 
pounds, shelters, auction sales, or owners who breed the animals on 
their premises. For certain research, some attributes of random source 
dogs and cats are considered useful and desirable, such as particular 
physical or genetic characteristics or the presence of specific 
diseases or conditions. For example, according to a study conducted by 
the National Research Council and information from the National 
Association of Biomedical Research, random source dogs tend to be 2 
years or older, tend to weigh from 60 to 80 pounds, and may be of 
mixed breeds.[Footnote 3] These attributes make them useful for 
cardiovascular, pulmonary, orthopedic, and age-related studies. Random 
source cats are considered useful for neurological and cardiovascular 
research and studies on respiratory diseases and the immune system. In 
addition, random source dogs and cats are considered useful for the 
study of certain naturally occurring infectious diseases, such as Lyme 
disease and heartworm, or as animal models for human diseases, such as 
sleep apnea and muscular dystrophy. 

AWA provisions cover a variety of animals, including any live or dead 
dog, cat, nonhuman primate, guinea pig, hamster, or rabbit to be used 
for research, testing, exhibition, or kept as a pet.[Footnote 4] AWA 
requires businesses or individuals covered by the law to be licensed 
or registered and to uphold minimum standards of care set in 
regulation. Licensing and registration under AWA is based on broad 
business categories, including animal dealers, animal exhibitors, 
animal carriers, and research facilities. Animal dealers and 
exhibitors are required to be licensed, while animal carriers and 
research facilities are required to be registered.[Footnote 5] There 
are two types of licenses for dealers--Class A and Class B--and one 
type of license for exhibitors--Class C. Class A licenses are 
specifically for animal dealers who only deal in the animals they 
breed and raise, while Class B licenses are for all other types of 
dealers and include the purchase and resale of any animal covered by 
AWA. Class C licenses are for businesses or individuals whose business 
involves displaying animals to the public. According to APHIS 
information, in fiscal year 2009 there were a total of 9,530 
facilities licensed or regulated under AWA, which consisted of 3,898 
Class A dealers, 1,031 Class B dealers, 2,732 Class C exhibitors, and 
1,257 research facilities, among others. 

The APHIS Animal Care program administers the requirements of AWA and 
its implementing regulations. APHIS Animal Care undertakes a variety 
of AWA regulatory activities, such as the licensing and registration 
of facilities with animals covered by the act, unannounced compliance 
inspections of licensed and registered facilities, and investigating 
public complaints. In addition, Animal Care administers activities 
related to the Horse Protection Act and has a role in planning and 
coordinating disaster response efforts for household pets. In fiscal 
year 2010, the Animal Care program had an annual budget of 
approximately $22.5 million and a staff of 209, including about 100 
field inspectors, who report to either of two APHIS Animal Care 
regional offices. The APHIS field inspector cadre is about evenly 
divided between veterinary medical officers, who hold veterinarian 
degrees, and animal care inspectors, or technicians. Eight field 
inspectors are assigned to random source Class B dealers, and five of 
them are veterinary medical officers. 

Inspecting regulated licensees' and registrants' facilities, which 
include random source dealer facilities, is the primary way APHIS 
Animal Care ensures compliance with AWA. All inspections are 
unannounced, and generally the owner or manager of a facility 
accompanies the inspector during the inspection. The time required to 
conduct inspections varies and is affected by facility size and the 
number of regulated animals involved, among other things. The 
inspection process consists primarily of two parts--a physical 
inspection and a records inspection. During the physical inspection, 
the inspector observes and documents the condition of the facility and 
the animals in the facility to ensure the dealer is adhering to AWA. 
The physical inspection may also involve the inspection of 
transportation devices, such as vehicles and shipping containers for 
animals, if necessary. During the records inspection, inspectors 
review records that dealers are required to maintain to ensure they 
are accurate and complete for all animals the dealers have obtained or 
sold. 

Random source Class B dealers are generally required to comply with 
the same regulations as other licensed Class A or B dealers. As such, 
when APHIS inspectors inspect these dealers, they are to ensure that 
they, like other dealers, are providing appropriate and adequate 
veterinary care; properly tagging or identifying animals; maintaining 
accurate records; and complying with standards of humane care, 
treatment, handling, and transportation of animals. However, APHIS 
guidance imposes additional controls on random source Class B dealers, 
and inspectors are directed to (1) perform quarterly facility 
inspections, which are more frequent than for any other dealers, and 
(2) use dealer records to conduct tracebacks by tracing a particular 
dog or cat back to the source from which a dealer obtained the animal, 
both to verify the legitimacy of the sale and ensure the dog or cat 
was not lost or stolen. APHIS determined that more frequent 
inspections were required for random source Class B dealers because 
they are higher risk than other types of licensees. 

