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United States Government Accountability Office: 
GAO: 

Report to the Chair, Committee on Small Business and Entrepreneurship, 
U.S. Senate: 

June 2011: 

Small Business Contracting: 

Action Needed by Those Agencies Whose Advocates Do Not Report to 
Agency Heads as Required: 

GAO-11-418: 

GAO Highlights: 

Highlights of GAO-11-418, a report to the Chair, Committee on Small 
Business and Entrepreneurship, U.S. Senate. 

Why GAO Did This Study: 

Section 15(k) of the Small Business Act requires that all federal 
agencies with procurement powers establish an Office of Small and 
Disadvantaged Business Utilization (OSDBU) to advocate for small 
businesses. Section 15(k)(3) requires that OSDBU directors be 
responsible only to and report directly to agency or deputy agency 
heads. GAO was asked to assess agencies’ compliance with the reporting 
structure and identify the functions OSDBUs performed. GAO reviewed 
compliance with section 15(k)(3) at 16 agencies—the 7 agencies that 
each procured more than $15 billion in goods and services in 2009 and 
9 that it had previously reported were not complying with this 
requirement. GAO also surveyed the OSDBU directors at 25 agencies that 
represented more than 98 percent of civilian obligations and 90 
percent of DOD obligations in 2009. 

What GAO Found: 

Nine of the 16 federal agencies that GAO reviewed were in compliance 
with section 15(k)(3) of the Small Business Act, which requires OSDBU 
directors to be responsible only to and report directly to the agency 
or deputy agency head (see table). The remaining seven agencies were 
not in compliance with the provision, and their OSDBU directors 
reported to lower-level officials or had delegated OSDBU 
responsibilities to officials who did not meet the reporting 
requirement. These agencies were not in compliance when GAO last 
examined them in 2003. During GAO’s current review, directors who 
reported to agency heads cited benefits to the relationship, while 
those who did not had mixed views. GAO concluded that the views 
expressed by the directors at noncompliant agencies did not justify 
noncompliance and that these agencies should comply or provide support 
to Congress of their need, if any, for statutory flexibilities. 
Ongoing noncompliance with section 15(k)(3) undermines the intent of 
the act and may prevent some OSDBU directors from having direct access 
to top agency management. 

Table: Agency Compliance with Section 15(k)(3) of the Small Business 
Act: 

Agencies in compliance (9): 
Defense Logistics Agency[A]; 
Department of Education; 
Department of Energy[A]; 
Department of Health and Human Services[A]; 
Department of the Air Force[A]; 
Department of the Army[A]; 
Department of the Navy[A]; 
Environmental Protection Agency
National Aeronautics and Space Administration[A]. 

Agencies not in compliance (7): 
Department of Agriculture; 
Department of Commerce; 
Department of Justice; 
Department of State; 
Department of the Interior; 
Department of the Treasury; 
Social Security Administration (SSA). 

Source: GAO analysis. 

[A] Agencies that procured more than $15 billion in goods and services 
in fiscal year 2009; together they accounted for about 76 percent of 
all federal contracting. 

[End of table] 

Consistent with its 2004 report, GAO’s current work found that the 25 
OSDBU directors surveyed focused their procurement activities on 
certain functions listed in section 15(k). At least 19 directors 
listed the five functions related to contract bundling, maintaining 
supervisory authority over staff, and helping small businesses obtain 
payments from agencies as among their duties. Fewer directors viewed 
the remaining three functions, such as reviewing acquisitions for 
small business set-asides and assisting small businesses to obtain 
payments from prime contractors, as duties. Directors who did not view 
these functions as their responsibility generally noted that 
contracting or program staff performed them. Whether OSDBU directors 
who do not perform certain functions listed in 15(k) are complying 
with the statute is not clear. 

What GAO Recommends: 

GAO recommends that agencies not in compliance with section 15(k)(3) 
take steps to comply with this statutory requirement or report to 
Congress on why they have not complied, including any requests for 
statutory reporting flexibility as appropriate. SSA agreed with the 
recommendation, and Interior agreed to reevaluate its reporting 
structure. Commerce, Justice, State, and the Treasury disagreed, 
believing they were in compliance. GAO maintains its position on 
agencies’ compliance status, as discussed further in the report. 
Agriculture did not comment. 

View [hyperlink, http://www.gao.gov/products/GAO-11-418] or key 
components. To view survey results, click on GAO-11-436SP. For more 
information, contact William B. Shear at (202) 512-8678 or 
shearw@gao.gov. [End of section] 

Contents: 

Letter: 

Background: 

More Than Half of OSDBU Directors Reviewed Reported Only to Their 
Agency or Deputy Agency Head: 

Survey Results Showed That Most OSDBUs Continued to Focus Their 
Procurement Activities on Five Functions: 

OSDBUs Collaborated to Promote Small Business Contracting, but Some 
Directors Reported Staffing and Funding Challenges: 

Conclusions: 

Recommendation for Executive Action: 

Agency Comments and Our Evaluation: 

Appendix I: Scope and Methodology: 

Appendix II: Reporting Relationships at Seven Agencies Not in 
Compliance with Section 15(k)(3): 

Appendix III: Office of Small and Disadvantaged Business Utilization 
Directors Who Reported that They Did Not Carry Out Certain 15(k) 
Functions: 

Appendix IV: Comments from the Department of Education: 

Appendix V: Comments from the Department of Commerce: 

Appendix VI: Comments from the Department of the Interior: 

Appendix VII: Comments from the Department of Justice: 

Appendix VIII: Comments from the Department of State: 

Appendix IX: Comments from the Department of the Treasury: 

Appendix X: Comments from the Social Security Administration: 

Appendix XI: GAO Contact and Staff Acknowledgments: 

Tables: 

Table 1: Summary of Agency Compliance with Section 15(k)(3) of the 
Small Business Act, as of April 2011 1: 

Table 2: Extent to Which 25 OSDBU Directors Surveyed Performed 15(k) 
Contract Bundling and Payment Assistance Functions 1: 

Table 3: Small Business Contracting at Agencies Surveyed by GAO, 
Fiscal Year 2009 1: 

Table 4: Challenges Reported by OSDBU Directors in Carrying Out Their 
Responsibilities 1: 

Table 5: OSDBU Full-Time Equivalent Staff, Fiscal Years 2006 to 2010 1: 

Table 6: OSDBU Budgets, Fiscal Years 2006 to 2010 1: 

Table 7: 25 Federal Agencies at Which GAO Conducted Work 1: 

Figures: 

Figure 1: Survey Results from OSDBU Directors on Section 15(k) 
Functions 1: 

Figure 2: OSDBU Directors Reporting That Duties Other Than 15(K) 
Requirements Were Functions of Their Offices 1: 

Figure 3: OSDBU Director's Reporting Relationship at the Department of 
Commerce, as of April 2011 1: 

Figure 4: OSDBU Director's Reporting Relationship at the Department of 
the Interior, as of April 2011 1: 

Figure 5: OSDBU Director's Reporting Relationship at the Department of 
Justice, as of April 2011 1: 

Figure 6: OSDBU Director's Reporting Relationship at the Social 
Security Administration, as of April 2011 1: 

Figure 7: OSDBU Director's Reporting Relationship at the Department of 
Agriculture, as of April 2011 1: 

Figure 8: OSDBU Director's Reporting Relationship at the Department of 
State, as of April 2011 1: 

Figure 9: OSDBU Director's Reporting Relationship at the Department of 
the Treasury, as of April 2011 1: 

View GAO-11-418 key component: 

Small Business Contracting: Survey of 25 Agency Advocates [hyperlink, 
http://www.gao.gov/products/GAO-11-436SP], June 2011), an E-supplement 
to GAO-11-418. 

Abbreviations: 

DLA: Defense Logistics Agency: 

DOD: Department of Defense: 

EPA: Environmental Protection Agency: 

FAR: Federal Acquisition Regulation: 

HHS: Department of Health and Human Services: 

HUBZone: Historically Underutilized Business Zone: 

HUD: Department of Housing and Urban Development: 

NASA: National Aeronautics and Space Administration: 

OPM: Office of Personnel Management: 

OSDBU: Office of Small and Disadvantaged Business Utilization: 

PMR: program management review: 

SBA: Small Business Administration: 

SSA: Social Security Administration: 

USAID: U.S. Agency for International Development: 

VA: Department of Veterans Affairs: 

[End of section] 

United States Government Accountability Office: 
Washington, DC 20548: 

June 3, 2011: 

The Honorable Mary L. Landrieu:
Chair:
Committee on Small Business and Entrepreneurship:
United States Senate: 

Dear Madam Chair: 

Maximizing contracting opportunities for small businesses has been a 
long-standing policy of the federal government. To help ensure that 
small businesses receive a share of federal procurement contract 
dollars, Congress has set an annual governmentwide goal of awarding 
not less than 23 percent of prime contract dollars to small 
businesses.[Footnote 1] Congress has also mandated that the Small 
Business Administration (SBA) negotiate annual procurement goals with 
each federal agency. In fiscal year 2009, small businesses accounted 
for almost $100 billion in federal contracts--about 22 percent of all 
federal prime contracts awarded. 

To increase small businesses' visibility within federal agencies, in 
1978 Congress amended the Small Business Act to require that all 
federal agencies with procurement powers establish an Office of Small 
and Disadvantaged Business Utilization (OSDBU), which would advocate 
for small businesses within the agencies[Footnote 2]. The OSDBU is 
managed by a director who is responsible for implementing and 
executing the agency's functions and duties related to the award of 
contracts and subcontracts to small and disadvantaged businesses. 
Section 15(k)(3) of the act requires that OSDBU directors be 
responsible only to and report directly to agency heads or their 
deputies.[Footnote 3] The purpose of this provision is to help ensure 
that OSDBU directors have direct access to their agencies' top 
decision makers in order to advocate effectively. Section 15(k), as 
amended, also lists a number of functions that OSDBU directors are 
responsible for in carrying out their roles as advocates for small 
businesses.[Footnote 4] 

In two earlier reports, we reviewed federal agencies' compliance with 
the Small Business Act and the extent to which OSDBU directors viewed 
the functions listed in section 15(k) as duties of their offices. In 
September 2003, we reported on the OSDBUs at 24 federal agencies and 
found that 11 of these offices did not comply with the law's 
requirement that the OSDBU director report directly to and be 
responsible only to the agency head or deputy head.[Footnote 5] We 
recommended that 10 agency heads take steps, as necessary, to comply 
with the requirement.[Footnote 6] However, 8 of the 10 disagreed with 
our recommendation.[Footnote 7] In a follow-on March 2004 report, we 
noted that almost all of the 24 OSDBU directors surveyed reported that 
they viewed most of the functions outlined in the Small Business Act 
as current duties of their offices.[Footnote 8] Most of the OSDBU 
directors we surveyed reported that their offices faced few challenges 
to carrying out their responsibilities, but some reported challenges 
in three areas--lack of influence in the procurement process, limited 
budgetary resources, and lack of adequate staff. 

For this report, you asked us to review OSDBU practices for carrying 
out the requirements of the Small Business Act at federal agencies 
with major contracting activity. Specifically, we (1) assessed whether 
the director reported directly to the agency head or the deputy head, 
(2) determined the functions conducted by the OSDBUs, and (3) examined 
the actions taken by the OSDBUs and other officials at the various 
agencies to further small business contracting opportunities and the 
effects of funding and staff levels on these efforts. 

To address these objectives, we focused our review on the seven 
agencies that procured more than $15 billion in goods and services in 
fiscal year 2009: the Defense Logistics Agency (DLA); the Departments 
of the Air Force, the Army, Energy, Health and Human Services (HHS), 
and the Navy; and the National Aeronautics and Space Administration 
(NASA).[Footnote 9] To assess whether the directors were responsible 
only to and reported directly to the agency head or the deputy head as 
required by section 15(k)(3) of the Small Business Act, we included an 
additional nine agencies that we reported in September 2003 were not 
complying with this requirement. We determined that agencies were in 
compliance if the designated OSDBU directors both exercised OSDBU 
responsibilities and reported directly to and were responsible only to 
the agency head or the agency head's deputy as the act requires. To 
determine whether OSDBU directors were in compliance with section 
15(k)(3), we interviewed the designated directors to identify the 
official(s) they had reported to in fiscal year 2010 and asked them to 
provide information characterizing the reporting relationship, such as 
the extent to which small business issues were discussed. In addition, 
we reviewed documentary evidence, including organization charts and 
OSDBU directors' performance appraisals and position descriptions. 

To determine the functions conducted by the OSDBUs, we surveyed the 
OSDBU directors at 25 agencies on their offices' duties and functions. 
The 25 agencies included all 20 civilian agencies that procured more 
than $800 million in goods and services in fiscal year 2009, as well 
as the Department of Defense (DOD)--Office of the Secretary; the 
Departments of the Air Force, Army, and Navy; and DLA.[Footnote 10] We 
received responses from all 25 OSDBU directors, for a response rate of 
100 percent. The survey was similar to one we administered in 2003 and 
asked the directors about their functions in three areas: (1) 
participation in the agency procurement process, (2) facilitation of 
small business participation in agency contracting, and (3) 
interaction with SBA. The three areas covered OSDBU functions listed 
in the Small Business Act as well as additional functions that OSDBUs 
might perform. The purpose of the survey was to obtain the views of 
OSDBU directors on their roles and responsibilities. In addition, the 
survey asked the directors what challenges they faced in carrying out 
their responsibilities. In certain instances, we conducted follow-up 
interviews to clarify responses.[Footnote 11] 

To examine the actions taken by the OSDBU and other agency officials 
to further small business contracting opportunities and determine how 
funding and staff levels affected these efforts, we reviewed the 
survey responses from the 25 OSDBU directors. To determine actions 
taken by top management to further small business contracting, we 
reviewed documents, including policy statements, at the seven agencies 
with major contracting activity. We also interviewed the OSDBU 
directors at these agencies on the actions they and other agency 
officials had taken to further small business contracting; methods 
used by the agency and SBA to hold officials accountable for 
furthering small business contracting; and challenges that may have 
affected these efforts, such as funding and staffing levels.[Footnote 
12] Appendix I contains additional information on our scope and 
methodology. 

We conducted our work from June 2010 to May 2011 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 
obtained provides a reasonable basis for our findings and conclusions 
based on our audit objectives. 

Background: 

The Business Opportunity Development Reform Act of 1988 amended the 
Small Business Act to establish an annual governmentwide goal of 
awarding not less than 20 percent of prime contract dollars to small 
businesses. The Small Business Reauthorization Act of 1997 further 
amended the Small Business Act to increase this goal to not less than 
23 percent. To help meet this goal, SBA annually establishes prime 
contract goals for various categories of small businesses for each 
federal agency.[Footnote 13] Although SBA is responsible for 
coordinating with executive branch agencies to move the federal 
government toward this mandated goal, agency heads are responsible for 
achieving the small business goals with their agencies. 

A 1978 report by the Senate Select Committee on Small Business noted 
that officials who were responsible for advocating for small business 
participation in federal government procurement often did not hold 
positions that were high enough in the agency structure to be 
effective. The 1978 amendment to the Small Business Act that 
established section 15(k)(3) addressed this issue by establishing a 
direct reporting relationship between the OSDBU director and the 
agency head or deputy head. The statute, as amended, specifies that 
the director would have supervisory authority over OSDBU staff, 
implement and execute the functions and duties under the relevant 
sections of the Small Business Act, and identify proposed 
solicitations that involved the bundling of contract requirements. 
(The Small Business Reauthorization Act of 1997 defines the bundling 
of contract requirements as the consolidation of two or more 
procurement requirements for goods or services previously provided or 
performed under separate smaller contracts into a solicitation of 
offers for a single contract that is likely to be unsuitable for award 
to a small business concern for various reasons.) 

Section 15(k) of the Small Business Act lists eight functions of OSDBU 
directors, as follows: 

* Identifying proposed solicitations that involve significant bundling 
of contract requirements. 

* Working with agency procurement officials to revise such proposed 
solicitations to increase the probability of participation by a small 
business. 

* Facilitating the participation of small businesses as subcontractors 
if solicitations for bundled contracts are to be issued. 

* Assisting small businesses in obtaining payments from an agency with 
which it has contracted. 

* Helping small businesses acting as subcontractors to obtain payments 
from prime contractors. 

* Making recommendations to contracting officers as to whether 
particular requirements should be set-aside for small businesses. 
[Footnote 14] 

* Maintaining supervisory authority over OSDBU personnel. 

* Cooperating and consulting on a regular basis with SBA in carrying 
out OSDBU functions and duties under the Small Business Act and 
assigning a small business technical advisor to each office with an 
SBA-appointed procurement center representative. (A procurement center 
representative is an SBA staff member assigned to federal buying 
activities with major contracting programs to carry out SBA policies 
and programs.) 

The Federal Acquisition Regulation (FAR) establishes uniform policies 
for acquisition of supplies and services by executive agencies. 
Section 19.201(d) of the FAR is the implementing regulation for 
section 15(k) of the Small Business Act. In addition, agencies have 
their own regulations for carrying out procurement activities, such as 
the Defense Federal Acquisition Regulation Supplement for the 
Department of Defense. For the purpose of our 2003 and 2010 surveys, 
we divided the procurement process into four steps: 

* Acquisition planning involves developing an overall management 
strategy for the procurement process for a potential contract. It 
takes place well in advance of a contract's award date and generally 
involves both a close partnership between the program and procurement 
offices and the involvement of other key stakeholders. 

* Solicitation development is the process of preparing requests for 
vendors to submit offers, or bids. 

* Proposal evaluation occurs after potential contractors submit 
proposals that outline how they will fulfill the solicitation 
requirements. Agency personnel evaluate proposals for award and 
contracting officers award the contract. 