APHIS inspectors are to conduct tracebacks within 30 days after each 
inspection by tracing some of the dogs or cats a random source Class B 
dealer obtained back to their sources. Specifically, an inspector 
randomly selects 4 to 10 of the dogs and cats acquired by the dealer 
since the last quarterly inspection.[Footnote 6] Inspectors then are 
to use the dealer's records on these selected animals to conduct 
tracebacks by either (1) visiting the seller listed on the dealer 
records or (2) if the seller is a pound, shelter, another licensed 
dealer, or an individual already known to the inspector, contacting 
them by telephone. During the visit or telephone call, inspectors are 
to obtain specific information from the seller to determine if the 
sale was from a legitimate source. For example, if an inspector 
conducted a traceback on a dog sold by an individual to a random 
source Class B dealer, the inspector would attempt to confirm that the 
requirement that the dog be bred and raised on the individual's 
premises is met. Once the traceback information is obtained, the 
inspector completes a traceback worksheet form, documents the 
traceback result, and forwards the completed form to the appropriate 
APHIS regional office. If, however, an inspector is unable to perform 
a traceback because the seller is outside of the inspector's 
geographic area, the inspector sends the incomplete traceback to the 
appropriate APHIS regional office. The traceback is then ultimately 
referred to an inspector who has responsibility for the area in which 
the seller is located. In these cases, inspectors are directed to 
complete referred tracebacks within 30 days of receiving the traceback 
request. 

Recently, the USDA Office of Inspector General completed an audit of 
the APHIS Animal Care program and reported several concerns related to 
APHIS inspections and enforcement.[Footnote 7] The Inspector General's 
May 2010 report found, among other things, that APHIS was ineffective 
in dealing with problematic dealers and that some inspectors did not 
cite or document violations properly. The report primarily focused on 
Class A dealers who breed and sell dogs. The Inspector General chose 
these dealers in part for their large facility size and the number of 
violations, or repeat violations, that they received during fiscal 
years 2006 through 2008. According to Inspector General officials, no 
random source Class B dealers were included in this study. 

APHIS concurred with the findings and recommendations in the Inspector 
General's report and has taken several actions to respond to the 
recommendations. Among them, the agency developed an Enhanced Animal 
Welfare Act Enforcement Plan in May 2010, which provides details on 
how the agency plans to focus its enforcement efforts on problematic 
dealers and improve inspector performance, such as by providing 
additional training and guidance to inspectors and their supervisors. 
APHIS also provided a new Inspection Requirements Handbook during the 
April 2010 national meeting it held with all of its Animal Care 
inspectors and regulatory staff in anticipation of the Inspector 
General's report, along with training on inspection enforcement and 
consistency. Additionally, APHIS redirected funding in June 2010 to 
provide an extra $4 million to help implement steps in the enforcement 
plan and proposes using this funding to, for example, hire additional 
Animal Care inspectors and supervisors (up to 60 additional personnel 
total). Though none of these actions were explicitly directed at 
random source Class B dealers, the new handbook contains some relevant 
supplemental information, including the previously released July 2009 
Standard Operating Procedures for Conducting Tracebacks from Random 
Source [Class] B Dealers, which generally directs that tracebacks be 
conducted within 30 days of an inspection. 

Nine Class B Dealers Provide Random Source Dogs and Cats for Research, 
Far Fewer Than in Recent Decades: 

As of July 2010, there were 9 Class B dealers licensed by APHIS to 
sell random source dogs and cats for research. This number has changed 
little since the end of fiscal year 2005, when APHIS reported there 
were 10 active random source dealers. Eight of the 9 active dealers 
are in the APHIS Eastern Region, and 1 is in the APHIS Western Region. 
[Footnote 8] Overall, the number of random source Class B dealers has 
fallen by over 90 percent since the early 1990s, when there were over 
100 such dealers licensed by APHIS. APHIS officials attributed the 
decline to several factors, although they said the agency has not 
performed a detailed study of this matter. These factors include (1) 
the reduced use of random source dogs and cats by research 
institutions due to new technologies and computer modeling; (2) 
increased pressure from animal advocacy organizations to use purpose-
bred dogs and cats for research; and (3) APHIS's oversight and 
issuance of citations for AWA violations, which has led some dealers 
to leave the business. 

The use of dogs and cats in research has dropped significantly over 
the last 30 years. According to academic and industry association 
information, this general decline may be due to several factors, which 
include the development of nonanimal research methods, such as 
computer models. According to APHIS information, the largest number of 
dogs and cats used in research was in fiscal year 1976--nearly 280,800 
dogs and cats total.[Footnote 9] Since that year, the use of dogs and 
cats in research has generally declined, to less than 100,000 per year 
from fiscal years 1999 to 2007. In fiscal year 2008, the total number 
of dogs and cats used in research was about 101,700 animals--a 
decrease of nearly 64 percent from 1976. Moreover, the number of 
random source dogs and cats used in research is relatively small based 
on APHIS data collected from November 2007 to November 2008, a period 
roughly covering fiscal year 2008. These data showed that the total 
number of dogs and cats sold for that period by random source Class B 
dealers to research facilities was 3,139 animals (2,863 dogs and 276 
cats), which was equivalent to about 3 percent of the total dogs and 
cats used in research in fiscal year 2008. 

APHIS Inspections Have Found Numerous Dealer Violations, but APHIS Has 
Not Completed All Tracebacks or Fully Analyzed Traceback Data: 

APHIS inspection reports documented one or more violations by seven of 
the nine random source Class B dealers from fiscal years 2007 through 
2009. Additionally, about 29 percent of tracebacks APHIS conducted 
during this period were either unsuccessful or had not been completed 
as of June 2010, as directed by agency guidance. The agency does not 
fully use the traceback information it collects, and thus cannot 
ensure it is detecting problems with the process. 

During Fiscal Years 2007 to 2009, About One-Third of Inspection 
Reports Reviewed Cited Violations, and Seven of the Nine Dealers Had 
One or More Violations: 

Our review of all APHIS inspection reports from fiscal years 2007 
through 2009 indicates that the agency has generally inspected, or 
attempted to inspect, each of the random source Class B dealers at 
least four times a year, as called for in APHIS guidance, and has 
documented numerous violations among the dealers.[Footnote 10] 
According to APHIS guidance, when conducting an inspection, inspectors 
are to examine the condition and cleanliness of the dealer facility 
and the condition of the dogs and cats present, among other things. 
Inspectors also are to review dealer records pertaining to the 
acquisition and disposition of animals. For example, according to 
APHIS guidance, inspectors are to determine if a dealer's records 
include items required in agency regulations such as (1) the name and 
address of the person from whom a dog or cat was purchased by the 
dealer; (2) the vehicle license number and state, and the driver's 
license number and state, of any person not licensed or registered 
under AWA; (3) the official USDA tag number or tattoo assigned to a 
dog or cat; (4) a description of each dog or cat, which includes 
certain specific information, such as breed, color, and distinct 
markings; and (5) certifications from any person not licensed, other 
than a pound or shelter, that any dogs or cats provided to the dealer 
were born and raised on that person's premises. 

Overall, 54 of the 156 inspection reports from fiscal years 2007 
through 2009 cited at least one dealer violation, and seven of the 
nine dealers had one or more violations during this period. The most 
common violation involved the dealer being absent when the inspector 
attempted to perform an inspection during normal business hours. 
[Footnote 11] Five dealers were cited for this violation in 23 
inspection reports. The second most common violation was for problems 
with the condition of animal housing, such as excessive rust, peeling 
paint, or exposed sharp edges. Five dealers were cited for this 
violation in 14 inspection reports. Other violations included 
inadequate veterinary care (six dealers cited in 10 reports), poor 
recordkeeping (five dealers cited in 10 reports), and insufficient 
cleaning of kennels or cages (three dealers cited in 6 reports). As of 
July 2010, several of these dealers were under further investigation 
by APHIS in light of repeated violations and could be subject to fines 
or even license revocation in the future, depending on the severity or 
history of violations. 

Some APHIS Tracebacks for Verification Were Unsuccessful or Incomplete 
in Fiscal Year 2009, and APHIS Has Not Fully Used Its Traceback Data: 

APHIS has performed tracebacks to verify the records of random source 
Class B dealers since fiscal year 1993, but it only recently started 
to compile traceback information using electronic spreadsheet logs. 
Prior to fiscal year 2009, the agency was not compiling traceback 
data. APHIS officials said that they began this effort in fiscal year 
2009 in order to track traceback results more thoroughly, ensure all 
tracebacks were being completed, and follow up on tracebacks that were 
unsuccessful. Information in the traceback logs comes from inspectors, 
who send a form documenting the results of each traceback to the 
appropriate regional office. We reviewed the information in APHIS's 
fiscal year 2009 traceback logs, as well as the individual forms from 
selected tracebacks. 