* Monitoring, also known as surveillance, helps to determine a 
contractor's progress and identify any factors that may delay 
performance. 

To carry out the functions listed in section 15(k) of the Small 
Business Act, OSDBU directors provide advice on small business matters 
and collaborate with the small business community. Some of the primary 
duties of OSDBU directors include advising agency leadership on small 
business matters; providing direction for developing and implementing 
policies and initiatives to help ensure that small businesses have the 
opportunity to compete for and receive a fair share of agency 
procurement; representing the agency at meetings, workgroups, and 
conferences related to small business; initiating and building 
partnerships with the small business community; providing agency 
acquisition and program personnel with leadership and oversight of 
education and training related to small business contracting; 
conducting reviews of small business programs; and serving as the 
agency liaison to SBA, including providing annual reports on agency 
activities, performance, and efforts to improve performance. 

OSDBU directors are not the only officials responsible for helping 
small businesses participate in federal procurement. At the agency 
level, the heads of procurement departments are responsible for 
implementing the small business programs at their agencies, including 
achieving program goals. Generally, staff within agency procurement 
departments who are assigned to work on small business issues (small 
business specialists) coordinate with OSDBU directors on their 
agencies' small business programs. 

More Than Half of OSDBU Directors Reviewed Reported Only to Their 
Agency or Deputy Agency Head: 

We found that 9 of the 16 agencies we reviewed were in compliance with 
the Small Business Act's requirement that OSDBU directors be 
responsible only to and report directly to the agency or deputy agency 
head (see table 1).[Footnote 15] We determined that the remaining 
seven agencies were not in compliance. These agencies, which use 
various reporting structures, also were not in compliance in 2003, 
when we last assessed the reporting structure. The OSDBU directors at 
the compliant agencies cited benefits to the reporting relationship. 
OSDBU directors at agencies that were not complying with section 
15(k)(3) differed in their views of the importance of reporting to the 
agency head or deputy head. 

Table 1: Summary of Agency Compliance with Section 15(k)(3) of the 
Small Business Act, as of April 2011: 

Agencies in compliance (9): 
Defense Logistics Agency[A]; 
Department of Education; 
Department of Energy[A]; 
Department of Health and Human Services[A]; 
Department of the Air Force[A]; 
Department of the Army[A]; 
Department of the Navy[A]; 
Environmental Protection Agency
National Aeronautics and Space Administration[A]. 

Agencies not in compliance (7): 
Department of Agriculture; 
Department of Commerce; 
Department of Justice; 
Department of State; 
Department of the Interior; 
Department of the Treasury; 
Social Security Administration (SSA). 

Source: GAO analysis. 

[A] Agencies that procured more than $15 billion in goods and services 
in fiscal year 2009. 

[End of table] 

Because all seven noncompliant agencies were also not in compliance 
when we reviewed them in 2003, we recommended at that time that they 
take steps as necessary to comply with the requirement in section 
15(k)(3). Most of the agencies disagreed with our conclusion that the 
reporting relationships did not comply with section 15(k)(3) of the 
Small Business Act. However, none of the legal arguments that the 
agencies raised caused us to revise our conclusions or 
recommendations. For example, the Department of the Interior stated 
that the Assistant Secretary to whom the OSDBU director reported was 
the agency head for acquisition matters, in accordance with the FAR. 
We responded that Interior's designation of the Assistant Secretary as 
its "agency head" for procurement powers did not mean that the person 
thereby became its agency head for purposes of section 15(k)(3). 
Several agencies also commented on the effectiveness of their small 
business programs and reporting structure. During our interviews for 
this report, officials generally did not state that their agencies 
were complying with the requirement. Rather, they commented on how 
their current reporting structures were working. For example, 
officials at five agencies stated that small business matters were not 
suffering as a result of the structure. 

OSDBU Directors at Nine Agencies Reported Directly to the Agency or 
Deputy Agency Head: 

Documentation from nine agencies indicated that the OSDBU directors 
reported directly to and were responsible only to the agency head or 
the deputy head when carrying out OSDBU duties and functions. Seven of 
these agencies--the Departments of the Air Force, the Army, Energy, 
and the Navy; DLA; HHS; and NASA--procured more than $15 billion in 
goods and services in fiscal year 2009. The remaining agencies, the 
Department of Education and the Environmental Protection Agency (EPA), 
procured about $1.5 billion and $1.8 billion, respectively, in fiscal 
year 2009. The organization charts for these nine agencies showed a 
direct link between the OSDBU directors and the agency heads or deputy 
heads. The agency heads or deputy heads also rated the OSDBU 
directors' performance at these agencies, and OSDBU reports and 
memoranda were provided to them. 

At NASA, the OSDBU director reported directly to the 
Administrator.[Footnote 16] The organization chart showed a direct 
link from the OSDBU to the Office of the Administrator, and the 
Administrator signed the OSDBU director's most recent performance 
appraisal. During our review, DLA revised the position description of 
the OSDBU director to make it clear that the director reported to the 
Vice Director and that the Vice Director would rate the director's 
performance.[Footnote 17] At the remaining seven agencies, the OSDBU 
directors reported to the Deputy Secretary. For instance, at the 
Departments of the Air Force, Army, and Navy, the OSDBU directors 
reported to the Under Secretary for their respective departments, and 
the Under Secretary signed their performance appraisals. At Energy and 
HHS, the OSDBU directors reported to the Deputy Secretary, who also 
assessed their performance. In our 2003 report, we concluded that the 
Department of Education was not in compliance with section 15(k)(3). 
At that time, the OSDBU director did not report only to the Deputy 
Secretary but also reported to the Deputy Secretary's Chief of Staff. 
Since then, the agency has changed its reporting structure to ensure 
that the OSDBU director is responsible only to the Deputy Secretary. 
The OSDBU director stated that she now had direct access to the Deputy 
Secretary, meeting with him for routine discussions about small 
business activities and related issues. In addition, the Deputy 
Secretary signed her performance appraisals. We also concluded in 2003 
that EPA was not in compliance because the OSDBU director was not 
responsible only to the Administrator or Deputy Administrator. At that 
time, the OSDBU director told us she reported to the Deputy Chief of 
Staff, who also evaluated the OSDBU director's performance. For this 
review, the OSDBU director told us that, while some matters were 
routed through the Deputy Chief of Staff, she ultimately reported to 
the Deputy Administrator. The Deputy Administrator signed her two most 
recent performance appraisals. 

The Seven Agencies That Were Not in Compliance Had a Variety of 
Reporting Arrangements: 

As shown in table 1, seven agencies were not in compliance with 
section 15(k)(3). All of these agencies were also not in compliance in 
2003. As in our prior report, we found that a variety of reporting 
structures were in place. OSDBU directors either reported to lower-
level officials than the agency head or deputy or had delegated their 
OSDBU director responsibilities to officials who did not report to 
either the agency head or the deputy head. However, these arrangements 
do not meet the law's intent and undermine the purpose of section 
15(k)(3). To help ensure that the OSDBU's responsibilities are 
effectively implemented, the act mandates that the OSDBU director--
that is, the person actually carrying out the responsibilities--have 
direct access and be responsible only to the agency head or deputy. 
Appendix II provides details of the reporting arrangements at each 
agency. 

OSDBU Directors at Four Agencies Did Not Report Directly to the Agency 
Head or Deputy Head: 

At the Departments of Commerce, the Interior, and Justice and the 
Social Security Administration (SSA), the OSDBU directors reported to 
officials at lower levels than the agency head or deputy head. For 
example, at the Department of Commerce, the organization chart showed 
that the OSDBU director reported to two lower-level officials--the 
Deputy Assistant Secretary for Administration and the Assistant 
Secretary for Administration. At the Department of the Interior, the 
OSDBU director reported to the Deputy Assistant Secretary for Budget, 
Finance, Performance, and Acquisition and to the Assistant Secretary, 
Policy, Management and Budget. At the Justice Department, OSDBU 
officials told us that the current reporting structure was the same as 
in 2003. The OSDBU is located within the Justice Management Division, 
with the director under the supervision of the Deputy Assistant 
Attorney General for Policy, Management and Planning. SSA also had the 
same reporting structure that we documented in our 2003 report, with 
the OSDBU director reporting to the Deputy Commissioner, Office of 
Budget, Finance and Management, who is one of nine deputy 
commissioners managing programs and operations. 

OSDBU Directors at Three Agencies Delegated Their OSDBU 
Responsibilities to Lower-Level Officials: 

The designated OSDBU directors at the Departments of Agriculture, 
State, and the Treasury delegated their responsibilities to officials 
who did not directly report to either the Secretaries or Deputy 
Secretaries. These arrangements were the same as those we determined 
in 2003 were not in compliance with the Small Business Act. At these 
agencies, an Assistant Secretary who managed the agency's 
administrative functions was designated as the statutory OSDBU 
director. The Assistant Secretaries then delegated nearly all of their 
OSDBU responsibilities to lower-ranking officials who reported 
directly to the Assistant Secretaries. The lower-ranking officials 
thus became the de facto OSDBU directors. At the Department of 
Agriculture, for example, the designated OSDBU director was the 
Assistant Secretary for Administration, who reported to the Secretary 
and Deputy Secretary. However, the Assistant Secretary had delegated 
nearly all of his OSDBU responsibilities to a lower-level official who 
did not have direct access to the agency head or deputy head. At the 
Department of State, the Assistant Secretary for Administration was 
the designated OSDBU director. The Assistant Secretary, who reported 
to one of the department's two Deputy Secretaries on small business 
matters, had delegated his OSDBU responsibilities to the Operations 
Director for the OSDBU, who reported directly to him. At Treasury, the 
Assistant Secretary of the Treasury for Management/Chief Financial 
Officer/Chief Performance Officer was the designated OSDBU director. 
However, the Director of the Office of Small Business Programs, an 
official who did not directly report to either the Secretary or the 
Deputy Secretary, was responsible for the day-to-day management of 
Treasury's small business programs. The Director of the Office of 
Small Business Programs told us she spent 100 percent of her time on 
small business issues. 

While Views Varied on the Importance of Reporting Only to the Agency 
Head or Deputy Head, the Small Business Act Requires It: 

OSDBU directors' opinions varied on the importance of reporting only 
to the agency head or deputy head. The OSDBU directors at the nine 
agencies that were complying with section 15(k)(3) cited positive 
elements to this reporting relationship. Five of the nine OSDBU 
directors stated that reporting to the agency head or deputy showed 
top-level support for small business efforts that sent a message to 
the rest of the agency. For example, one OSDBU director explained that 
reporting directly to the agency head or deputy head helped ensure 
that he was viewed as equal to other senior managers. He noted that 
this relationship was important because it allowed him to participate 
in senior management meetings where decisions were made. Another OSDBU 
director stated that she had a strong relationship with senior 
management and did not hesitate to invite senior leaders to 
participate in small business outreach events. She added that if she 
did not report to the agency head or deputy, she would lose this 
rapport with senior leadership. 

OSDBU directors at the seven agencies that were not complying with 
section 15(k)(3) differed on the importance of reporting to the agency 
head or deputy head. For example, two of these OSDBU directors thought 
that not reporting to the agency head or deputy was a problem. One 
director stated that reporting to the agency head or deputy could 
provide the OSDBU with more authority and enable it to collaborate 
more effectively with other offices. The other director noted that 
being too far down the reporting structure meant that she could not 
independently voice her opinion, especially when it differed from her 
supervisor's. The OSDBU directors at the other five agencies did not 
see problems with the existing structure, stating that small business 
matters were not suffering as a result of the structure. For instance, 
one director stated that his agency's structure worked well and that 
the agency's small business initiatives were resulting in high marks 
on the SBA scorecard and effective relationships with other agency 
officials.[Footnote 18] This official noted that if he were to report 
directly to the Secretary or Deputy Secretary, small business efforts 
would compete against significant national foreign policy priorities. 
Another director stated that the OSDBU was getting all of the support 
it needed under the current reporting relationship. The director 
further explained that the office did not have a problem with 
resources and that he had a strong relationship with his supervisor. 
Additionally, he noted that any areas needing attention were 
communicated to higher management. Yet another director stated that 
his agency had a successful small business procurement program. He 
also cited accomplishments such as meeting small business contracting 
goals and increasing the number of small businesses with which the 
agency interacted. 

However, the Small Business Act requires that the OSDBU director have 
direct access to the agency head or deputy to help ensure that the 
OSDBU's responsibilities are effectively implemented. As such, the 
statements made by the OSDBU directors at these five agencies do not 
justify their noncompliance with section 15(k)(3). SBA officials said 
the agency had also raised concerns about compliance with the 
reporting requirement during its surveillance reviews of federal 
agencies. These reviews are evaluations of small business contracting 
that assess (1) management of the small business programs, (2) 
compliance with regulations and published policies and procedures, (3) 
outreach programs focusing on small businesses, and (4) procurement 
documentation. When SBA finds that an agency does not have the 
required reporting relationship, it identifies this as a deficiency in 
the review report. Ongoing noncompliance with section 15(k)(3) 
undermines the intent of the act and may prevent some OSDBU directors 
from having direct access to top agency management. Given how long 
these agencies have not been in compliance with the requirement, at a 
minimum they have an obligation to explain their noncompliance to 
Congress and provide support for their need, if any, for greater 
statutory flexibility in establishing a reporting structure for their 
OSDBU director. 

Survey Results Showed That Most OSDBUs Continued to Focus Their 
Procurement Activities on Five Functions: 

Like the results of our 2003 survey, the responses of the 25 OSDBU 
directors we surveyed in 2010 indicated that they generally focused 
their procurement activities on the functions listed in section 15(k) 
of the Small Business Act. Most OSDBU directors reported they viewed 
five of the eight functions identified in section 15(k) as among their 
offices' current duties, but the extent to which the individual OSDBUs 
carried out each activity varied. Directors who did not view a section 
15(k) function as their responsibility generally reported that 
contracting, acquisition, or program staff performed it. Section 15(k) 
lists the functions of OSDBU directors but does not necessarily 
require them to personally carry out these activities themselves. Few 
OSDBU directors viewed non-15(k) procurement activities such as 
developing solicitations and evaluating proposals as roles of their 
OSDBU. 

Nearly All OSDBU Directors Surveyed Reported Their Offices Performed 
Five of the Eight Functions Identified in the Small Business Act: 

For this report, we asked 25 OSDBU directors which of the 
responsibilities listed in the Small Business Act they saw as 
responsibilities of their offices. As shown in figure 1, at least 19 
of the 25 OSDBU directors that we surveyed reported they viewed five 
of the eight functions identified in section 15(k) of the Small 
Business Act as current duties of their office. These five functions 
included (1) having supervisory authority over OSDBU staff, (2) three 
functions involving contract bundling (that is, the consolidation of 
two or more procurement requirements for goods or services previously 
provided under separate smaller contracts),[Footnote 19] and (3) 
assisting small businesses to obtain payments from agencies. Fewer 
OSDBU directors (10 to 18) viewed the remaining three functions--
reviewing individual acquisitions for small business set-asides, 
assisting small businesses to obtain payments from prime contractors, 
and assigning a small business technical advisor to offices with an 
SBA representative--as their responsibilities. The data show little 
change from the responses to our 2003 survey. 

Figure 1: Survey Results from OSDBU Directors on Section 15(k) 
Functions: 

[Refer to PDF for image: horizontal bar graph] 

Section 15(k) function: Supervisory authority over personnel with the 
duties and functions of the OSDBU; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 24; 
2003 (Total respondents: 24): 22; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 1[A]; 
2003 (Total respondents: 24): 2. 

Section 15(k) function: Attempting to identify solicitations that 
involve bundling of contract requirements; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 24; 
2003 (Total respondents: 24): 21; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 1[B];; 
2003 (Total respondents: 24): 3. 

Section 15(k) function: Working with agency acquisition officials to 
revise procurement strategies for bundled contract requirements to 
increase small business participation; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 24; 
2003 (Total respondents: 24): 22; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 1[C]; 
2003 (Total respondents: 24): 2. 

Section 15(k) function: Facilitating small business participation as 
subcontractors to bundled contracts; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 20; 
2003 (Total respondents: 24): 19; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 5[D]; 
2003 (Total respondents: 24): 4; 
No answer: 
2010 (Total respondents: 25): 0; 
2003 (Total respondents: 24): 1. 

Section 15(k) function: Assisting small businesses to obtain payments 
from your agency; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 19; 
2003 (Total respondents: 24): 20; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 6[E]; 
2003 (Total respondents: 24): 4. 

Section 15(k) function: Determining/Reviewing individual acquisitions 
for small business set-asides; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 18; 
2003 (Total respondents: 24): 17; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 7[F]; 
2003 (Total respondents: 24): 7. 

Section 15(k) function: Assisting small businesses to obtain payments 
from prime contractors; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 14; 
2003 (Total respondents: 24): 17; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 11[G]; 
2003 (Total respondents: 24): 7. 

Section 15(k) function: Assigning a small business technical advisor; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 10; 
2003 (Total respondents: 24): 13; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 10[H]; 
2003 (Total respondents: 24): 7; 
No answer: 
2010 (Total respondents: 25): 5[I]; 
2003 (Total respondents: 24): 4. 

Source: GAO analysis of survey data from 2010 and 2003. 

[A] The one agency that reported that supervisory authority over 
personnel with the duties and functions of the OSDBU was not a 
function of the OSDBU was SSA. 

[B] The one agency that reported that attempting to identify 
solicitations involving bundling of contract requirements was not a 
function of the OSDBU was the Office of Personnel Management (OPM). 