We found that APHIS attempted a total of 326 tracebacks in fiscal year 
2009. As of June 2010, the data in APHIS's traceback logs showed that 
APHIS was able to successfully trace a dog or cat back to a legitimate 
source in 231 of the 326 traceback cases, or about 71 percent of the 
time. Of the remaining tracebacks, 53, or about 16 percent of the 
total, were unsuccessful, generally meaning that inspectors (1) could 
not locate the source based on the address information they obtained 
from dealer records or (2) determined the source was not legitimate 
(for example, the dealer purchased the dog or cat from an individual 
who had not bred and raised the animal as required by regulation). The 
other 42 tracebacks, or about 13 percent of the total, had not been 
completed. In those instances where an inspector determined a 
traceback was unsuccessful, APHIS Animal Care forwarded the cases to 
APHIS's Investigative and Enforcement Services for further 
investigation and potential enforcement action.[Footnote 12] APHIS 
officials said that they did not find any documented cases of lost or 
stolen dogs or cats being purchased by random source dealers via 
APHIS's traceback efforts in fiscal year 2009. 

Because APHIS does not analyze the data in its traceback logs, it 
cannot systematically detect problems with its tracebacks. Although 
APHIS's traceback guidance states that tracebacks should generally be 
completed within 30 days of a random source Class B dealer inspection, 
as of June 2010, 42 tracebacks from fiscal year 2009 remained 
incomplete. Furthermore, preliminary fiscal year 2010 APHIS traceback 
data show that as of June 2010, 47 tracebacks had not been completed 
that were already about 60 days beyond APHIS's traceback time frames. 
According to APHIS's guidance, "all tracebacks must be completed 
within 30 days of the inspection of the random source B dealer, or for 
referred tracebacks, within 30 days of the time the traceback request 
is received."[Footnote 13] APHIS regional officials noted several 
factors that can sometimes hinder timely completion of tracebacks, 
such as competing priorities, limited resources, dealers not obtaining 
valid addresses from individuals, the logistics of tracking down 
individuals between APHIS regions, and having to obtain traceback 
information from more than one dealer. However, APHIS officials are 
not examining the log information for indications of any root causes 
of the delays that they could address, such as whether these 
incomplete tracebacks consistently involved the same sellers or 
inspectors. Without thoroughly analyzing its traceback data, APHIS 
cannot consistently detect problems and take all available steps to 
ensure random source Class B dealers are obtaining dogs and cats from 
legitimate sources. APHIS regional officials stated that it would be 
prudent to examine incomplete tracebacks more closely and, for 
example, obtain quarterly reports on their status to better manage 
them. 

We also found three instances where an inspector traced a dog back to 
another random source Class B dealer and then concluded all traceback 
efforts, which is contrary to APHIS's traceback guidance. According to 
this guidance, in such instances, an inspector should continue the 
traceback process using the second random source dealer's records to 
trace the dog or cat back to the seller listed on this second dealer's 
records. However, in these three instances, each traceback form noted 
that the inspector only conducted the tracebacks as far as the random 
source Class B dealer; in these cases, the traceback still needed to 
continue back to the seller for "full verification." During our 
discussions with APHIS regional officials regarding these tracebacks, 
they agreed that the traceback process should have continued according 
to APHIS traceback guidance. As with the incomplete tracebacks, APHIS 
cannot ensure it detects such problems or patterns among dealers or 
inspections, whether from the traceback forms or the traceback logs, 
unless it thoroughly analyzes its traceback data. 

APHIS Does Not Collect Data on the Cost of Its Oversight of Specific 
Classes of Dealers, or Others It Inspects, Including Random Source 
Class B Dealers: 

According to APHIS officials, the agency does not collect cost 
information for its oversight of the specific classes of dealers and 
exhibitors, or others it inspects, including random source Class B 
dealers. Furthermore, APHIS officials also told us the agency does not 
currently have a mechanism in place to determine these costs. For 
example, APHIS inspectors do not currently record their time by 
specific oversight activity or class of dealer. As a result, the only 
current cost information APHIS can provide for any dealers, as well as 
others it inspects and oversees, is an estimate of the average cost of 
inspections overall. APHIS estimated that this average cost for fiscal 
year 2009 was $1,337 per inspection. According to APHIS officials, the 
average inspection cost is estimated by taking the Animal Care 
program's annual appropriation, less certain administrative costs, and 
dividing it by the total number of inspections conducted for the 
fiscal year. However, the wide variety of inspections APHIS conducts, 
which includes dealers of various types and sizes, research 
facilities, zoos, and animal petting farms, limits the usefulness of 
this information. 