[C] The one agency that reported that working with agency acquisition 
officials to revise procurement strategies for bundled contract 
requirements to increase small business participation was not a 
function of the OSDBU was SSA. 

[D] The five agencies that reported that facilitating small business 
participation as subcontractors to bundled contracts was not a 
function of their offices were the Departments of Agriculture and 
Commerce, the Office of the Secretary of Defense, OPM, and SSA. 

[E] The six agencies that reported that assisting small businesses to 
obtain payments from their agencies was not a function of their 
offices were the Departments of the Air Force, Education, and the 
Interior; EPA; the Office of the Secretary of Defense; and SSA. 

[F] The seven agencies that reported that determining/reviewing 
individual acquisitions for small business set-asides was not a 
function of their offices were the Departments of the Army, Education, 
Energy, Housing and Urban Development (HUD), and Transportation; the 
Office of the Secretary of Defense; and OPM. 

[G] The 11 agencies that reported that assisting small businesses to 
obtain payments from prime contractors was not a function of their 
offices were the Departments of Agriculture, the Air Force, Education, 
the Interior, and Transportation; EPA; HUD; the Office of the 
Secretary of Defense; OPM; SSA; and the U.S. Agency for International 
Development (USAID). 

[H] The 10 agencies that reported that assigning a small business 
technical advisor was not a function of their offices were the 
Departments of the Air Force, the Army, Commerce, Energy, the 
Interior, Justice, the Navy, Transportation, and Veterans Affairs and 
DLA. 

[I] Section 15(k) of the Small Business Act requires the OSDBU 
director to designate a small business technical advisor when SBA has 
assigned a procurement center representative to their agency. 
According to the OSDBU directors at HUD, the Office of the Secretary 
of Defense, OPM, SSA, and USAID, SBA had not assigned a procurement 
center representative to their agencies at the time of our survey. As 
a result, the OSDBU directors of these agencies were not required to 
assign a small business technical advisor. 

[End of figure] 

OSDBU Directors Varied in How Extensively They Carried Out Certain 
Section 15(k) Functions: 

We also asked OSDBU directors about the extent to which they carried 
out six of the eight 15(k) functions, and their responses varied. 
[Footnote 20] Over half of those OSDBU directors who responded to the 
contract bundling questions reported that they carried out these 
functions to either a great or very great extent (see table 2). In 
contrast, six OSDBU directors reported having assisted small 
businesses to obtain payments from their agencies to a great or very 
great extent. Even fewer (two) reported having assisted small 
businesses to obtain payments from prime contractors to a great or 
very great extent. 

Table 2: Extent to Which 25 OSDBU Directors Surveyed Performed 15(k) 
Contract Bundling and Payment Assistance Functions: 

Section 15(k) function: Attempting to identify proposed solicitations 
that involve bundling of contract requirements; 
Not a role of the OSDBU: 1; 
Very great extent: 9; 
Great extent: 7; 
Moderate extent: 2; 
Some extent: 5; 
Little or no extent: 1. 

Section 15(k) function: Working with agency acquisition officials to 
revise procurement strategies for bundled contract requirements; 
Not a role of the OSDBU: 1; 
Very great extent: 9; 
Great extent: 5; 
Moderate extent: 2; 
Some extent: 4; 
Little or no extent: 4. 

Section 15(k) function: Facilitating small business participation as 
subcontractors to bundled contracts; 
Not a role of the OSDBU: 5; 
Very great extent: 7; 
Great extent: 6; 
Moderate extent: 2; 
Some extent: 1; 
Little or no extent: 4. 

Section 15(k) function: Assisting small businesses to obtain payments 
from agency; 
Not a role of the OSDBU: 6; 
Very great extent: 3; 
Great extent: 3; 
Moderate extent: 4; 
Some extent: 5; 
Little or no extent: 4. 

Section 15(k) function: Assisting small businesses to obtain payments 
from prime contractors; 
Not a role of the OSDBU: 11; 
Very great extent: 1; 
Great extent: 1; 
Moderate extent: 2; 
Some extent: 5; 
Little or no extent: 5. 

Source: GAO analysis of 2010 survey data. 

[End of table] 

Of the 18 OSDBU directors who reported that reviewing or determining 
individual contracts that should be set aside for a small business was 
a function of their OSDBU, 13 stated they reviewed proposed small 
business set-asides for individual acquisitions in all or most cases. 
In their written comments, nine directors noted that they reviewed all 
acquisitions exceeding a certain amount for small business set-aside 
determinations. For instance, one of these directors explained that 
the agency had a regulation that prescribed policies, 
responsibilities, and procedures for clearing contracts over the 
simplified acquisition threshold ($150,000) that were not set aside or 
reserved for small business participation, including bundled contracts. 

We also asked the OSDBU directors to indicate the extent to which they 
cooperated and consulted with SBA in carrying out their 
responsibilities. Twenty-one directors reported that they cooperated 
and consulted with SBA to a great or very great extent. In their 
written comments, more than half of the directors noted they 
participated in SBA-sponsored activities and initiatives. For 
instance, 13 reported attending or sending staff to monthly SBA Small 
Business Procurement Advisory Council meetings.[Footnote 21] 

OSDBU Directors Reported That Agency Personnel Other Than the OSDBU 
Staff Often Carried Out Certain 15(k) Functions: 

The number of OSDBU directors surveyed who did not view a section 
15(k) function as their current responsibility varied, depending on 
the specific function. The number ranged from 1 who did not view 
maintaining supervisory authority over OSDBU personnel as a function 
to 11 who did not view assisting small businesses to obtain payments 
from prime contractors as a responsibility. In their written comments 
and follow-up interviews, the directors who did not view a section 
15(k) function as their responsibility generally stated that 
contracting, acquisition, or program staff performed it. It was not 
clear from our survey results the extent to which OSDBU directors are 
involved in those functions carried out by other agency staff. 
Appendix III provides details on the agency personnel other than OSDBU 
staff who carry out certain section 15(k) functions. 

Few Directors Performed Procurement-related Roles Outside of Their 
15(k) Functions: 

In 2010, a smaller number of OSDBU directors than in 2003 viewed 
additional procurement activities such as developing solicitations, 
evaluating proposals, developing factors for evaluating solicitations, 
and monitoring small businesses as roles of the OSDBU (see figure 2). 
For example, 3 directors reported that developing proposed 
solicitations was a role of the OSDBU in 2010, compared with 9 
directors in 2003. The majority of the 22 directors who reported they 
did not carry out this function commented that their agencies' 
contracting offices performed this role. Of these 22 directors, 6 
reported that the OSDBU played a collaborative role, such as reviewing 
solicitation language. Additionally, in 2010, 11 directors viewed 
developing evaluation factors for solicitations at their agencies as a 
role of the OSDBU, compared with 15 in 2003. However, of the 14 
directors who said they did not perform the function in 2010, 4 
reported having some involvement in the process. For example, 1 
director commented that the OSDBU had provided examples of 
solicitation evaluation criteria for agency procurements. 

Figure 2: Figure 2: OSDBU Directors Reporting That Duties Other Than 
15(K) Requirements Were Functions of Their Offices: 

[Refer to PDF for image: horizontal bar graph] 

Function: Developing proposed solicitations; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 3; 
2003 (Total respondents: 24): 9; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 22; 
2003 (Total respondents: 24): 15. 

Function: Evaluating proposals submitted by potential contractors in 
response to solicitations; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 5; 
2003 (Total respondents: 24): 7; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 20; 
2003 (Total respondents: 24): 16. 

Function: Developing evaluation factors for solicitations for the 
agency; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 11; 
2003 (Total respondents: 24): 15; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 14; 
2003 (Total respondents: 24): 9. 

Function: Monitoring small businesses that receive prime contracts; 
Yes, this function is a duty of the OSDBU director: 
2010 (Total respondents: 25): 10; 
2003 (Total respondents: 24): 12; 
No, this function is not a duty of the OSDBU director: 
2010 (Total respondents: 25): 15; 
2003 (Total respondents: 24): 12. 

Source: GAO analysis of survey data from 2010 and 2003. 

[End of figure] 

OSDBUs Collaborated to Promote Small Business Contracting, but Some 
Directors Reported Staffing and Funding Challenges: 

OSDBU directors reported they collaborated with acquisition officials 
and conducted outreach to small businesses to promote small business 
contracting. For example, nearly all of the 25 OSDBU directors we 
surveyed indicated they were involved in acquisition planning. At the 
seven agencies with major contracting activity, OSDBU officials told 
us that top agency leaders also participated in outreach events and 
issued agency policy statements supporting small business efforts. 
Agencies were held accountable for fostering small business 
contracting through SBA's small business goals, and SBA had initiated 
efforts to identify promising practices OSDBUs can take to further 
small business contracting. Some OSDBU directors we surveyed reported 
that inadequate staffing levels and limited budgetary resources were 
challenges to carrying out their responsibilities. 

OSDBU Directors Used Collaboration, Outreach, and Oversight to 
Facilitate Small Business Contracting: 

OSDBU directors use a variety of methods--including internal and 
external collaboration, outreach to small businesses, and oversight of 
agency small business contracting--to facilitate small business 
contracting. 

Internal and External Collaboration: 

The OSDBU directors we surveyed and spoke with said that both internal 
and external collaboration were important to their efforts to promote 
small business contracting. Twenty-three of the 25 OSDBU directors 
surveyed viewed involvement in acquisition planning as a role or 
function of their OSDBUs. Of this number, 15 directors reported they 
carried out this function to a great or very great extent. For 
instance, OSDBU directors reported acquisition planning activities 
such as preparing annual forecasts of contracting opportunities, being 
a voting member of the agency's senior procurement council, 
participating in contracting agreement and review board meetings, and 
reviewing and providing feedback on draft acquisition plans. 

Further, the OSDBU directors we interviewed at the seven agencies with 
major contracting activity all viewed relationships with acquisition 
staff as important in promoting small business contracting. For 
example, the OSDBU director at DLA told us that establishing 
relationships with acquisition management was the most important part 
of promoting small business contracting. In addition, the OSDBU 
director at HHS described small business contracting as a "three-
legged stool," with acquisition staff, program staff, and OSDBU staff 
working together to support it. Four of the seven OSDBU directors 
stressed the importance of working with acquisition officials from the 
start of a project rather than trying to integrate them after a 
project was under way. For instance, the director at HHS stated that 
the OSDBU spent a great deal of time on early acquisition planning to 
help ensure that small businesses received consideration throughout 
the decision-making process. Officials at the Air Force OSDBU also 
stated that early involvement gave the office time to review 
acquisitions and discuss small business involvement. These officials 
noted that reviewing proposed actions late in the process placed the 
OSDBU in a defensive position. 

Six of the seven directors we interviewed also told us they 
participated in acquisition teams as advocates for small business. For 
instance, Energy has established a monthly Advanced Planning 
Acquisition Team comprising OSDBU, procurement, acquisition, and SBA 
officials. The purpose of the team is to review proposed strategies 
for new and existing acquisitions to identify prime and subcontracting 
opportunities for small businesses. The OSDBU directors at both Army 
and DLA are members of acquisition review boards for contracts of more 
than $500 million and $20 million, respectively. The seven OSDBU 
directors we interviewed also stated that small business staff in the 
field, often referred to as small business specialists, reviewed 
proposed acquisitions for opportunities. For example, the Army OSDBU 
director told us that the OSDBU reviewed all acquisitions of more than 
$500 million but that these specialists reviewed all acquisitions over 
$150,000 that were not set-aside for small businesses and worked with 
acquisition staff to ensure that small businesses were considered. 

In addition, the OSDBU directors we interviewed collaborated with 
other federal agencies to maximize small business contracting. All 
seven participate in the Federal OSDBU Directors Interagency Council, 
an informal organization that meets to exchange information on 
initiatives and processes related to small businesses and outreach 
events that promote small business contracting.[Footnote 22] Among 
other things, the council seeks to identify best practices and share 
ideas and experiences among federal agencies and private industry to 
help leverage resources and develop solutions for promoting small 
business involvement. 

Outreach Efforts to Small Businesses: 

Nearly all of the OSDBU directors we surveyed saw outreach activities 
to small businesses as a function of their offices. For instance, 23 
of the 25 OSDBU directors viewed hosting conferences for small 
businesses as one of their responsibilities, and 23 had hosted such an 
event in the last 2 years. More specifically, these 23 agencies had 
hosted an average of 20 conferences in the past 24 months. For 
instance, one OSDBU director reported the agency had sponsored 
conferences of varying sizes to address contractual requirements that 
program offices noticed or forecasted. The same director noted the 
conferences were typically conducted in a networking or "business 
fair" format, allowing vendors to engage program and contracting 
officials. In addition, most of the OSDBU directors surveyed (20 of 
25) saw sponsoring training programs for small businesses as one of 
their responsibilities, and 18 had hosted such an event in the last 2 
years. For example, OSDBU directors described sponsoring trainings for 
small businesses in specific socioeconomic groups, providing one-on-
one trainings, and offering workshops focused on specific skills such 
as writing proposals and teaming with larger businesses. 

The seven OSDBU directors we interviewed provided examples of outreach 
to the small business community. For example, the OSDBU director at 
DLA said the OSDBU worked closely with the American Legion to promote 
contracting to small businesses owned by service-disabled veterans. 
According to the NASA OSDBU director, small business staff held over 
100 outreach events in fiscal year 2010. Other OSDBU officials 
described their efforts to disseminate information to small businesses 
through Web sites. For instance, Navy's OSDBU director stated the 
agency was working to standardize the Web site formats used by its 
various units for outreach to small businesses. He explained that 
OSDBU staff had reviewed the Web sites to determine whether a small 
business could access information easily, and found retrieving 
information on small businesses difficult because each of the sites 
was set up differently. The Air Force maintains a small business Web 
site that provides small businesses with information on the agency's 
contracting opportunities.[Footnote 23] An OSDBU official stated the 
site was comprehensive and included the contact information for small 
business staff, long-range acquisition data, information on various 
outreach efforts, links to the Air Force's quarterly newsletter, and 
articles on small business issues. 

Oversight of Agency Small Business Contracting: 

OSDBUs also provide oversight of agencies' small business contracting. 
The FAR requires annual assessments of the extent to which small 
businesses are receiving a fair share of federal 
procurements.[Footnote 24] We found that these assessments varied 
across the seven agencies we interviewed. For example, the OSDBU at 
Energy conducts quarterly reviews of program offices. Offices are 
rated using a color-coded system--green for reaching 95 percent of 
small business goals and yellow or red for lower percentages. The NASA 
OSDBU produces monthly reports on the agency's individual space and 
research centers' progress in meeting small business goals and 
collects data on the centers' outreach and training efforts.[Footnote 
25] The OSDBU follows up with individual centers that do not meet 
their goals. At Army, the OSDBU director tracks agency performance 
using Federal Procurement Data System--Next Generation data. She noted 
that if the data indicated decreases in small business contracting 
from prior-year trends, agency leadership would be informed. 

All seven agencies we interviewed also conducted program management 
reviews (PMR) or similar reviews to help ensure that small businesses 
were being considered for contracts and internal controls for ongoing 
contracts followed. During PMRs, officials review a sample of existing 
contracts to determine whether proper procedures and internal 
controls, including those related to small business, have been 
followed. The OSDBU directors at four agencies (Army, DLA, HHS, and 
NASA) reported that OSDBU and acquisition officials jointly conducted 
these reviews. At the Air Force, small business staff in field offices 
conducted the PMRs, and at Energy, procurement staff conducted them. 
The Navy OSDBU had replaced PMRs with procurement performance 
management assessments, which review contracting offices and commands 
on 11 categories, including involvement of small business in 
acquisition planning and procurement planning, marketing strategies 
and approaches, number of set-asides, and inclusion of small business 
clauses in all contracts. 

Top Agency Officials Generally Provided Support for Small Business 
Efforts: 

OSDBU officials at the seven agencies we contacted told us that top 
agency leaders supported small business contracting by participating 
in outreach events and issuing policy statements. For instance, these 
OSDBU directors cited the following examples of their agency heads' 
participation in outreach events: 

* The DLA Director took part in public forums such as conferences and 
emphasized small business contracting when interviewed for a magazine 
article. 

* The NASA Administrator attended the agency's second annual small 
business symposium and award ceremony to personally recognize the 
achievements of small businesses, while the Deputy Administrator 
handed out awards. 

* In fiscal year 2010, top Army management attended five major 
outreach events, including the National Veterans Conference, an event 
that the OSDBU had hosted for 6 years. 

Top management also promoted small business contracting by issuing 
agency policy statements or memos. For instance: 

* The Secretary of the Air Force issued a joint memo with the Chief of 
Staff in January 2009 that encouraged officials to "aggressively seek" 
small businesses owned by service-disabled veterans for Air Force 
contracts and encouraged using the OSDBU to help identify strategies 
and capable firms. 

* The Secretary of Energy issued a memo in November 2009 asking all 
program offices to work with the OSDBU to promote prime contracting, 
subcontracting, and financial assistance opportunities for small 
businesses, including small disadvantaged, Historically Underutilized 
Business Zone (HUBZone), 8(a), women-owned, and service-disabled 
veteran-owned small businesses. 

* In June 2009, the Secretary of the Navy issued a memo establishing 
the Department of the Navy Small Business Award to recognize 
individuals and teams who have made outstanding contributions in 
promoting competition and innovation in the Navy acquisition process. 

* The Deputy Secretary at HHS issued a memo in January 2009, which 
stated that component heads were expected to provide their full 
support to the small business program at every juncture within the 
acquisition process. 

SBA's Small Business Goals and Performance Standards Held Agencies and 
Staff Accountable for Furthering Small Business Contracting: 

Agencies as a whole are held accountable for furthering small business 
contracting through SBA's small business goaling program and 
scorecard. SBA produces an annual "goaling" report showing the 
percentage of contracting dollars awarded to small businesses. SBA's 
goaling report for fiscal year 2009 shows that 22 percent of eligible 
contract dollars governmentwide were awarded to small businesses, an 
amount that was just short of the statutory requirement of 23 percent. 
As shown in table 3, the percentage awarded to small businesses by the 
agencies we surveyed ranged from 6 percent to 56 percent of eligible 
contract dollars.[Footnote 26] 

Table 3: Small Business Contracting at Agencies Surveyed by GAO, 
Fiscal Year 2009: 

Agency surveyed: Agriculture; 
Total small business eligible dollars[B] (millions): $5,321; 
Small business dollars (millions): $2,803; 
Small business goal[C]: 49.9%; 
Percentage of eligible dollars awarded to small businesses: 52.7%. 

Agency surveyed: Commerce; 
Total small business eligible dollars[B] (millions): $3,341; 
Small business dollars (millions): $1,222; 
Small business goal[C]: 46.7%; 
Percentage of eligible dollars awarded to small businesses: 36.6%. 

Agency surveyed: DOD[A]; 
Total small business eligible dollars[B] (millions): $302,377; 
Small business dollars (millions): $63,894; 
Small business goal[C]: 22.2%; 
Percentage of eligible dollars awarded to small businesses: 21.1%. 

Agency surveyed: Education; 
Total small business eligible dollars[B] (millions): $1,485; 
Small business dollars (millions): $244; 
Small business goal[C]: 12.8%; 
Percentage of eligible dollars awarded to small businesses: 16.4%. 

Agency surveyed: Energy; 
Total small business eligible dollars[B] (millions): $30,991; 
Small business dollars (millions): $1,959; 
Small business goal[C]: 5.9%; 
Percentage of eligible dollars awarded to small businesses: 6.3%. 

Agency surveyed: EPA; 
Total small business eligible dollars[B] (millions): $2,007; 
Small business dollars (millions): $950; 
Small business goal[C]: 39.8%; 
Percentage of eligible dollars awarded to small businesses: 47.3%. 

Agency surveyed: General Services Administration; 
Total small business eligible dollars[B] (millions): $7,399; 
Small business dollars (millions): $2,001; 
Small business goal[C]: 35.7%; 
Percentage of eligible dollars awarded to small businesses: 27.0%. 

Agency surveyed: HHS; 
Total small business eligible dollars[B] (millions): $18,797; 
Small business dollars (millions): $3,204; 
Small business goal[C]: 19.0%; 
Percentage of eligible dollars awarded to small businesses: 17.0%. 

Agency surveyed: Homeland Security; 
Total small business eligible dollars[B] (millions): $14,440; 
Small business dollars (millions): $4,676; 
Small business goal[C]: 31.9%; 
Percentage of eligible dollars awarded to small businesses: 32.4%. 

Agency surveyed: Housing and Urban Development; 
Total small business eligible dollars[B] (millions): $874; 
Small business dollars (millions): $434; 
Small business goal[C]: 66.3%; 
Percentage of eligible dollars awarded to small businesses: 49.7%. 

Agency surveyed: Interior; 
Total small business eligible dollars[B] (millions): $2,924; 
Small business dollars (millions): $1,644; 
Small business goal[C]: 55.5%; 
Percentage of eligible dollars awarded to small businesses: 56.2%. 

Agency surveyed: Justice; 
Total small business eligible dollars[B] (millions): $7,674; 
Small business dollars (millions): $1,883; 
Small business goal[C]: 36.8%; 
Percentage of eligible dollars awarded to small businesses: 24.5%. 

Agency surveyed: Labor; 
Total small business eligible dollars[B] (millions): $1,956; 
Small business dollars (millions): $718; 
Small business goal[C]: 33.4%; 
Percentage of eligible dollars awarded to small businesses: 36.7%. 

Agency surveyed: NASA; 
Total small business eligible dollars[B] (millions): $14,640; 
Small business dollars (millions): $2,208; 
Small business goal[C]: 15.4%; 
Percentage of eligible dollars awarded to small businesses: 15.1%. 

Agency surveyed: Office of Personnel Management; 
Total small business eligible dollars[B] (millions): $1,605; 
Small business dollars (millions): $224; 
Small business goal[C]: 28.9%; 
Percentage of eligible dollars awarded to small businesses: 14.0%. 

Agency surveyed: SSA; 
Total small business eligible dollars[B] (millions): $1,241; 
Small business dollars (millions): $403; 
Small business goal[C]: 32.5%; 
Percentage of eligible dollars awarded to small businesses: 32.5%. 

Agency surveyed: State; 
Total small business eligible dollars[B] (millions): $3,003; 
Small business dollars (millions): $1,019; 
Small business goal[C]: 37.0%; 
Percentage of eligible dollars awarded to small businesses: 33.9%. 

Agency surveyed: Transportation; 
Total small business eligible dollars[B] (millions): $1,929; 
Small business dollars (millions): $751; 
Small business goal[C]: 37.0%; 
Percentage of eligible dollars awarded to small businesses: 38.9%. 

Agency surveyed: Treasury; 
Total small business eligible dollars[B] (millions): $2,157; 
Small business dollars (millions): $576; 
Small business goal[C]: 29.4%; 
Percentage of eligible dollars awarded to small businesses: 26.7%. 

Agency surveyed: U.S. Agency for International Development; 
Total small business eligible dollars[B] (millions): $1,059; 
Small business dollars (millions): $109; 
Small business goal[C]: 19.6%; 
Percentage of eligible dollars awarded to small businesses: 8.7%. 

Agency surveyed: Veterans Affairs; 
Total small business eligible dollars[B] (millions): $14,545; 
Small business dollars (millions): $5,082; 
Small business goal[C]: 28.7%; 
Percentage of eligible dollars awarded to small businesses: 34.9%. 

Source: SBA's 2009 Goaling Report and Scorecards. 

[A] DOD and its component agencies (Air Force, Army, DLA, and Navy) 
are assessed as one unit by the SBA goaling program. 

[B] Small business eligible dollars are the total dollars obligated 
for contracts minus certain exclusions such as contracts performed 
outside the U.S., foreign military sales, and leases. 

[C] The small business goal that SBA sets for each agency varies and 
is the percentage of total small business eligible dollars to be 
awarded to small businesses. 

[End of table] 

SBA sets annual goals for small business contracting at each agency, 
basing these goals on the agencies' past performance, total spending, 
and purchases of goods and services from small businesses. These goals 
are set for the agency as a whole, not just for the OSDBU. As we 
reported in 2009, OSDBU officials at some agencies reported challenges 
with the goal-setting process, including limitations in negotiating 
and appealing their goals.[Footnote 27] At that time, agencies told 
GAO the goal-setting process was not a negotiation and that SBA did 
not factor in changes to agencies' contracting priorities in setting 
the goals. Two of the seven agencies that we interviewed (Energy and 
HHS) said that meeting small business goals was difficult because the 
goods and services the agency purchased were not well suited for small 
business contracts. For example, 85 percent of Energy's contracts are 
facility management contracts that have traditionally been awarded to 
large businesses and universities to manage operations at sites such 
as Los Alamos National Laboratory. According to SBA officials, the 
agency has revised the goal-setting process to make it more 
collaborative. 

SBA also assessed all of the agencies we surveyed using its annual 
small business scorecard to ensure greater accountability. According 
to SBA, the scorecard fulfills its statutory requirement to report to 
the President and Congress on achievements by federal agencies against 
their annual goals.[Footnote 28] The SBA scorecard evaluates factors 
such as goals met, progress shown, agency small business strategies, 
and top-level commitment to meeting goals for 24 agencies and offices 
and the government as a whole. In fiscal year 2009, SBA updated the 
scorecard and now assigns a letter grade to each agency. Eighty 
percent of an agency's grade is based on its progress in meeting its 
prime contracting goal, 10 percent on its progress in meeting its 
subcontracting goal, and 10 percent on a performance rating assigned 
to the agency by a panel of OSDBU directors. The agencies submit 
reports on small business achievements that the panel uses to 
determine performance ratings.[Footnote 29] The scorecard does not 
specifically consider the performance of the OSDBU or its director, 
although the OSDBU director may be involved in some of the activities 
evaluated. 

All seven of the OSDBU directors we interviewed are held accountable 
for promoting small business contracting primarily through internal 
performance standards and appraisals. Performance standards identify 
goals and set objectives that are used as key indicators of 
achievement during annual or midpoint performance appraisals. For 
example, the NASA OSDBU director explained that, as part of his 
performance appraisal process, he was reviewed against measurable and 
achievable goals. These included developing a small business 
improvement plan for the agency with specific initiatives to meet its 
small business goals and implementing a training course for agency 
staff on a standard method to evaluate proposals submitted to the 
agency. 

To help OSDBUs improve their capabilities, SBA and others have 
initiated efforts to identify promising practices that OSDBUs can use 
to facilitate small business contracting. A White House Interagency 
Task Force on Federal Contracting Opportunities for Small Businesses, 
which was established April 2010, identified the need for best 
practices. The task force issued a report that identified challenges 
to small businesses such as inadequate training for agency staff. 
[Footnote 30] Among other things, it recommended that the executive 
branch facilitate the identification and rapid adoption of successful 
practices for increasing opportunities for small businesses. To 
implement this recommendation, the task force suggested that SBA (1) 
develop a Web site to share best practices and (2) organize an event 
for OSDBUs to present best practices for ensuring greater small 
business participation and catalog and publicize the results. 
According to SBA officials, they have taken steps to plan these 
efforts. SBA had already begun to highlight on its Web site best 
practices for making opportunities available to small businesses and 
has identified three to date.[Footnote 31] In addition, during the 
scorecard process, the panel of OSDBU directors identified best 
practices at 12 agencies, although these have not been published with 
this list on SBA's Web site. The Federal OSDBU Directors Interagency 
Council also seeks to identify best practices and has identified some 
that focus on interactions between OSDBUs and small businesses. 
[Footnote 32] 

Survey Respondents Identified Staffing, Funding, and Influence in the 
Procurement Process as Challenges: 

Most of the 25 OSDBU directors surveyed indicated that inadequate 
staffing levels and limited budgetary resources were challenges to 
carrying out their responsibilities to at least some extent (see table 
4). These issues were also reported as challenges in 2003. Twenty 
agencies reported that inadequate staffing levels were a challenge to 
at least some extent in 2010, compared with 17 agencies in 2003. 
Seventeen agencies reported that limited budgetary resources were a 
challenge to at least some extent in 2010 and in 2003. 

Table 4: Challenges Reported by OSDBU Directors in Carrying Out Their 
Responsibilities: 

Inadequate staffing levels: 
Year of survey: 2010; 
Very great extent: 4; 
Great extent: 2; 
Moderate extent: 8; 
Some extent: 6; 
Little or no extent: 5; 
No answer: 0. 

Inadequate staffing levels: 
Year of survey: 2003; 
Very great extent: 1; 
Great extent: 4; 
Moderate extent: 5; 
Some extent: 7; 
Little or no extent: 6; 
No answer: 1. 

Limited budgetary resources: 
Year of survey: 2010; 
Very great extent: 6; 
Great extent: 1; 
Moderate extent: 5; 
Some extent: 5; 
Little or no extent: 8; 
No answer: 0. 

Limited budgetary resources: 
Year of survey: 2003; 
Very great extent: 2; 
Great extent: 3; 
Moderate extent: 3; 
Some extent: 9; 
Little or no extent: 6; 
No answer: 1. 

Lack of influence in the procurement process: 
Year of survey: 2010; 
Very great extent: 1; 
Great extent: 2; 
Moderate extent: 3; 
Some extent: 6; 
Little or no extent: 13; 
No answer: 0. 

Lack of influence in the procurement process: 
Year of survey: 2003; 
Very great extent: 2; 
Great extent: 2; 
Moderate extent: 3; 
Some extent: 6; 
Little or no extent: 10; 
No answer: 1. 

Source: GAO analysis of survey data from 2010 and 2003. 

[End of table] 

Six agencies reported that inadequate staffing levels were a challenge 
to a great or very great extent, and seven agencies reported that 
limited budgetary resources were a challenge to a great or very great 
extent. In a follow-up interview, OSDBU officials at one agency 
explained that while they were able to perform their mission, 
inadequate staffing levels had resulted in increased staff workloads, 
longer work days, and the need to cross-train staff. They noted that 
in addition to the functions listed in 15(k) of the Small Business 
Act, they were also responsible for reviewing grant programs for small 
business opportunities. The OSDBU director at another agency indicated 
that because she had only one staff person, her office was unable to 
review the majority of procurement actions, including those involving 
contract bundling. She also noted that limited budgetary resources 
restricted the hiring of additional staff. Additionally, in follow-up 
interviews, four OSDBU directors noted that limited budgetary 
resources hindered their efforts to reach out to small businesses. 

Almost half of the OSDBU directors surveyed also reported that their 
lack of influence in the procurement process was a challenge to 
carrying out their responsibilities to at least some extent. Three 
agencies indicated that this issue represented a challenge to a great 
or very great extent. In a follow-up interview, OSDBU officials at one 
agency told us that better coordination was needed between the OSDBU 
and acquisition officials on issues related to small businesses. While 
the OSDBU participated in acquisition planning, the officials noted 
that their role in acquisition decisions was not clear. Another OSDBU 
director stated that as part of the acquisition approval process, he 
could disagree with a contract recommendation. However, the director 
noted that his decision could also be appealed and overruled by an 
acquisition executive, thus limiting the OSDBU's influence. 

At the seven agencies with major contracting activity, trends in 
staffing and funding levels varied over the past 5 years. From fiscal 
year 2006 to 2010, OSDBU staffing generally decreased at Energy, 
increased slightly at DLA, the Navy, and NASA, and stayed the same at 
the Army and HHS (see table 5). At the Air Force, staffing fluctuated 
in the interim, but was the same in fiscal year 2010 as it was in 
fiscal year 2006. 

Table 5: OSDBU Full-Time Equivalent Staff, Fiscal Years 2006 to 2010: 

Agency: Air Force; 
FY 2006: 13; 
FY 2007: 12; 
FY 2008: 17; 
FY 2009: 18; 
FY 2010: 13. 

Agency: Army; 
FY 2006: 9; 
FY 2007: 9; 
FY 2008: 9; 
FY 2009: 9; 
FY 2010: 9. 

Agency: DLA; 
FY 2006: 7.5; 
FY 2007: 7.5; 
FY 2008: 8; 
FY 2009: 8; 
FY 2010: 10. 

Agency: Energy; 
FY 2006: 9; 
FY 2007: 9; 
FY 2008: 9; 
FY 2009: 6; 
FY 2010: 6. 

Agency: HHS; 
FY 2006: 17; 
FY 2007: 17; 
FY 2008: 17; 
FY 2009: 17; 
FY 2010: 17. 

Agency: NASA; 
FY 2006: 4; 
FY 2007: 5.6; 
FY 2008: 4.83; 
FY 2009: 5.38; 
FY 2010: 5.14. 

Agency: Navy; 
FY 2006: 5; 
FY 2007: 6; 
FY 2008: 6; 
FY 2009: 6; 
FY 2010: 7. 

Source: Agency documents and officials. 

Note: The partial numbers for NASA are due to changes in the number of 
staff throughout the year. 

[End of table] 

Additionally, from fiscal year 2006 to 2010 OSDBU funding generally 
decreased at the Air Force, the Army, and Energy and increased at DLA, 
HHS, the Navy, and NASA (see table 6). 

Table 6: OSDBU Budgets, Fiscal Years 2006 to 2010: 

Agency: Air Force; 
FY 2006: $2,525,000; 
FY 2007: $1,931,000; 
FY 2008: $2,791,000; 
FY 2009: $3,947,000; 
FY 2010: $1,462,000. 

Agency: Army; 
FY 2006: $2,156,000; 
FY 2007: $2,119,000; 
FY 2008: $2,081,000; 
FY 2009: $2,111,000; 
FY 2010: $1,868,000. 

Agency: DLA; 
FY 2006: $876,997; 
FY 2007: $848,414; 
FY 2008: $899,855; 
FY 2009: $1,096,264; 
FY 2010: $1,157,593. 

Agency: Energy; 
FY 2006: $1,333,866; 
FY 2007: $1,192,886; 
FY 2008: $1,059,928; 
FY 2009: $964,454; 
FY 2010: $789,828. 

Agency: HHS; 
FY 2006: $2,644,000; 
FY 2007: $2,628,000; 
FY 2008: $2,660,000; 
FY 2009: $2,690,000; 
FY 2010: $2,690,000. 

Agency: NASA; 
FY 2006: $1,168,196; 
FY 2007: $1,527,274; 
FY 2008: $1,548,217; 
FY 2009: $1,796,166; 
FY 2010: $1,838,817. 

Agency: Navy; 
FY 2006: $519,000; 
FY 2007: $665,000; 
FY 2008: $898,000; 
FY 2009: $971,000; 
FY 2010: $1,619,000. 

Source: Agency documents and officials. 

Note: The purpose of this table is to show trends at each agency over 
the past 5 years, not to compare OSDBU budgets across agencies. In 
general, the budget data include funding for general office operations 
and personnel. For Air Force and Army, these data are their 
maintenance and operations budgets, which include only civilian 
salaries. 