USDA has reported in previous years on the cost of agency oversight of 
random source Class B dealers. This information--provided to Congress 
in April 2006 and June 2009--gave oversight costs related to the 
regulation of random source Class B dealers for fiscal years 2005 and 
2008. In April 2006, at the request of the Senate and House 
Appropriations Committees, the Secretary of Agriculture reported that 
the fiscal year 2005 cost of inspections and enforcement for these 
dealers was an estimated $270,000. This estimate also included 
$154,400 for two special enforcement and traceback projects that 
occurred that year. In June 2009, based on a request by a Member of 
Congress, the Acting APHIS Administrator reported information on 
APHIS's regulation of random source Class B dealers. Included in this 
information, the Acting Administrator reported an estimated fiscal 
year 2008 oversight cost of approximately $309,000. However, the 
fiscal year 2008 amount was based on the previously reported fiscal 
year 2005 oversight cost figure, adjusted for cost-of-living 
increases, and incorrectly included the two fiscal year 2005 special 
project costs, which occurred only in fiscal year 2005. APHIS Animal 
Care officials explained that including the fiscal year 2005 special 
project costs in the fiscal year 2008 estimate occurred due to a lack 
of communication between APHIS Animal Care staff and APHIS Budget and 
Program Analysis staff and that those 2005 costs should not have been 
included in the 2008 estimate. To prevent this, APHIS officials said 
they are developing an internal standard operating procedure for 
reporting and communicating consistent and accurate Animal Care data 
that will include the key staff involved with this area. APHIS plans 
to have the procedure in place in early fiscal year 2011. 

APHIS Animal Care officials said they do not know how the fiscal year 
2005 cost estimate for the agency's oversight of random source Class B 
dealers was calculated and that they are unable to reconstruct or 
update this estimate. In addition, these officials said they are 
unable to develop a current estimate for these costs because they lack 
the necessary data. Federal internal control standards call for 
agencies to obtain, maintain, and use relevant, reliable, and timely 
information for program oversight and decision making, as well as for 
measuring progress toward meeting agency performance goals.[Footnote 
14] Furthermore, Office of Management and Budget guidance directs 
agency managers to take timely and effective action to correct 
internal control deficiencies.[Footnote 15] APHIS's lack of an 
accurate means of collecting and tracking oversight costs by activity 
and dealer, exhibitor, and any other entity type that APHIS inspects 
constitutes an internal control weakness and leaves the agency without 
an important management tool. For example, three inspectors we 
interviewed suggested that some random source Class B dealers may not 
require as many as four inspections per year because these dealers 
either have experienced few, if any, reportable violations over a 
period of years or are handling so few animals. In addition, as 
discussed, USDA's Inspector General has reported a number of serious 
problems with APHIS's oversight of other types of dealers, and 
recently APHIS determined that it will put more emphasis on, and 
provide additional resources for, enforcement oversight. Considering 
these and other potential factors, if APHIS had reliable and timely 
information on its oversight costs by activity and entity type, the 
agency would be in a better position to develop a business case for 
making changes to its oversight program that could allow it to use its 
limited resources more efficiently and effectively. 

Conclusions: 

The number of random source Class B dealers has declined to 9 from 
more than 100 in the early 1990s. Tracebacks play an important role in 
APHIS's oversight of random source Class B dealers and help the agency 
ensure that these dealers obtain dogs and cats from legitimate 
sources. APHIS recently began tracking the results of tracebacks. Our 
review of APHIS's data revealed that about 13 percent of the 
tracebacks in fiscal year 2009 were incomplete, and preliminary APHIS 
data from fiscal year 2010 confirmed that incomplete tracebacks are 
continuing. Additionally, we found that by not analyzing traceback 
data, the agency is not yet making full use of the new traceback 
information it is collecting. Without analyzing this information--for 
example, by determining whether the same sellers or inspectors were 
consistently involved in late or incomplete tracebacks--APHIS cannot 
ensure it is detecting problems in a timely manner and that tracebacks 
are conducted according to the agency's guidance, which would reduce 
the potential that lost or stolen dogs or cats could be used in 
research. 

In addition, having accurate, consistent, and reliable oversight cost 
data for the APHIS Animal Care program is a key element in managing 
the program effectively and enforcing AWA. Without such data, APHIS is 
not employing one of the standards of federal internal control. 
Currently, APHIS cannot determine what data it needs to estimate 
costs, and how to best collect that information to reasonably know the 
cost of its oversight of random source Class B dealers, as well as the 
other entities the agency regulates under AWA. Without this 
information APHIS cannot track specific oversight costs and cannot 
help management identify trends in its operations, including 
inspections and tracebacks on random source Class B dealers. In 
addition, not collecting and analyzing accurate and reliable oversight 
cost data prevents APHIS from developing a business case for changing 
its oversight program, if needed, and does not provide reasonable 
assurance that the agency's resources are being used effectively and 
efficiently to enforce AWA and its implementing regulations. 

Recommendations for Executive Action: 

To improve APHIS's oversight of random source Class B dealers who 
purchase dogs and cats for research, we recommend that the Secretary 
of Agriculture direct the Administrator of APHIS to take the following 
two actions: 

* Improve the agency's analysis and use of the traceback information 
it collects, such as whether the same sellers or inspectors were 
consistently involved in late or incomplete tracebacks, and ensure it 
is taking all available steps to verify random source Class B dealers 
are obtaining dogs and cats from legitimate sources, including making 
certain that tracebacks are completed in a timely manner and conducted 
according to APHIS guidance. 