[End of table] 

The OSDBU directors at the seven agencies we interviewed noted a 
relationship between changes in staffing and funding levels. For 
example, recent decreases in the Air Force and Energy ODSBU budgets 
were due to decreases in staffing. Air Force officials told us that 
the OSDBU had streamlined operations by eliminating some redundant 
contractor positions and converting some contractors into civilian 
positions. They noted that these changes had resulted in greater 
efficiencies and increased quality. Energy officials stated that since 
the change in administrations in 2008, three political appointees 
working at the Energy ODSBU had left, halving the number of staff 
responsible for the same workload. However, they noted that hiring 
interns and contractors had mitigated staffing constraints and the 
agency anticipated hiring additional OSDBU staff in the future. Recent 
increases in the ODSBU funding for Navy and DLA had resulted in 
increases in staffing. The Navy ODSBU director explained that in 
addition to funding training and outreach programs, the recent 
increases in funding were used to create an OSDBU industry analyst 
position, and two additional positions were being developed. The DLA 
OSDBU director noted that recent budget increases provided for an 
increase in staffing but funding for other expenses such as travel had 
not increased, causing her to have to turn down speaking and outreach 
events due to lack of funds. 

Six of the seven OSDBU directors we interviewed told us they would 
increase the breadth of the activities they currently performed if 
more resources were available.[Footnote 33] For example, the OSDBU 
directors at the Army and Air Force stated they would increase their 
outreach activities. Additionally, a few OSDBU directors noted that if 
more resources were available, they would perform additional analysis 
and offer more training. For example, the DLA OSDBU director stated 
she would analyze DLA commodity purchases and research trends, assist 
with more market research, provide more training to small business and 
other staff, and fill skill gaps within the office. With additional 
resources, the HHS OSDBU director stated she would increase internal 
training opportunities for acquisition program staff and provide 
online training for small businesses. 

Conclusions: 

Section 15(k)(3) of the Small Business Act seeks to help ensure that 
small business advocates within federal agencies have direct access to 
the highest levels of the agency. However, 7 of the 16 federal 
agencies that we reviewed were not in compliance with the act. 
Moreover, all of the agencies that are currently not in compliance 
were not in compliance in 2003 and have maintained the same or a 
similar reporting structure, even though at the time we recommended 
changing them. The OSDBU directors at the nine agencies that were in 
compliance with section 15(k)(3) cited positive benefits to the 
reporting relationship, while the OSDBU directors at the seven 
noncompliant agencies differed on the importance of reporting to the 
agency head or deputy head. Two thought that not reporting to the 
agency head or deputy head was a problem, while the other five 
asserted that the lack of a direct reporting relationship with the 
agency head had not adversely affected their efforts to advocate for 
small business contracting. However, we did not find that these 
arguments justified noncompliance with section 15(k)(3). Continued 
noncompliance with the requirement undermines the intent of the 
provision. If the agencies believe their reporting structures are 
sufficient to ensure that small business contracting receives 
attention from top management at federal agencies, at a minimum they 
have the obligation to explain their noncompliance to Congress and 
provide support for their views, including requesting any statutory 
flexibilities to permit exceptions as appropriate. One potential 
mechanism for making this information available to Congress would be 
through SBA's annual scorecard process. The noncompliant agencies 
could include their rationale for their reporting structure in the 
annual reports that they submit to SBA, and SBA could include such 
information in its scorecard report to Congress. 

Recommendation for Executive Action: 

Given the ongoing requirement in the Small Business Act that OSDBU 
directors report to agency heads or deputy heads, we recommend that 
the heads of the Departments of Agriculture, Commerce, the Interior, 
Justice, State, and the Treasury and the Social Security 
Administration take steps as necessary to comply with the requirement 
or report to Congress on why they have not complied. Such information 
could be included in SBA's annual scorecard report to Congress. 
Moreover, agencies that have not complied with the requirement could 
seek any statutory flexibilities or exceptions they believe may be 
appropriate. 

Agency Comments and Our Evaluation: 

We sent a draft of this report to 26 agencies for their review and 
comment. Of the nine agencies that we concluded were complying with 
section 15(k)(3) of the Small Business Act, only the Department of 
Education provided written comments. In those comments, the agency 
noted that since our 2003 report it had taken definitive corrective 
steps to achieve and remain in compliance with all applicable 
requirements and stated that it was pleased with our recognition of 
its changes to the reporting structure. (See appendix IV for 
Education's written comments.) None of the remaining eight agencies 
found to be in compliance with section 15(k)(3)--the Departments of 
the Air Force, the Army, Energy, and the Navy; DLA; EPA; HHS; and 
NASA--provided any comments on the draft report.[Footnote 34] 

Of the seven agencies that we concluded were not complying with 
section 15(k)(3), the Departments of Commerce, the Interior, Justice, 
State, and the Treasury and SSA provided written comments. These 
written comments are reproduced in appendixes V through X. The 
Department of Agriculture did not comment on the draft report. Of the 
six agencies that provided written comments, the Departments of 
Commerce, Justice, State, and the Treasury disagreed with our 
conclusion that their reporting relationships did not comply with 
section 15(k)(3) of the Small Business Act. The Social Security 
Administration agreed to revise its reporting structure, while the 
Department of the Interior stated it planned to evaluate our 
recommendation and options to resolve the issue. None of the agencies' 
comments caused us to revise our conclusions or recommendations. The 
six agencies' specific comments and our responses are summarized below. 

* The Department of Commerce stated that the agency was in compliance 
with section 15(k)(3) because the OSDBU director reported directly to 
the Deputy Secretary on all legislative and policy issues and to the 
Chief Financial Officer and Assistant Secretary for Administration on 
administrative matters such as personnel and budget. The comment 
letter also cited the agency's small business achievements, such as 
exceeding small business goals. As noted in the draft report, the 
OSDBU director stated that she reported to the Deputy Assistant 
Secretary for Administration for all small business matters and to the 
Assistant Secretary for Administration for administrative matters such 
as budget and personnel. Agency documents, such as the organization 
chart and the OSDBU director's two most recent performance appraisals, 
confirmed this reporting relationship. Further, the OSDBU director 
stated she had never met the Secretary or previous Deputy Secretary. 
She met the new Acting Deputy Secretary in December 2010, but did not 
have a reporting relationship with her. Therefore, we did not revise 
our conclusion or recommendation. 

* The Department of the Interior stated that it did not have comments 
on the draft report, but would be evaluating our recommendation and 
options to resolve the issue. The letter also indicated that the 
agency would report back to GAO once it had finalized its plans. 

* The Department of Justice agreed that its OSDBU was located within 
the Justice Management Division. However, its comment letter stated 
that this arrangement was in place for administrative purposes, and 
that the OSDBU director reported directly to the Deputy Attorney 
General on matters of substance. The letter stated that through this 
organizational structure, the Deputy Attorney General ensured that 
small businesses were provided the maximum practicable opportunity to 
participate in contracting opportunities throughout the agency. The 
letter also commented that the current placement of the OSDBU allowed 
for the efficient management and implementation of the small business 
contracting programs that were vital to the agency in satisfying its 
mission. As we noted in the draft report, agency documentation such as 
the OSDBU director's position description and performance appraisals 
indicated that the director reported to the Deputy Assistant Attorney 
General for Policy, Management and Planning. Further, the OSDBU 
director told us during our review that he had never met the Deputy 
Attorney General. Therefore, we did not revise our conclusion or 
recommendation. 

* The Department of State disagreed with the report's conclusions. The 
letter pointed out that the Assistant Secretary of State for 
Administration, who is the designated OSDBU director, reports to the 
Deputy Secretary concerning small business activities. This 
information was included in the draft report. However, we concluded 
that the agency was not in compliance with section 15(k)(3) because 
the Assistant Secretary had delegated his OSDBU responsibilities to a 
lower-level official who did not report to the Secretary or Deputy 
Secretary. Regarding this conclusion, State commented that section 
15(k)(3) permitted the delegation of functions from the Assistant 
Secretary to the OSDBU Operations Director and stated that while OSDBU 
directors were responsible for implementing and executing the specific 
functions and duties assigned under sections 8 and 15 of the Small 
Business Act, section 15(k)(3) contained no requirement that the 
director personally perform any specific functions. The letter further 
commented that executive branch authority was typically exercised 
through delegation, with an agency's basic authority being vested in 
the agency head and subsequently redelegated. It cited the case of 
Fleming v. Mohawk Wrecking & Lumber Co., 331 U.S. 121 (1947) as an 
example in which the authority to redelegate is implied. However, as 
we stated in our 2003 report, the Fleming case recognizes that the 
delegation of authority may be withheld by implication, and we believe 
section 15(k)(3) does exactly that.[Footnote 35] As explained in this 
report, to ensure that the OSDBU responsibilities are effectively 
implemented, the statute mandates that the OSDBU director (i.e., the 
person carrying out the responsibilities) have immediate access and be 
responsible only to the agency head or deputy. The legislative history 
reveals that the reason for this requirement is that Congress believed 
that agency officials responsible for promoting procurements for small 
and disadvantaged businesses were often too far down the chain of 
command to be effective. The reporting requirement of section 15(k)(3) 
was intended to remedy this situation. The Department of State's 
letter also highlighted its small and disadvantaged business goal 
achievements and commented that reorganizing the OSDBU so that its 
Operations Director reported directly to the Secretary or her Deputy 
would decrease efficiency. The letter concluded by stating that the 
OSDBU Operations Director currently had direct access whenever 
necessary to decision makers in the Department programs that utilize 
small and disadvantaged businesses. As indicated in the 
recommendation, agencies that believe that they should have greater 
flexibility should pursue this with Congress. 

* The Department of the Treasury disagreed with the report's 
conclusion and commented that the statute did not require that the 
OSDBU director be an official assigned to small business issues full 
time. The letter stated that the Assistant Secretary for Management, 
in the capacity of OSDBU director, had a direct reporting relationship 
to the Deputy Secretary of the Treasury and provided oversight and 
direction to the Office of Small Business Programs as well as to 
bureau heads and their procurement officials in executing the agency's 
responsibilities under the Small Business Act. The letter noted that 
the Assistant Secretary exerted considerable influence over 
acquisition and budget officials at all levels in regards to attaining 
small business goals. Finally, the letter commented that the OSDBU 
director assigning day-to-day operations pertaining to small business 
functions to subordinate officials did not establish any such other 
officials as the "de facto OSDBU director." As previously discussed, 
we believe that section 15(k)(3) includes an implied prohibition 
against delegating the OSDBU director's authority. As a result, we did 
not revise our conclusion or recommendation. 

* The Social Security Administration's letter did not provide comments 
on the draft report but indicated that the agency had reevaluated the 
reporting relationship in light of our draft. The letter stated that 
in the future the OSDBU director would be reporting to the Deputy 
Commissioner, the deputy agency head for SSA. 

Of the remaining 10 agencies that received a copy of the draft report, 
9 agencies--the Departments of Homeland Security, Housing and Urban 
Development, Labor, Transportation, and Veterans Affairs; the General 
Services Administration; the Office of the Secretary of Defense; the 
Office of Personnel Management; and the U.S. Agency for International 
Development--did not provide any comments on the report.[Footnote 36] 
The Small Business Administration provided technical comments, which 
have been incorporated as appropriate. 

We also provided a copy of our survey results, which will be published 
in a separate product 
[hyperlink, http://www.gao.gov/products/GAO-11-436SP], to the 25 
agencies we surveyed and SBA for their review and comment. Only one 
agency had a comment. The Department of State provided a comment via 
email stating that the survey questions focused on the daily duties of 
the OSDBU, but did not provide an opportunity to explain the 
delegation of these duties to the OSDBU Operations Director. We note 
that while the survey was designed to capture the OSDBU director's 
activities (and not the delegation of such duties per se), there were 
numerous open-ended questions that allowed respondents to add 
explanations or qualifications to their responses. State also had the 
opportunity to explain the delegation of duties during our interviews 
with OSDBU officials. 

As agreed with your office, unless you publicly announce the contents 
of this report earlier, we plan no further distribution until 30 days 
from the report date. At that time, we will send copies of this report 
to the Ranking Member of the Senate Committee on Small Business and 
Entrepreneurship, the Chairman and Ranking Member of the House 
Committee on Small Business, and other interested congressional 
committees. The report will also be available at no charge on the GAO 
Web site at [hyperlink, http://www.gao.gov]. 

If you or your office have any questions about this report, please 
contact me at (202) 512-8678 or shearw@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 XI. 

Sincerely yours, 

Signed by: 

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

[End of section] 

Appendix I: Scope and Methodology: 

We reviewed Office of Small and Disadvantaged Business Utilization 
(OSDBU) practices for carrying out the requirements of the Small 
Business Act at federal agencies with major contracting activity. 
Specifically, we (1) assessed whether the director reported directly 
to the agency head or the deputy head; (2) determined the functions 
conducted by the OSDBUs; and (3) examined the actions taken by the 
OSDBUs and other officials at the various agencies to further small 
business contracting opportunities and the effects of funding and 
staff levels on these efforts. 

Identification of Federal Agencies with Major Contracting Activity: 

To determine which federal agencies engage in major contracting 
activity, we reviewed fiscal year 2009 data from the Federal 
Procurement Data System-Next Generation. (These were the most recent 
data available at the time of our review.) This dataset includes 
information on 20 defense agencies and 62 civilian agencies.[Footnote 
37] Using these data, we determined that seven agencies each procured 
more than $15 billion in goods and services in fiscal year 2009. 
[Footnote 38] Table 7 shows the seven agencies with major contracting 
activity as well as the other agencies covered in our review. 

Table 7: 25 Federal Agencies at Which GAO Conducted Work: 

Agency: Defense Logistics Agency; 
Agency with major contracting activity[A]: [Check]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of Agriculture; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of Commerce; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of Defense--Office of the Secretary; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Empty]; 
Agency surveyed: [Check]. 

Agency: Department of Education; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of Energy; 
Agency with major contracting activity[A]: [Check]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of Health and Human Services; 
Agency with major contracting activity[A]: [Check]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of Homeland Security; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Empty]; 
Agency surveyed: [Check]. 

Agency: Department of Housing and Urban Development; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Empty]; 
Agency surveyed: [Check]. 

Agency: Department of Justice; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of Labor; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Empty]; 
Agency surveyed: [Check]. 

Agency: Department of State; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of the Air Force; 
Agency with major contracting activity[A]: [Check]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of the Army; 
Agency with major contracting activity[A]: [Check]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of the Interior; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of the Navy; 
Agency with major contracting activity[A]: [Check]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of the Treasury; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Department of Transportation; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Empty]; 
Agency surveyed: [Check]. 

Agency: Department of Veterans Affairs; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Empty]; 
Agency surveyed: [Check]. 

Agency: Environmental Protection Agency; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: General Services Administration; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Empty]; 
Agency surveyed: [Check]. 

Agency: National Aeronautics and Space Administration; 
Agency with major contracting activity[A]: [Check]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: Office of Personnel Management; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Empty]; 
Agency surveyed: [Check]. 

Agency: Social Security Administration; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Check]; 
Agency surveyed: [Check]. 

Agency: U.S. Agency for International Development; 
Agency with major contracting activity[A]: [Empty]; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: [Empty]; 
Agency surveyed: [Check]. 

Agency: Total; 
Agency with major contracting activity[A]: 7; 
Agency assessed for compliance with section 15(k)(3) of Small Business 
Act: 16; 
Agency surveyed: 25. 

Source: GAO. 

[A] The seven agencies with major contracting activity each procured 
more than $15 billion in goods and services in fiscal year 2009. 

[End of table] 

Assessment of Compliance with Section 15(k)(3) of the Small Business 
Act: 

To assess whether the OSDBU director reports directly to the agency 
head or the deputy head as required by section 15(k)(3) of the Small 
Business Act, we focused on the seven agencies with major contracting 
activity and nine additional agencies that we reported in September 
2003 were not complying with this requirement.[Footnote 39] These nine 
agencies were the Departments of Agriculture, Commerce, Education, the 
Interior, Justice, State, and the Treasury; the Environmental 
Protection Agency; and the Social Security Administration.[Footnote 
40] We considered agencies to be in compliance if the designated OSDBU 
directors exercised the OSDBU responsibilities and reported directly 
to and were responsible only to the agency head or the agency head's 
deputy. To determine compliance, we reviewed organization charts to 
identify where the OSDBU was located in relation to the agency head or 
deputy head; OSDBU directors' performance appraisals for the previous 
2 years to identify the agency official who evaluated the OSDBU 
director's performance;[Footnote 41] the most recent position 
description of the OSDBU director to identify the OSDBU director's 
supervisor; and various other agency documents, such as reports and 
memoranda discussing the agency's small business programs. We also 
interviewed the designated OSDBU directors at each agency to identify 
the official(s) they had reported to during the past year and asked 
them to provide information characterizing the reporting relationship, 
such as the extent to which small business issues were discussed. In 
addition, we reviewed and analyzed section 15(k)(3). 

Survey of OSDBU Directors: 

To obtain information on the functions conducted by the OSDBU, actions 
taken by the OSDBU to further small business contracting 
opportunities, and the effects of funding and staff levels on these 
efforts, we surveyed the OSDBU directors at 25 federal agencies using 
a Web-based survey. The survey was similar to one we administered in 
2003 and asked the OSDBU directors about their roles and functions in 
three areas: participation in the agency procurement process, 
facilitation of small business participation in agency contracting, 
and interaction with the Small Business Administration (SBA).[Footnote 
42] The survey questions covered the OSDBU functions listed in 15(k) 
of the Small Business Act as well as additional functions the OSDBUs 
might perform. In addition, the survey asked OSDBU directors about 
challenges--including limited budgetary resources and lack of adequate 
staffing levels--they face in carrying out their responsibilities. 