* Develop a methodology to collect and track the oversight costs 
associated with the specific classes of dealers, and others the agency 
inspects, including random source Class B dealers, in order to 
identify potential problems requiring management attention and develop 
a business case for changing this oversight, if appropriate, to more 
efficiently use available resources. 

Agency Comments and Our Evaluation: 

We provided a draft of this report to USDA for review and comment. In 
written comments, which are included in appendix II, USDA agreed with 
the report's recommendations. Regarding the first recommendation, USDA 
stated that APHIS will develop (1) a database to help manage and 
analyze information associated with tracebacks and (2) a process to 
ensure tracebacks are complete and finished in a timely manner. USDA 
said it would complete these actions by December 31, 2010. Regarding 
the second recommendation, USDA stated that APHIS will develop an 
information management system to assist APHIS Animal Care managers in 
managing and analyzing information collected from field operations, 
determining associated costs, and measuring work performance. USDA 
estimated it would complete this action by June 30, 2011. USDA did not 
provide any suggested technical corrections. 

We are sending copies of this report to the appropriate congressional 
committees, the Secretary of Agriculture, and other interested 
parties. The report also will be available at no charge on the GAO Web 
site at [hyperlink, http://www.gao.gov]. 

If you or your staffs have any questions about this report, please 
contact me at (202) 512-3841 or shamesl@gao.gov. Contact points for 
our Offices of Congressional Relations and Public Affairs may be found 
on the last page of this report. Key contributors to this report are 
listed in appendix III. 

Signed by: 

Lisa Shames: 
Director, Natural Resources and Environment: 

[End of section] 

Appendix I: Objectives, Scope, and Methodology: 

Our objectives were to determine (1) the number of Class B dealers 
that sell random source dogs and cats for research; (2) the extent to 
which the U.S. Department of Agriculture's (USDA) Animal and Plant 
Health Inspection Service (APHIS) conducts inspections of these 
dealers and verifies the accuracy of their records; and (3) the costs 
associated with APHIS's oversight of these dealers compared with its 
costs for oversight of other types of dealers. 

To determine the number of Class B dealers that sell random source 
dogs and cats for research, we reviewed APHIS documents, such as prior 
agency annual reports, and USDA and APHIS information previously 
reported to the Senate and House Appropriations Committees in April 
2006 and to an individual Member of Congress in June 2009. We also 
interviewed APHIS Animal Care officials at their headquarters in 
Riverdale, Maryland, and their two regional offices in Raleigh, North 
Carolina, and Fort Collins, Colorado, regarding how a Class B dealer 
is designated as a random source dealer, the number of Class B dealers 
that sell random source dogs and cats, and what accounted for any 
changes in these dealers' numbers both historically and since the end 
of fiscal year 2005. Additionally, we reviewed a 2009 National 
Research Council report on random source dogs and cats for (1) 
information on the history of Class B dealers of random source dogs 
and cats, (2) background regarding the use of these animals in 
research, and (3) APHIS data in the study on the number of random 
source dogs and cats sold from November 2007 to November 2008. 
[Footnote 16] We also obtained information from APHIS regarding the 
overall number of dogs and cats used in research as reported to the 
agency from research facilities. 

To determine the extent to which APHIS conducts inspections of these 
dealers and verifies the accuracy of their records, we reviewed the 
Animal Welfare Act, APHIS regulations, and guidance applicable to 
random source Class B dealers, such as APHIS's Standard Operating 
Procedures for Conducting Tracebacks from Random Source [Class] B 
Dealers and its Dealer Inspection Guide. We reviewed APHIS inspection 
reports for the nine current random source Class B dealers from fiscal 
years 2007 through 2009 and examined any violations APHIS inspectors 
recorded in each of the 156 inspection reports prepared during this 
period to obtain an understanding of the types of violations cited for 
these dealers. Using the inspection report dates, we also determined 
whether APHIS followed their guidance and inspected the nine current 
random source Class B dealers a minimum of four times each year. 
Additionally, we obtained information on APHIS's fiscal year 2009 
tracebacks efforts--an oversight process unique to random source Class 
B dealers. Tracebacks involve APHIS inspectors using a dealer's 
records to trace a particular dog or cat back to the source where that 
dealer obtained the animal, both to verify the legitimacy of the sale 
and ensure the dog or cat was not lost or stolen. To determine if the 
fiscal year 2009 APHIS traceback information maintained in automated 
spreadsheets by the APHIS Eastern and Western Regional Offices was 
reliable for the purposes of our review, we conducted a data 
reliability assessment of it. Specifically, to ensure the validity and 
reliability of these data, we reviewed key data elements from (1) all 
36 of the tracebacks listed on the Western Regional Office traceback 
spreadsheet and (2) a stratified random sample of 50 tracebacks, based 
on random source Class B dealers and inspectors, pulled from the 
Eastern Regional Office traceback spreadsheet total of 317 
tracebacks.[Footnote 17] The Eastern Region had many more tracebacks 
because eight of the current nine random source dealers are located in 
that region. Based on our assessment, we believe these data are 
sufficiently reliable for reporting APHIS data for informational and 
contextual purposes. 

Additionally, we interviewed APHIS Animal Care headquarters and 
regional office officials--including the eight field inspectors who 
inspect the nine current random source Class B dealers--as well as the 
dealers, to obtain an understanding of APHIS oversight as it pertains 
these dealers. We also accompanied two APHIS inspectors on three 
random source Class B dealer inspections in two states to observe how 
inspections and tracebacks were conducted. Furthermore, we also 
interviewed and reviewed documents obtained from a cross section of 
stakeholder entities, including two animal welfare groups, the Animal 
Welfare Institute and the Humane Society of the United States, medical 
research associations such as the National Association for Biomedical 
Research, the National Research Council, the National Institutes of 
Health, and the USDA Office of Inspector General to provide us further 
context for understanding the issues involving both random source 
dealers and random source dogs and cats. 

To determine the costs associated with APHIS's oversight of random 
source dealers compared with its costs for oversight of other types of 
dealers, we reviewed prior cost information the agency provided to the 
Senate and House Appropriations Committees in April 2006 and to an 
individual Member of Congress in June 2009. We discussed this 
previously reported information with APHIS Animal Care headquarters 
officials and inquired how the information was prepared. We also 
interviewed agency officials about APHIS's current efforts to collect 
oversight cost data for random source Class B dealers, as well as for 
other entities the agency inspects, such as other types of dealers. 
Additionally, we obtained and reviewed documentation from APHIS 
regarding how the agency reports its average cost-of-inspection 
information. 

We conducted this performance audit from June 2009 to September 2010 
in accordance with generally accepted government auditing standards. 
Those standards require that we plan and perform the audit to obtain 
sufficient, appropriate evidence to provide a reasonable basis for our 
findings and conclusions based on our audit objectives. We believe 
that the evidence obtained provides a reasonable basis for our 
findings and conclusions based on our audit objectives. 

[End of section] 

Appendix II: Comments from the U.S. Department of Agriculture: 

USDA: 
United States Department of Agriculture: 
Office of the Secretary: 
Washington, DC 20250: 

September 16, 2010: 

Ms. Lisa Shames, Director: 
Natural Resources and Environment: 
United States Government Accountability Office: 
441 G Street, NW: 
Washington, DC 20548: 

Dear Ms. Shames: 

The United States Department of Agriculture (USDA) has reviewed the 
U.S. Government Accountability Office's (GAO) Draft Report, "Animal 
Welfare: USDA's Oversight of Dealers of Random Source Dogs and Cats 
Would Benefit from Additional Management Information and Analysis" (10-
945). In summary, we agree with GAO's Recommendations. Thank you for 
the opportunity for us to comment on this report. 

GAO Recommendation: 

Improve the agency's analysis and use of the traceback information it 
collects, such as whether the same sellers or inspectors were 
consistently involved in late or incomplete tracebacks, and ensure it 
is taking all available steps to verify random source Class B dealers 
are obtaining dogs and cats from legitimate sources, including making 
certain that tracebacks are completed in a timely manner and conducted 
according to APHIS guidance. 

USDA Response: 

USDA agrees with this recommendation. Our Animal and Plant Health 
Inspection Service (APHIS) will develop a database to help manage and 
analyze information associated with tracebacks. In addition, API-US 
will develop a process to ensure that tracebacks are complete and 
finished in a timely manner. The data-base and process will be 
developed by December 31, 2010. 

GAO Recommendation: 

Develop a methodology to collect and track the oversight costs 
associated with the specific classes of dealers, and others the agency 
inspects, including random source Class B dealers, in order to 
identify potential problems requiring management attention and develop 
a business case for changing this oversight, if appropriate, to more 
efficiently use available resources. 

USDA Response: 

USDA agrees with this recommendation. In response to GAO 
recommendations, APHIS, will develop a system called the Management 
Support System (MSS) to assist Animal Care (AC) managers in managing 
and analyzing the information collected from the field operations, 
determining associated costs, and measuring work performances. The 
system will be built internally by the AC's information technology 
staff and will take approximately six to nine months to complete. The 
estimated completion date for the project will be June 30, 2011. 