Selection of Survey Respondents: 

We selected 25 agencies to include in our survey of OSDBU directors. 
These agencies included all 20 civilian agencies that procured more 
than $800 million in goods and services in fiscal year 2009, as well 
as the Department of Defense (DOD)--Office of the Secretary; the 
Departments of the Air Force, Army, and Navy; and the Defense 
Logistics Agency (DLA). The 20 agencies were responsible for more than 
98 percent of civilian agency obligations in fiscal year 2009. We 
selected the Air Force, Army, Navy, and DLA because they were the four 
components within DOD that procured the most goods and services in 
fiscal year 2009; together, they were responsible for more than 90 
percent of DOD's obligations. The 25 agencies we selected included all 
24 agencies we surveyed in 2003 and the Department of Homeland 
Security.[Footnote 43] 

Survey Design and Administration: 

To have comparable data with the 2003 survey of OSDBU directors, our 
survey instrument listed the same questions and response choices as 
the 2003 survey. Updates to the 2003 survey were limited to making 
minor word changes, reordering several questions, and deleting several 
questions that were no longer relevant. We obtained input from GAO 
experts on survey design. We also pretested the survey instrument with 
two OSDBU directors to help ensure that the questions were still 
applicable and would be correctly interpreted by respondents. Agency 
officials, including the OSDBU directors, were notified about the 
survey before it was launched on November 1, 2010.[Footnote 44] OSDBU 
directors were asked to complete the survey by November 22, 2010, and 
by December 29, 2010, we had a 100 percent response rate.[Footnote 45] 

From January to March 2011, we conducted follow-up with 22 OSDBU 
directors who answered that one or more of the functions listed in 
15(k) of the Small Business Act was not a function of their office or 
who did not provide responses to these questions. The purpose of the 
follow-up was to determine which office, if not the OSDBU, carried out 
these functions at their agency or to collect answers from OSDBU 
directors who did not provide them initially. To do this, we conducted 
interviews with 11 ODSBU directors and corresponded via e-mail with 11 
others. Based on this follow-up, we changed 16 of the original survey 
answers related to whether the OSDBU director viewed a section 15(k) 
responsibility as an OSDBU role. Answers were changed only if at least 
one of the following criteria were satisfied: the OSDBU directors 
explicitly stated that they wished to change their answer and provided 
an explanation for the change; the director misunderstood the 
question; or the director provided a response to an initially 
unanswered question. 

Additionally, we asked 11 of the 22 OSDBU directors with whom we were 
conducting follow-up for further explanation of challenges they had 
identified as affecting their office to a great or very great extent. 
Two of the respondents requested that we change their responses to 
several challenges due to initially misunderstanding the question. We 
agreed and these adjustments are reported in our findings. Also, as 
necessary, we followed-up with OSDBU directors to clarify their 
responses to our open-ended questions. 

While the OSDBU directors at 25 agencies were asked to participate in 
the survey and the survey results are therefore not subject to 
sampling errors, not all respondents answered every question. 
Nonresponse, including item nonresponse, and the practical 
difficulties of conducting any survey, may introduce error in survey 
results. We took steps to minimize such errors by conducting follow-up 
discussions with respondents who failed to answer specific questions, 
and by checking and verifying survey responses and analysis. 

Survey Analysis: 

The survey contained closed-ended questions that we asked OSDBU 
directors to answer by selecting from a finite number of response 
categories. For example, some questions asked OSDBU directors to 
select "Yes--an OSDBU role or function" or "No--not an OSDBU role or 
function" based on if a certain function was performed by their 
office. Other questions asked OSDBU directors to identify the extent 
to which they performed a certain function or the extent to which a 
certain factor was a challenge in carrying out the responsibilities of 
their office. Our analysis involved reviewing the frequency of 
responses to a given question using aggregate survey data. In the 
report, there are instances in which we identify all of the responses 
and other instances in which we identify the most common response. 
This report does not contain all the results from the survey; the 
survey and a more complete tabulation of the results are provided in a 
supplement to this report [hyperlink, 
http://www.gao.gov/products/GAO-11-436SP]. 

The survey also contained open-ended questions that asked OSDBU 
directors to provide a narrative response. Most of these open-ended 
questions provided respondents the opportunity to explain answers 
provided to close-ended questions. For example, some closed-ended 
questions asked the respondents if a certain activity was a function 
of their office and the subsequent open-ended question asked them to 
elaborate on which office carries out this role or function if they 
had responded "No--not an OSDBU role or function" to the prior 
question. We used these open-ended responses to provide context to 
close-ended questions, and some of these narrative responses were 
included in our findings. 

Interviews with Agency Officials and Review of Agency Documents: 

To examine the actions taken by the OSDBU and other agency officials 
to further small business contracting opportunities and the effects of 
funding and staff levels, we interviewed agency officials and reviewed 
documents at the seven agencies with major contracting activity. Also, 
we reviewed agency documentation, such as policy statements issued by 
agency leadership on ODSBU practices or small business efforts, small 
business manuals or strategic plans, and budget and staffing 
documentation. We interviewed the OSDBU directors at the seven 
agencies on the actions they and other agency officials had taken to 
further small business contracting; methods used by SBA and the agency 
to hold officials accountable for furthering small business 
contracting; and challenges that affected these efforts, such as 
funding and staffing levels. Furthermore, we reviewed documentation 
and data related to the SBA small business goaling program and spoke 
with SBA officials about this program and reviewed OSDBU council 
documentation and spoke with council leadership. 

We conducted our work from June 2010 to May 2011 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 
obtained provides a reasonable basis for our findings and conclusions 
based on our audit objectives. 

[End of section] 

Appendix II: Reporting Relationships at Seven Agencies Not in 
Compliance with Section 15(k)(3): 

As discussed in the body of our report, seven agencies were not in 
compliance with section 15(k)(3) of the Small Business Act, which 
requires that the director of the Office of Small and Disadvantaged 
Business Utilization (OSDBU) be responsible only to and report 
directly to the agency head or deputy head. We found that a variety of 
reporting structures were in place. OSDBU directors either reported to 
lower-level officials than the agency head or deputy or had delegated 
their OSDBU director responsibilities to officials who did not report 
to either the agency head or the deputy head. 

OSDBU Directors at Four Agencies Did Not Report to the Agency Head or 
Deputy Head: 

At the Departments of Commerce, the Interior, and Justice and the 
Social Security Administration (SSA), the OSDBU directors reported to 
officials at lower levels than the agency head or deputy head. 

Department of Commerce: 

A document outlining the organization structure of the Department of 
Commerce's Office of the Chief Financial Officer and Assistant 
Secretary for Administration stated that the OSDBU director reported 
to the Deputy Secretary on matters of policy and to the Assistant 
Secretary and Deputy Assistant Secretary for Administration on 
administrative matters.[Footnote 46] However, the OSDBU director at 
Commerce stated that she reported to the Deputy Assistant Secretary 
for Administration for all small business matters and to the Assistant 
Secretary for Administration for administrative matters such as budget 
and personnel. The organization chart also showed a direct link from 
the OSDBU to the Deputy Assistant Secretary for Administration and the 
Assistant Secretary for Administration (see figure 3). In fiscal year 
2009, the Assistant Secretary for Administration evaluated the OSDBU 
director's performance, while the Deputy Assistant Secretary for 
Administration signed her performance appraisal in fiscal year 2010. 
The OSDBU director stated that she had never met the Secretary or 
previous Deputy Secretary and only met the new Acting Deputy Secretary 
in December 2010. 

Figure 3: OSDBU Director's Reporting Relationship at the Department of 
Commerce, as of April 2011: 

[Refer to PDF for image: illustration] 

Top level: 
Secretary; Deputy Secretary. 

Second level, reporting to Secretary/Deputy Secretary: 
Chief Financial Officer/Assistant Secretary for Administration; 
Deputy Assistant Secretary for Administration. 

Third level: 
OSDBU Director: 
Mandated reporting relationship: to Secretary/Deputy Secretary; 
Actual reporting relationship: to Chief Financial Officer/Assistant 
Secretary for Administration; 
Deputy Assistant Secretary for Administration. 

Source: GAO. 

[End of figure] 

Department of the Interior: 

The OSDBU director at the Department of the Interior reported to the 
Deputy Assistant Secretary for Budget, Finance, Performance, and 
Acquisition and to the Assistant Secretary, Policy, Management and 
Budget (see figure 4). The organization chart had a notation that the 
OSDBU director reported to the Secretary and received administrative 
support from the Deputy Assistant Secretary for Budget, Finance, 
Performance, and Acquisition, who in turn reported to the Assistant 
Secretary, Policy, Management and Budget. However, the OSDBU director 
told us he had never met with the Secretary or Deputy Secretary and 
they had not provided direct input into his performance appraisals. 
Instead, the OSDBU director told us he met frequently with the Deputy 
Assistant Secretary for Budget, Finance, Performance, and Acquisition 
on administrative and small business matters. The director's position 
description indicated that the director reports to the Deputy 
Assistant Secretary. His two most recent performance appraisals were 
signed by the Deputy Assistant Secretary and the Assistant Secretary 
for Policy, Management and Budget, respectively. 

Figure 4: OSDBU Director's Reporting Relationship at the Department of 
the Interior, as of April 2011: 

[Refer to PDF for image: illustration] 

Top level: 
Secretary; Deputy Secretary. 

Second level, reporting to Secretary/Deputy Secretary: 
Assistant Secretary, Policy, Management and Budget. 

Third level, reporting to Assistant Secretary, Policy, Management and 
Budget: 
Deputy Assistant Secretary for Budget, Finance, Performance,and 
Acquisition. 

Fourth level: 
OSDBU Director: 
Mandated reporting relationship: to Secretary/Deputy Secretary; 
Actual reporting relationship: to Assistant Secretary, Policy, 
Management and Budget and Deputy Assistant Secretary for Budget, 
Finance, Performance,and Acquisition. 

Source: GAO. 

[End of figure] 

Department of Justice: 

As shown in figure 5, the OSDBU director at Justice reported to the 
Deputy Assistant Attorney General for Policy, Management and Planning. 
OSDBU officials told us the current reporting structure was the same 
structure that was in place in 2003. The organization chart showed 
that the OSDBU was located within the Justice Management Division, 
with the director under the supervision of the Deputy Assistant 
Attorney General for Policy, Management and Planning. The Justice 
Management Division was headed by the Assistant Attorney General for 
Administration, who reports to the Deputy Attorney General. While the 
organization chart showed that the OSDBU was located within the 
Justice Management Division for administrative purposes, the OSDBU 
director's position description listed his immediate supervisor as the 
Deputy Assistant Attorney General for Policy, Management and Planning. 
The Deputy Assistant Attorney General signed the OSDBU director's two 
most recent performance appraisals. 

Figure 5: OSDBU Director's Reporting Relationship at the Department of 
Justice, as of April 2011: 

[Refer to PDF for image: illustration] 

Top level: Attorney General; Deputy Attorney General. 

Second level, reporting to Attorney General; Deputy Attorney General: 
Justice Management Division; Assistant Attorney General for 
Administration. 

Third level, reporting to Justice Management Division; Assistant 
Attorney General for Administration: 
Deputy Assistant Attorney General, Policy, Management and Planning. 

Fourth level: 
OSDBU Director: 
Mandated reporting relationship: to Attorney General; Deputy Attorney 
General; 
Actual reporting relationship: to Deputy Assistant Attorney General, 
Policy, Management and Planning. 

Source: GAO. 

[End of figure] 

Social Security Administration: 

The OSDBU director at SSA reported to the Deputy Commissioner, Office 
of Budget, Finance and Management, who was one of nine deputy 
commissioners managing various programs and operations (see figure 6). 
Both the organization chart and the OSDBU director's position 
description confirmed this reporting relationship. The OSDBU director 
told us that he reported to this Deputy Commissioner for small 
business matters. Additionally, the director's most recent performance 
appraisal was signed by the Deputy Commissioner, Office of Budget, 
Finance and Management. The director confirmed that this same 
structure was in place in 2003.[Footnote 47] The OSDBU director also 
told us he had never met either the Commissioner or Deputy 
Commissioner of SSA. 

Figure 6: OSDBU Director's Reporting Relationship at the Social 
Security Administration, as of April 2011: 

[Refer to PDF for image: illustration] 

Top level: Commissioner; Deputy Commissioner. 

Second level, reporting to Commissioner; Deputy Commissioner: 
Deputy Commissioner, Office of Budget, Finance and Management. 

Third level: 
OSDBU Director: 
Mandated reporting relationship: to Commissioner; Deputy Commissioner; 
Actual reporting relationship: to Deputy Commissioner, Office of 
Budget, Finance and Management. 

Source: GAO. 

[End of figure] 

OSDBU Directors at Three Agencies Delegated Their OSDBU 
Responsibilities to Lower-Level Officials: 

As we found in our 2003 report, the designated OSDBU directors at the 
Departments of Agriculture, State, and the Treasury delegated their 
responsibilities to officials who did not directly report to either 
the Secretaries or Deputy Secretaries. At these agencies, the 
Assistant Secretary who managed the agency's administrative functions 
was designated as the statutory OSDBU director. The Assistant 
Secretaries then delegated nearly all of their OSDBU responsibilities 
to lower-ranking officials who reported directly to the Assistant 
Secretaries. The lower-ranking officials thus became the de facto 
OSDBU directors. 

Department of Agriculture: 

The designated OSDBU director at the Department of Agriculture was the 
Assistant Secretary for Administration, who reported to the Secretary 
and Deputy Secretary. However, the Assistant Secretary had delegated 
nearly all of his OSDBU responsibilities to a lower-level official 
(see figure 7). This structure was the same one that we determined in 
2003 was not in compliance with the Small Business Act. The delegated 
OSDBU director told us that he did not report to the Secretary or 
Deputy Secretary on matters involving policy, budget, and personnel. 
The agency's organization chart confirmed that the delegated OSDBU 
director reported to the Assistant Secretary for Administration. The 
Assistant Secretary for Administration and the Secretary signed the 
director's most recent performance appraisal. 

Figure 7: OSDBU Director's Reporting Relationship at the Department of 
Agriculture, as of April 2011: 

[Refer to PDF for image: illustration] 

Top level: 
Secretary; Deputy Secretary. 

Second level, reporting to Secretary; Deputy Secretary: 
Assistant Secretary for Administration (designated OSDBU director). 

Third level: 
OSDBU Director (delegated director): 
Mandated reporting relationship: to Secretary; Deputy Secretary; 
Actual reporting relationship: to Assistant Secretary for 
Administration (designated OSDBU director). 

Source: GAO. 

[End of figure] 

Other evidence showed that the delegated OSDBU director carried out 
the day-to-day implementation of the agency's OSDBU. The delegated 
director told us he handled the day-to-day duties and functions of 
Agriculture's OSDBU and that he spent 100 percent of his time on OSDBU 
duties and functions. Moreover, his position description indicated 
that he was the official responsible for carrying out the duties and 
functions listed under section 15(k). The position description stated, 
among other things, that the delegated director was responsible for 
(1) establishing short-and long-range program objectives, time 
schedules, and courses of action for the accomplishment of small 
business goals; (2) formulating, recommending, and implementing broad 
policies and procedures that provide the structural framework for all 
OSDBU functions; and (3) keeping abreast of all OSDBU activities and 
initiating any corrective actions deemed necessary. In contrast, OSDBU 
officials stated that the Assistant Secretary for Administration spent 
time on OSDBU activities on an as-needed basis but estimated that it 
averaged about 3 to 4 hours per week. 

Department of State: 

The Assistant Secretary for Administration was the designated OSDBU 
director at the State Department. The Assistant Secretary, who 
reported to one of the department's two Deputy Secretaries on small 
business matters, had delegated his OSDBU responsibilities to the 
Operations Director for the OSDBU (see figure 8). In fiscal year 2010, 
the Operations Director's performance appraisal was signed by the 
Acting Assistant Secretary for Administration. The position 
description for the Operations Director indicated that he carried out 
the functions of the OSDBU director. For example, it showed that his 
duties included (1) providing overall direction for policies and 
programs governing the agency's procurement and financial assistance 
actions in accordance with the Small Business Act and (2) developing 
small business goals. 

Figure 8: OSDBU Director's Reporting Relationship at the Department of 
State, as of April 2011: 

[Refer to PDF for image: illustration] 

Top level: 
Secretary; Deputy Secretary (2). 

Second level, reporting to Secretary; Deputy Secretary (2): 
Assistant Secretary for Administration (designated OSDBU director). 

Third level: 
OSDBU Director (delegated OSDBU director): 
Mandated reporting relationship: to Secretary; Deputy Secretary (2); 
Actual reporting relationship: to Assistant Secretary for 
Administration (designated OSDBU director). 

Source: GAO. 

[End of figure] 

Department of the Treasury: 

The Assistant Secretary of the Treasury for Management/Chief Financial 
Officer/Chief Performance Officer was the designated OSDBU director. 
He stated that he was responsible for meeting the agency's small 
business goals and interacted with the Secretary and Deputy Secretary 
regularly, including providing updates on small business matters. 
However, the Director of the Office of Small Business Programs--an 
official who did not directly report to either the Secretary or the 
Deputy Secretary--was responsible for day-to-day management of 
Treasury's small business programs. According to Treasury, the 
Director of the Office of Small Business Programs reported to the 
Director of the Office of Minority and Women Inclusion, who in turn 
reported to the Assistant Secretary (see figure 9).[Footnote 48] The 
Director of the Office of Small Business Programs stated that she 
spent 100 percent of her time on small business matters, which 
included all of the functions described in section 15(k) of the Small 
Business Act. Her position description confirmed this statement, 
indicating that her responsibilities included (1) planning, 
developing, issuing, and providing overall direction for policies and 
programs governing Treasury procurement and financial assistance 
action in accordance with the Small Business Act and (2) directing 
Treasury's annual goal-setting process. 