Sincerely, 

Signed by: 

Edward Avalos: 
Under Secretary: 
Marketing and Regulatory Programs: 

[End of section] 

Appendix III: GAO Contact and Staff Acknowledgments: 

GAO Contact: 

Lisa Shames, (202) 512-3841 or shamesl@gao.gov: 

Staff Acknowledgments: 

In addition to the individual named above, James R. Jones, Jr., 
Assistant Director; Kevin S. Bray; Barry DeWeese; Kirk D. Menard; 
Michael S. Pose; David Reed; Terry Richardson; Cynthia Saunders; and 
Ben Shouse made key contributions to this report. 

[End of section] 

Footnotes: 

[1] Pub. L. No. 89-544, 80 Stat. 350 (codified as amended at 7 U.S.C. 
§§ 2131-2159). 

[2] In addition to Class B dealers, APHIS licenses and conducts 
oversight of Class A breeders, such as puppy breeders, and Class C 
exhibitors, such as zoos, among others. 

[3] National Research Council, Scientific and Humane Issues in the Use 
of Random Source Dogs and Cats in Research (Washington, D.C., The 
National Academies Press, 2009). 

[4] Animals excluded under the act are birds; certain rats and mice 
bred for use in research; horses not used for research purposes; and 
other farm animals. 

[5] Animal dealers generally include any person who buys, sells, or 
negotiates the purchase or sale of any dog or other animal whether 
alive or dead. Animal exhibitors include zoos, animal acts, circuses, 
carnivals, and educational exhibits. Animal carriers include general 
carriers such as airlines, railroads, shipping lines, and motor 
carriers. Research facilities include universities, institutions, 
organizations, or persons using live animals in research, tests, or 
experiments. 

[6] According to APHIS officials, APHIS began conducting 100 percent 
tracebacks in fiscal year 2009 on one random source Class B dealer per 
quarter. This procedure involves an inspector conducting tracebacks 
for all the dogs and cats a dealer acquired since the last quarterly 
inspection. 

[7] U.S. Department of Agriculture, Office of Inspector General, 
Animal and Plant Health Inspection Service Animal Care Program--
Inspections of Problematic Dealers, Audit Report 33002-4-SF (May 14, 
2010). 

[8] The APHIS Eastern Region generally comprises the states east of 
the Mississippi River, while the APHIS Western Region generally 
comprises the rest of the states. 

[9] APHIS collects information annually from research facilities on 
the number of animals used in medical research and has reported this 
information since 1973. 

[10] As of April 2010, APHIS guidance on inspection frequency for 
random source Class B dealers directs that these dealers' facilities 
be inspected quarterly and also states that an inspection must be 
within 90 days of the last inspection. Prior to this revision, APHIS's 
September 2006 inspection system guidance stated that random source 
Class B dealers should be inspected a minimum of four times a year. 
For purposes of our review, we used APHIS's 2006 guidance to determine 
the appropriate dealer inspection frequency. 

[11] According to AWA regulations, licensed dealers must allow APHIS 
officials access to the dealer's place of business for inspection and 
examination of records required by AWA and its regulations during 
business hours. However, according to several APHIS inspectors and 
random source Class B dealers, it is not uncommon for some dealers to 
be away from their facility on business and unavailable when an 
inspector arrives to conduct an unannounced inspection. If neither the 
dealer nor another responsible adult is present when the inspector 
arrives to make an unannounced inspection, the inspector may cite a 
violation. 

[12] APHIS Investigative and Enforcement Services staff investigate 
apparent AWA violations for APHIS Animal Care. Among other things, 
Investigative and Enforcement Services also investigates alleged 
violations for several other APHIS program offices and assists in 
taking legal action through the administrative law process when 
required. 

[13] When a traceback leads to an address outside an inspector's 
assigned area, it is referred to another inspector to be completed. 

[14] 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). 

[15] Office of Management and Budget, Executive Office of the 
President, OMB Circular No. A-123, Management's Responsibility for 
Internal Control (Dec. 21, 2004). 

[16] National Research Council, Scientific and Humane Issues in the 
Use of Random Source Dogs and Cats in Research (Washington, D.C., The 
National Academies Press, 2009). 

[17] The combined, total number of tracebacks in fiscal year 2009 
listed on the APHIS Eastern and Western Regional Office traceback logs 
was 353. However, for the purposes of our review, we considered only 
326 of these tracebacks. According to Eastern Regional officials, 
traceback information for 26 tracebacks related to one random source 
Class B dealer in this region who is under investigation by USDA's 
Office of Inspector General and APHIS's Investigative and Enforcement 
Services, were sent directly to these offices. Additionally, 1 
traceback in the Western Regional Office was entered twice on its 
traceback log. 

[End of section] 

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