Figure 9: OSDBU Director's Reporting Relationship at the Department of 
the Treasury, as of April 2011: 

[Refer to PDF for image: illustration] 

Top level: 
Secretary; Deputy Secretary. 

Second level, reporting to Secretary; Deputy Secretary: 
Assistant Secretary for Management and Chief Financial Officer 
(designated OSDBU director). 

Third level, reporting to Assistant Secretary for Management and Chief 
Financial Officer (designated OSDBU director): 
Director, Office of Minority and Women Inclusion. 

Fourth level: 
Director, Office of Small Business Programs (delegated OSDBU Director): 
Mandated reporting relationship: to Secretary; Deputy Secretary; 
Actual reporting relationship: to Director, Office of Minority and 
Women Inclusion. 

Source: GAO. 

[End of figure] 

[End of section] 

Appendix III: Office of Small and Disadvantaged Business Utilization 
Directors Who Reported that They Did Not Carry Out Certain 15(k) 
Functions: 

The number of Office of Small and Disadvantaged Business Utilization 
(OSDBU) directors surveyed who did not view a section 15(k) function 
as their current responsibility varied, depending on the specific 
function. The number ranged from 1 who did not view maintaining 
supervisory authority over OSDBU personnel as a function to 11 who did 
not view assisting small businesses to obtain payments from prime 
contractors as a responsibility. In their written comments and follow- 
up interviews, the directors who did not view a section 15(k) function 
as their responsibility generally stated that contracting, 
acquisition, or program staff performed it. 

* The OSDBU director at the Social Security Administration (SSA) 
reported that maintaining supervisory authority over OSDBU personnel 
was not a function of his office because he did not have staff. 

* The OSDBU director at the Office of Personnel Management (OPM) 
reported that attempting to identify proposed solicitations that 
involved bundling of contract requirements was not a function of his 
office. He commented that the contracting office within his agency 
performed this function. 

* The OSDBU director at SSA reported that working with agency 
acquisition officials to revise procurement strategies for bundled 
contract requirements was not a function of his office. He commented 
that no office carried out this role. Rather, he noted that when 
contract bundling was identified, the acquisition official prepared a 
bundling justification for the head of the procuring activity to sign. 
In a follow-up interview, he clarified that nothing in the agency's 
policies required coordination with the OSDBU on contract bundling or 
gave the OSDBU the opportunity to revise procurement strategies. 

* Five OSDBU directors reported that facilitating small businesses' 
participation as subcontractors to bundled contracts was not a 
function of their office. At the Department of Agriculture and OPM, 
the OSDBU directors commented that their agencies had not bundled any 
contracts. The Agriculture OSDBU director also stated that his office 
evaluates proposed contract actions to ensure that there are no 
bundled contracts. The OSDBU director at the Office of the Secretary 
of Defense reported that this function was generally performed by the 
contracting offices at the Department's individual components, such as 
the Army, Navy, Air Force, and Defense Logistics Agency (DLA). In a 
follow-up interview, the OSDBU director at SSA stated that his role 
was limited by agency policy to reviewing subcontracting plans to 
ensure that certain clauses required by the Federal Acquisition 
Regulation were included. He noted that he would need additional 
resources to advocate for increased small business participation in 
subcontracting. The OSDBU director at the Department of Commerce 
explained that the OSDBU did not have the staff to review 
subcontracting plans. 

* Six OSDBU directors reported that assisting small businesses to 
obtain payments from their agencies was not a function of their 
office. All six directors--Departments of the Air Force, Education, 
and the Interior; the Environmental Protection Agency (EPA); Office of 
the Secretary of Defense; and SSA--reported that payment issues were 
addressed by agency officials in the contracting, acquisition, or 
program offices. 

* Seven OSDBU directors reported that determining a small business set-
aside for an individual contract was not a function of their OSDBU. 
Five of these directors (Departments of the Army, Education, and 
Housing and Urban Development (HUD); the Office of the Secretary of 
Defense; and OPM) commented that their agency's contracting or program 
offices performed this function. The OSDBU directors at the 
Departments of Transportation and Energy commented that they reviewed 
acquisitions over a certain threshold level ($150,000 at 
Transportation and $3 million at Energy). 

* Ten OSDBU directors reported that assigning a small business 
technical advisor to each office with an SBA procurement center 
representative was not a function of their office. In follow-up 
communication, the Acting OSDBU director at the Department of Veterans 
Affairs (VA) explained that his office had not assigned a small 
business technical advisor to each office with a procurement center 
representative but noted that OSDBU staff performed duties similar to 
those of a technical advisor. The Acting OSDBU director at the 
Department of Energy explained that because the agency had already 
implemented several levels of review by various technical and 
procurement staff, it had delayed hiring and assigning a technical 
advisor to contracting offices. However, he stated that the office was 
reassessing their review processes and resources to determine when 
such a hire would be feasible. The remaining eight OSDBU directors at 
the Departments of the Air Force, the Army, Commerce, the Interior, 
Justice, the Navy, and Transportation and DLA reported that the 
contracting offices within their agencies assigned small business 
technical advisors. For instance, Air Force officials commented that 
small business technical advisors were assigned only to field sites 
where they could assist in identifying specific opportunities for 
small businesses. 

* Eleven OSDBU directors reported that assisting small businesses to 
obtain payments from prime contractors was not one of their functions. 
Seven of these directors (Departments of Agriculture, the Air Force, 
and Education; EPA; HUD; Office of the Secretary of Defense; and SSA) 
commented that contracting, acquisition, or program officials carried 
out this function at their agencies. Two of the seven directors 
clarified in follow-up interviews that they were not privy to 
subcontractor information. The OSDBU director at OPM commented that 
because the payment of invoices by a prime contractor to its 
subcontractors is part of a contractual arrangement to which the 
government is not a party, this function should not be performed by 
anyone at the agency. The OSDBU director at the Department of 
Transportation commented that the office provides counseling on 
progress payments and prompt payment guidance to small businesses. The 
OSDBU directors at Interior and the U.S. Agency for International 
Development commented that if a small business were to contact the 
OSDBU for payment assistance, the OSDBU would facilitate communication 
with the contracting officer responsible for payments. 

[End of section] 

Appendix IV: Comments from the Department of Education: 

United States Department Of Education: 
The Deputy Secretary: 
400 Maryland Ave. S.W. 
Washington, DC 20202: 
[hyperlink, http://www.ed.gov] 

May 13, 2011: 

Mr. William B Shear: 
Director, Financial Markets and Community Investment Issues: 
Government Accountability Office: 
Washington, DC 20548: 

Dear Mr. Shear: 

Thank you for the opportunity to review the draft report entitled, 
"Small Business Contracting: Action Needed by Those Agencies Whose 
Advocates Do Not Report to Agency Heads as Required" (GA0-11-418). We 
are pleased that the report concluded that the U.S. Department of
Education is in compliance with reporting requirements, as stipulated 
in Section 15(k) of the Small Business Act, and that there is no need 
for any recommendations to the Department regarding the functioning of 
the Office of Small and Disadvantaged Business Utilization (OSDBU). 

Since GAO's report in 2003 found that the Department should correct 
certain deficiencies about the reporting structure of the OSDBU, the 
Department has taken definitive corrective steps to achieve and remain 
in compliance with all applicable requirements. For example, pursuant to
Section 15(k)(3) of the Small Business Act, the Department's OSDBU 
Director reports directly to the Deputy Secretary, thus providing the 
Director with direct access to the top leadership in the Department. 

We appreciate the valuable information in the draft report and are 
pleased with GAO's recognition of the Department's changes to the 
reporting structure and to the important work performed by the OSDBU. 
The Department and OSDBU take the significant functions of the
OSDBU seriously, and we work on a "continuous improvement model" to 
make its operations as effective as possible. I would also like to 
note that while it was reported that functions referenced in the 
footnotes on page 17 and discussed further in corresponding bullets on 
pages 57 and 58 are not primary functions of the Department's OSDBU, 
the Department's OSDBU does play an active role in carrying out these 
functions through ongoing collaboration with other Department offices 
as appropriate. 

Dr. Kristi Wilson Hill, our OSDBU Director, is available if you or 
members of your staff have any questions, She can be reached by 
telephone at (202) 245-6301 or by e-mail at Kristi.Wilson@ED.gov. 

Sincerely, 

Signed by: 

Anthony W. Miller: 

[End of section] 

Appendix V: Comments from the Department of Commerce: 

United States Department Of Commerce: 
Chief Financial Officer and Assistant Secretary for Administration 
Washington, DC 20230: 

William B. Shear: 
Director: 
Financial Markets and Community Investment Issues: 
U.S. Government Accountability Office:	
441 G. Street, N.W.	
Washington, D.C. 20548:	 

Dear Mr. Shear:	 

Thank you for the opportunity to comment on the draft Government 
Accountability	Office report entitled, "Small Business Contracting: 
Action Needed by Those Agencies Whose Advocates Do Not Report to 
Agency Heads as Required (GAO-11-418)."	 

The Director of the Office of Small and Disadvantaged Business 
Utilization (OSDBU) reports directly to the Deputy Secretary on all 
legislative and policy issues and to the Chief	Financial Officer and 
Assistant Secretary for Administration on administrative matters such 
as personnel and budget. I believe this organizational structure 
complies with the provisions of section I 5(k) of the Small Business 
Act, strengthens the role of OSDBU within the Department, and focuses 
the Department's resources to create contracting opportunities for 
small businesses.	 

The Department of Commerce is deeply committed to the goals of the 
Small Business	Act and our record of small business goal achievement 
reflects our determination to create opportunities for small, small 
disadvantaged, women-owned, HUBZone, and service-disabled veteran-
owned small business concerns. The Department has exceeded its small, 
small disadvantaged, women-owned, and service-disabled veteran-owned 
business goals this year. The Department also received a preliminary 
score of an A from the Small Business Administration for its Fiscal 
Year 2010 Scorecard, up from a C in Fiscal Year 2009.	 

If you have any questions, please contact Fred Stephens, Deputy 
Assistant Secretary for	Administration, at (202) 482-4951.	 

Sincerely,	 

Signed by: 
Scott B. Quehl: 
Chief Financial Officer and Assistant Secretary for Administration:	 

[End of section] 

Appendix VI: Comments from the Department of the Interior: 

United States Department of the Interior: 
Office Of The Secretary: 
W2shington, DC 20240: 

May 11, 2011: 

Mr. William B. Shear: 
Director, Financial Markets and Community Investment Issues: 
Government Accountability Office: 
441 G Street, N.W. 
Washington, D.C. 20548: 

Dear Mr. Shear: 

Thank you for the opportunity to review and comment on the Government 
Accountability Office (GAO) draft report entitled, Small Business 
Contracting: Action Needed by Those Agencies Whose Advocates Do Not 
Report to Agency Heads as Required, (GAO-11-418). 

GAO's report states that the Department of the Interior does not 
comply with the Small Business Act requirement that the Office of 
Small and Disadvantaged Business Utilization report to the Secretary 
or Deputy Secretary. GAO recommends that the Department of the 
Interior comply with this requirement or report to Congress and could 
seek statutory flexibilities or exceptions. 

The Department does not have comments on the draft report, but will be 
evaluating GAO's recommendation and evaluating options to resolve this 
issue. We are being diligent about this issue as DOI has a high 
performing small business program with over 50 percent of contract 
actions awarded to small and disadvantaged businesses. 

We will be reporting back to GAO once we have finalized our plans. If 
you have any questions, please contact Pam Haze, Deputy Assistant 
Secretary — Budget, Finance, Performance and Acquisition at (202) 208-
4775. 

Sincerely, 

Signed by: 

Rhea S. Suh: 
Assistant Secretary: 
Policy, Management and Budget: 

[End of section] 

Appendix VII: Comments from the Department of Justice: 

U.S. Department of Justice: 
Justice Management Division: 
Washington, D.C. 20530: 

May 11, 2011: 

William B Shear: 
Director, Financial Markets and Community Investment Issues: 
U.S. Government Accountability Office: 
441 G Street, NW: 
Washington, DC 20548: 

Dear Mr. Shear: 

On April 28, 2011, you provided the Department with a copy of the 
Government Accountability Office's draft report entitled Small 
Business Contracting: Action Needed by Those Agencies Whose
Advocates Do Not Report to Agency Heads as Required (GA0-11-418) with 
a request for comments by May 13, 2011.	We appreciate the opportunity 
to review and comment on the draft report. 

While the Department agrees that the Office of Small and Disadvantaged 
Business Utilization (OSDBU) is located within the Justice Management 
Division, this placement has been, and remains as such, for 
administrative purposes. Through this organizational structure, the 
Deputy Attorney General ensures that small businesses are provided the 
maximum practicable opportunity to participate in contracting
opportunities throughout the Department both as prime contractors and 
subcontractors.	The administrative placement of OSDBU within the 
Justice Management Division is not a reflection on the Department's 
commitment to the small business programs. Rather, it is reflection of 
how that Office may best advocate for the use of small businesses in 
our contracting efforts. The Department feels that the current 
placement of the OSDBU allows for the efficient management and 
implementation of the small business contracting programs that are 
vital to the Department in satisfying its mission. As the Department 
has previously advised GAO and the Congress, the Director, OSDBU 
reports directly to the Deputy Attorney General on matters of 
substance requiring his direct attention. 

If you have any questions concerning the Department's response on this 
matter, please contact Richard Theis, Department of Justice Audit 
Liaison on (202) 514-0469. 

Sincerely, 

Signed by: 

Lee. L. Lofthaus: 
Assistant Attorney General for Administration: 

[End of section] 

Appendix VIII: Comments from the Department of State: 

United States Department of State: 
Chief Financial Officer: 
Washington, D.C. 20520: 

May 12, 2011: 

Ms. Jacquelyn Williams-Bridgers: 
Managing Director: 
International Affairs and Trade: 
Government Accountability Office: 
441 G Street, N.W. 
Washington, D.C. 20548-0001: 

Dear Ms. Williams-Bridgers: 

We appreciate the opportunity to review your draft report,
"Small Business Contracting: Action Needed by Those Agencies Whose 
Advocates Do Not Report to Agency Heads," GAO Job Code 250536. 

The enclosed Department of State comments are provided for 
incorporation with this letter as an appendix to the final report. 

If you have any questions concerning this response, please contact
Shapleigh Drisko, Director, Bureau of Administration, Office of Small 
and Disadvantaged Business Utilization at (703) 875-6823. 

Sincerely, 

Signed by: 

James L. Millette: 

cc: GAO - William B. Shear: 
A - Will Moser: 
State/OIG - Evelyn Klemstine: 

[End of letter] 

Department of State Comments on GAO Draft Report: 

Small Business Contracting: Action Needed by Those Agencies Whose 
Advocates Do Not Report to Agency Heads as Required (GA0-11-418, GAO 
Code 250536): 

The Department of State is pleased to respond to the GAO's report 
regarding actions needed pertaining to placement of the Office of 
Small and Disadvantaged Business Utilization (OSDBU). The report 
recommends that State Department and other agencies found not in 
compliance take steps to comply with the requirement of Section 15(k) 
(3) of the Small Business Act that OSDBU directors be responsible only 
to, and report directly to, the head or deputy head of the agency or 
to report to Congress on why they have not complied including any 
requests for regulatory flexibility as appropriate. 

As stated in the report (p. 13), the Department of State has 
designated the Assistant Secretary of State for Administration as the 
Department's OSDBU Director. Section 211.2 of Volume 1 of the Foreign 
Affairs Manual provides that the Assistant Secretary of State for 
Administration "directs administrative oversight and services of the 
Office of Small and Disadvantaged Business Utilization (A/SDBU), and 
reports directly to the Deputy Secretary concerning its policies and 
activities." 

GAO finds the Department of State not to be in compliance with Section 
15(k)(3) of the Small Business Act on two bases: 1) the Assistant 
Secretary of State for Administration is not directly involved in the 
day-to-day operations of the OSDBU, but has delegated these functions 
to an Operations Director; 2) the Operations Director, whom GAO views 
as the "true" OSDBU Director reports not to the Secretary or Deputy 
Secretary but to the Assistant Secretary of State for Administration, 
who in turn generally reports to the Under Secretary for Management. 
Report at pp. 12-13. We respectfully dissent from GAO's conclusions on 
both these points. 

While OSDBU directors are responsible for the implementation and 
execution of the specific functions and duties assigned under sections 
8 and 15 of the Small Business Act, there is no requirement in Section 
15(k)(3) that the director personally perform any specific functions. 
The director, of course, remains responsible for OSDBU performance 
whether he or she personally performs the functions or delegates 
portions of the OSDBU authority. Executive Branch authority is 
typically exercised through delegation, with an agency's basic 
authority being vested in the agency head and subsequently 
redelegated. Sometimes this redelegation authority is statutorily 
recognized (e.g. 26 U.S.C. §7801) and in other cases it is implied, 
See, Fleming v. Mohawk Wrecking & Lumber Co., 331 U.S. 121 (1947). 
Accordingly, the Department of State concludes that the delegation of 
functions from the Assistant Secretary of State for Administration as 
statutory OSDBU Director to the OSDBU Operations Director is permitted 
by Section 15(k)(3). 

As noted above, the Department's Organization Manual 1 FAM
211.2(i). expressly provides that the Assistant Secretary for 
Administration in his role as OSDBU Director "reports directly to the 
Deputy Secretary" concerning OSDBU activities. The Department believes 
this meets the requirements of Section 15(k) (3). To the extent that 
this internal regulation may not have been called to GAO's attention 
during its review, we apologize for the oversight. Moreover, while 
this regulation may be viewed as merely addressing literal compliance 
with Section 15(k)(3), placement of OSDBU Director responsibilities 
with the Assistant Secretary of State for Administration addresses the 
plain Congressional intent in enacting Section 15(k)(3) to give OSDBU 
activities visibility and "clout" within the agency. Notwithstanding 
the fact that for organizational chart purposes, the Assistant 
Secretary of State for Administration reports to the Under Secretary for
Management, Assistant Secretaries in the Department can have direct 
access to the Secretary and may report directly to her on matters of 
importance in their respective bureaus. Assistant Secretaries attend 
the Secretary's daily senior staff meetings. A mid-level employee 
designated OSDBU Director would have no comparable access or 
influence, no matter where placed on the organizational chart. 

The Department of State does not take lightly dissent from the views 
of the GAO. Nevertheless, the Department believes that the 
effectiveness of OSDBU's operations depend on our organizational 
arrangements and are borne out by the results of our program. 

The Department has a history of small and disadvantaged business goal 
achievements. In FY09, the Department's scorecard grade exceeded most 
of the departments reported as being in full compliance with Section
15(k) (3). The Department has also consistently been increasing its 
goal accomplishments across the board. A comparison of our FY09 and FY10
data reveals an increase of +.70% for small businesses, +2.29% for 
small disadvantaged firms, +.73% for Service Disabled Veteran firms, 
+.62% for woman owned firms and +1.0% for HUBZone firms. 

The Department of State believes that to reorganize OSDBU so that its 
Operations Director would report directly to the Secretary or her 
Deputy would decrease efficiency. The OSDBU Operations Director 
regularly meets with and attends the staff meeting of the Assistant 
Secretary for Administration, who in addition to being the statutory 
OSDBU Director is the senior Department official directly overseeing 
Department acquisition programs. The OSDBU Operations Director 
currently has direct access whenever necessary to decision makers in 
the Department programs that utilize small and disadvantaged 
businesses. The real objective of Section 15(k) (3) is to ensure that 
the OSDBU program receives support from top management. The Department 
of State has achieved that objective and has followed a reasonable 
construction of the requirements of Section 15(k) (3) of the Small 
Business Act. 

[End of section] 

Appendix IX: Comments from the Department of the Treasury: 

Department Of The Treasury: 
Assistant Secretary: 
Washington, D.C. 

May 13, 2011: 

William B. Shear: 
Director, Financial Markets and Community investment Issues: 
Government Accountability Office (GAO): 
Washington D.C. 

Dear Mr. Shear: 

This letter is in response to the draft GAO Report to the Chair, 
Committee on Small Business and Entrepreneurship, U.S. Senate, 
entitled, Small Business Contracting: Action Needed by Those Agencies 
Whose Advocates Do Not Report to Agency Heads as Required, May 2011. 
We wish to respectfully disagree with the reported conclusion that the 
Department of the Treasury is not in compliance with section 15(k)(3) 
of the Small Business Act, which requires directors of the Office of 
Small and Disadvantaged Business Utilization (OSDBU) to report 
directly to the agency or deputy agency head. 

As indicated during the interviews conducted in preparation for the 
report, the Assistant Secretary for Management (Assistant Secretary) 
is the Treasury OSDBU Director. The Assistant Secretary for 
Management, in the capacity of OSDBU Director, has a direct reporting
relationship to the Deputy Secretary of the Treasury. This reporting 
relationship is in compliance with section 15(k)(3) of the Small 
Business Act. As OSDBU Director, the Assistant Secretary provides 
oversight and direction to the Office of Small Business Programs as 
well as to the Treasury bureau heads and their procurement officials 
in executing the Department's responsibilities under the Small 
Business Act. The Assistant Secretary reports regularly to the Deputy 
Secretary and other senior officials on small business program 
concerns. Senior level focus on small business contracting helped the 
Department exceed its fiscal year 2010 small business goal. 

In the Department of the Treasury, many officials, including the heads 
of the bureaus, their heads of procurement and the Director of the 
Office of Small Business Programs (now within the Office of Minority 
and Women Inclusion), have responsibilities in implementation of our 
small business program. Individual staff members in each of these 
areas devote varying amounts of time to small business efforts under 
section 15(k)(3) of the Small Business Act. The assignment and 
oversight by the OSDBU Director of day-to-day operations pertaining to 
small business functions to subordinate officials does not establish 
any such other officials as the "de facto OSDBU director." Nothing in 
the statute requires that the OSDBU Director must be an official 
assigned to small business issues full time. 

The GAO report includes a sampling of the benefits of reporting to the 
agency head or deputy head as conveyed by OSDBU directors identified 
as complying with section 15(k)(3).	These same benefits are derived in 
the Department of the Treasury with the Assistant Secretary for 
Management as the OSDBU Director. The Assistant Secretary's execution 
of small business program responsibilities underscores the commitment 
of the Department at the most senior levels to our small business 
goals and sends a message to the rest of the agency. The OSDBU 
Director participates with senior management peers at meetings where 
decisions are made and participates in small business outreach and 
procurement training events hosted by Treasury. The Assistant
Secretary for Management, as the OSDBU Director, exerts considerable 
influence over all acquisition professionals and budget officials at 
all levels across all Bureaus toward the attainment of small business 
goals. 

The Assistant Secretary's leadership with respect to small business 
contracting extends beyond the Department. In April 2010, the White 
House established an Interagency Task Force on Increasing Federal 
Contracting Opportunities for Small Business. The Assistant Secretary 
for Management. in the capacity of OSDBU Director, not only 
represented the Department of the Treasury on the Task Force, but has 
been instrumental in the design of the Task Force year-end small 
business goaling campaign. 

We urge GAO to recognize that the Department of the Treasury is in 
full compliance with both the letter and the spirit of section 
15(k)(3) of the Small Business Act. We ask that the draft report be 
revised or amended accordingly. 

Sincerely, 

Signed by: 

Kim N. Wallace: 
Assistant Secretary for Legislative Affairs: 

[End of section] 

Appendix X: Comments from the Social Security Administration: 

Social Security: 
Office of the Commissioner: 
Social Security Administration: 
Baltimore, MD 21235-0001: 

May 10, 2011: 

Mr. William B. Shear: 
Director, Financial Markets and Community Investment Issues: 
Government Accountability Office: 
441 G. Street, N.W. 
Washington, D.C. 20548: 

Dear Mr. Shear, 

Thank you for the opportunity to review the draft report, "Small 
Business Contracting: Action Needed by Those Agencies Whose Advocates 
Do Not Report to Agency Heads as Required" (GA0-11-418). In the 
report, you state that we do not comply with section 15(k) (3) of the
Small Business Act because our director for the Office of Small and 
Disadvantaged Business Utilization (OSDBU) does not report directly to 
our agency or deputy agency head. We reevaluated that reporting 
relationship, and the OSDBU director will be reporting to our Deputy 
Commissioner, the deputy agency head for the Social Security 
Administration. This will bring us into compliance with the Small 
Business Act. 

If you have any questions, please contact me at (410) 965-0520. Your 
staff may contact Chris Molander at (410) 965-7401. 

Sincerely, 

Signed by: 

Dean S. Landis 

[End of section] 

Appendix XI: GAO Contact and Staff Acknowledgments: 

GAO Contact: 

William B. Shear, (202) 512-8678 or s [Hyperlink, shearw@gao.gov] 
hearw@gao.gov: 

Staff Acknowledgments: 

In addition to the contact named above, Paige Smith (Assistant 
Director), Farah Angersola, Tania Calhoun, Emily Chalmers, Janet Fong, 
Colleen Moffatt, Marc Molino, Kelly Rubin, Rebecca Shea, Andrew 
Stavisky, and William Woods made key contributions to this report. 

[End of section] 

Footnotes: 

[1] 15 U.S.C. § 644(g). A prime contract is a contract entered into by 
the United States for the purpose of obtaining supplies, materials, 
equipment, or services of any kind. 

[2] Pub. L. No. 95-507, § 221, 92 Stat. 1757, 1770 (1978). 

[3] Codified at 15 U.S.C. § 644(k)(3). In 1988, Congress amended 
section 15(k)(3) and allowed the Secretary of Defense the discretion 
to designate the officials to whom the Defense OSDBU director should 
report. 

[4] Specifically, paragraphs (4)-(10) of section 15(k). 

[5] GAO, Small and Disadvantaged Businesses: Some Agencies' Advocates 
Do Not Report to the Required Management Level, [hyperlink, 
http://www.gao.gov/products/GAO-03-863] (Washington, D.C.: Sept. 4, 
2003). 

[6] The remaining noncompliant agency--the Federal Emergency 
Management Agency--had been subsumed into the Department of Homeland 
Security, which had established an OSDBU with a director reporting to 
the highest agency levels. 

[7] None of the legal arguments raised by the agencies caused us to 
revise our conclusions or recommendations. 

[8] GAO, Small and Disadvantaged Businesses: Most Agency Advocates 
View Their Roles Similarly, [hyperlink, 
http://www.gao.gov/products/GAO-04-451] (Washington, D.C.: Mar. 22, 
2004). 

[9] The goods and services these seven agencies procured in fiscal 
year 2009 accounted for about 76 percent of all federal contracting. 

[10] The 20 civilian agencies surveyed were responsible for more than 
98 percent of civilian agency obligations in fiscal year 2009. DOD 
does not have a single OSDBU director for the entire agency. The 
services (Departments of the Air Force, Army, and Navy) and other DOD 
command units have established separate OSDBUs, each of which is 
headed by a director. These organizational units carry out procurement 
for most of DOD. The DOD agencies, as well as some of the other 
agencies in our study, refer to their offices as the Office of Small 
Business Programs. For simplicity, we use the term OSDBU for all 
agencies in this report. 

[11] For a complete tabulation of survey results, see GAO, Small 
Business Contracting: Survey of 25 Agency Advocates [hyperlink, 
http://www.gao.gov/products/GAO-11-436SP], June 2011), an E-supplement 
to GAO-11-418 (Washington, D.C.: June 3, 2011). 

[12] At the Air Force, we interviewed an official who was the acting 
OSDBU director while the permanent OSDBU director was on detail with 
another project. We also sent our survey to the acting OSDBU director. 

[13] The small business categories include small businesses; women- 
owned small businesses; small disadvantaged businesses, including 
section 8(a) and non-section 8(a) disadvantaged businesses; 
Historically Underutilized Business Zone (HUBZone) small businesses; 
and service-disabled, veteran-owned small businesses. Created in 1997, 
the HUBZone program provides federal contracting assistance to small 
businesses in economically distressed communities with the intent of 
stimulating economic development in those areas. The goals for each 
federal agency are to award not less than 3 percent of the total value 
of all prime contract and subcontract awards for each fiscal year to 
service-disabled, veteran-owned small businesses; not less than 3 
percent of the total value of all prime contract and subcontract 
awards for each fiscal year to HUBZone businesses; not less than 5 
percent of the total value of all prime contract and subcontract 
awards for each fiscal year to small disadvantaged businesses; and not 
less than 5 percent of the total value of all prime contract and 
subcontract awards for each fiscal year to women-owned small 
businesses. 

[14] Under section 15(k), the OSDBU director is to make 
recommendations regarding whether a particular contract should be 
awarded to a small business under certain programs designed to promote 
contracting opportunities for small businesses. Later in this report, 
we describe this function as "determining/reviewing individual 
acquisitions for small business set-asides." 

[15] In 1988, Congress amended section 15(k)(3) and allowed the 
Secretary of Defense the discretion to designate the officials to whom 
the Defense OSDBU director should report. 

[16] At NASA, the Administrator is the head of the agency. 

[17] At DLA, the Vice Director is the deputy head of the agency. A 
revision to the position description that clarified who would rate the 
director's performance was necessary because the Chief of Staff had 
signed the most recent appraisal. 

[18] The SBA scorecard assigns a letter grade to agencies based on 
their small business performance. 

[19] The three functions involving contract bundling are (1) 
attempting to identify solicitations that involve bundling of contract 
requirements, (2) working with agency acquisition officials to revise 
procurement strategies for bundled contract requirements to increase 
small business participation, and (3) facilitating small business 
participation as subcontractors to bundled contracts. 

[20] For the two remaining 15(k) functions--maintaining supervisory 
authority over OSDBU staff and assigning a small business technical 
advisor--we asked only whether the OSDBU director performed the 
function. 

[21] The SBA Small Business Procurement Advisory Council provides 
OSDBU directors with a forum for exchanging information and discussing 
policy. 

[22] See [hyperlink, http://www.osdbu.gov]. 

[23] See [hyperlink, http://www.AirForceSmallBiz.org]. 

[24] These annual reviews also are required to assess the adequacy of 
contract bundling documentation and justification, and actions taken 
to mitigate the effects of necessary and justified contract bundling 
on small businesses. FAR § 19.201(d)(11). Copies of these assessments 
are to be provided to the agency head and SBA Administrator. FAR § 
19.201(d)(12). According to SBA officials, agencies do submit these 
contract bundling reports to them. They also told us that agencies 
provide information on contract bundling as part of the SBA scorecard. 

[25] The NASA OSDBU tracks the performance of the agency's 11 space 
and research centers, including the Kennedy Space Center. Each center 
has procurement authority and conducts outreach to small businesses. 

[26] The fiscal year 2009 goaling report was the most recent report 
available at the time of our review. 

[27] See GAO, Small Business Administration: Agency Should Assess 
Resources Devoted to Contracting and Improve Several Processes in the 
8(a) Program, [hyperlink, http://www.gao.gov/products/GAO-09-16] 
(Washington, D.C.: Nov. 21, 2009). 

[28] 15 U.S.C. 644(h). 

[29] The reports focus on nine elements related to small business 
contracting, including agency strategy, top-level commitment, 
outreach, data reliability, compliance with policies and procedures, 
internal training, and collaboration with SBA. 

[30] Interagency Task Force on Federal Contracting Opportunities for 
Small Businesses, Report on Small Business Federal Contracting 
Opportunities. 

[31] The three best practices highlighted were (1) the Department of 
Agriculture's women-owned small business program; (2) the Department 
of Homeland Security's efforts to promote opportunities for service- 
disabled veteran-owned and HUBZone small businesses; and (3) the 
Department of Veterans Affairs' (VA) efforts to promote veterans in 
business through collaborative partnerships between VA's Center for 
Veterans Enterprise, veteran-owned small businesses, and other federal 
agencies. For more information, see [hyperlink, 
http://www.sba.gov/content/recognizing-best-practices-increasing-
federal-opportunities-small-businesses-0] (accessed on Mar. 22, 2011). 

[32] See Federal OSDBU Directors Interagency Council, Model Code of 
Expectations Between Federal OSDBUs and Small Businesses, August 2003. 
This document identifies the expectations that both small businesses 
and OSDBUs should have when small businesses pursue federal 
procurement opportunities. 

[33] The remaining OSDBU director (Navy) told us that he currently 
does not need more resources and his office is working to be a good 
steward of its current resources. 

[34] The Office of the Secretary of Defense responded on behalf of the 
Air Force, Army, DLA, and Navy. 

[35] [hyperlink, http://www.gao.gov/products/GAO-03-863]. 

[36] Our work at these agencies was limited to asking the OSDBU 
director to fill out our survey. 

[37] We analyzed the Federal Procurement Data System-Next Generation 
data for each component within the Department of Defense (DOD) because 
it does not have a single OSDBU director for the entire agency. The 
Departments of the Air Force, Army, and Navy and other DOD components 
have established separate OSDBUs, each of which is headed by a 
director. These organizational units carry out procurement for most of 
DOD. 

[38] The goods and services these seven agencies procured in fiscal 
year 2009 accounted for about 76 percent of all federal contracting. 

[39] See GAO, Small and Disadvantaged Businesses: Some Agencies' 
Advocates Do Not Report to the Required Management Level, [hyperlink, 
http://www.gao.gov/products/GAO-03-863] (Washington, D.C.: Sept. 4, 
2003). 

[40] In 2003, we also determined that one of the seven agencies with 
major contracting activity, the Department of Health and Human 
Services, was noncompliant. Our list of noncompliant agencies also 
included the Federal Emergency Management Agency, but we excluded it 
from this review because it is no longer an independent agency; it 
became a part of the Department of Homeland Security in March 2003. 

[41] We generally reviewed the OSDBU director's fiscal year 2009 and 
fiscal year 2010 performance appraisals. However, in a few cases, the 
fiscal year 2010 performance appraisal was not yet available. 

[42] We published the results of our 2003 survey in March 2004. See 
GAO, Small and Disadvantaged Businesses: Most Agency Advocates View 
Their Roles Similarly, [hyperlink, 
http://www.gao.gov/products/GAO-04-451] (Washington, D.C.: Mar. 22, 
2004). 

[43] We did not survey the Department of Homeland Security in 2003 
because it was still in the process of being established. 

[44] The survey was launched by electronically distributing 
information on accessing the survey to the OSDBU directors. Each OSDBU 
director was issued a unique username and password to access the 
survey. 

[45] The survey was left open after November 22, 2010, for the four 
OSDBU directors who had started the survey but did not complete it 
until December 29, 2010. 

[46] The Assistant Secretary for Administration is also the Chief 
Financial Officer. 

[47] Since 2003, the name of the office had changed from the Office of 
Finance, Assessment, and Management to the Office of Budget, Finance 
and Management. 

[48] Until March 2011, the Director of the Office of Small Business 
Programs reported directly to the Assistant Secretary for Management. 
In March 2011, pursuant to Section 342 of the Dodd-Frank Wall Street 
Reform and Consumer Protection Act (Pub. L. 111-203), Treasury 
established an Office of Minority and Women Inclusion, whose director 
reported directly to the Assistant Secretary for Management. 

[End of section] 

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