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Report to Congressional Committees: 

United States Government Accountability Office: 
GAO: 

December 2009: 

Smithsonian Institution: 

Implementation of Governance Reforms Is Progressing, but Work Remains: 

GAO-10-190R: 

GAO Highlights: 

Highlights of GAO-10-190R, a report to congressional committees. 

Why GAO Did This Study: 

The Smithsonian Institution (Smithsonian) is the world’s largest museum 
complex. Its funding comes from its own private trust fund assets and 
federal appropriations. The Smithsonian Board of Regents, the 
Smithsonian’s governing body, is responsible for the long-term 
stewardship of the Smithsonian. In recent years, GAO and others have 
documented significant governance and accountability breakdowns at the 
Smithsonian, which could ultimately put funding and the organization’s 
credibility at risk. 

In 2007 the Board of Regents Governance Committee released a report 
recommending 42 governance reforms. In May 2008 GAO found that the 
Board of Regents had implemented 30 of these 42 reforms. GAO also made 
4 additional recommendations. 

In response to a congressional mandate, this report provides an update 
on the status of the Smithsonian’s implementation of governance reforms 
recommended by the Board of Regents Governance Committee and GAO. The 
work for this report is based on analysis of Smithsonian documents, 
interviews with Smithsonian officials, and a GAO report on Smithsonian 
governance (GAO-08-632). 

What GAO Found: 

Since May 2008, the Smithsonian has implemented 9 reforms recommended 
by its Governance Committee—in addition to the 30 it had implemented 
prior to May 2008—and 1 of 4 GAO recommendations, but work remains on 3 
reforms and 3 recommendations, as summarized in the following table. 

Table: Status of the Smithsonian’s Implementation of Governance Reforms 
and Recommendations: 

Source: Governance Committee, June 2007; 
Total: 42; 
Implemented as of May 2008: 30; 
Implemented as of December 1, 2009: 9; 
Work Remains: 3. 

Source: GAO, May 2008; 
Total: 4; 
Implemented as of May 2008: N/A; 
Implemented as of December 1, 2009: 1; 
Work Remains: 3. 

[End of table] 

The nine Governance Committee reforms implemented since May 2008 
include efforts such as revising policies related to travel and expense 
reimbursement and event expenses, creating a regents’ annual public 
forum, and clarifying roles and responsibilities of and developing an 
assessment process for the Board of Regents. The Smithsonian has not 
completed implementation of three Governance Committee reforms related 
to the Smithsonian’s contracting policy, a comprehensive review of 
financial reporting and internal controls, and enhancing the role of 
advisory boards. 

Regarding GAO’s May 2008 recommendations, the Smithsonian implemented 
GAO’s recommendation to evaluate what actions it can take in the event 
of persistent neglect of duties by a regent, but has not completed 
implementation of the following three recommendations: 

* The Board of Regents took steps towards, but has not implemented, 
GAO’s recommendation to develop and make public its process for the 
selection, use, and evaluation of nonregents. The Board of Regents 
posted on its Web site the process for selecting nonregent committee 
members but did not make a final decision regarding a proposed bylaw to 
give nonregent committee members the same roles and responsibilities as 
regents. 

* The Board of Regents took steps to improve its relationship with 
stakeholders, including advisory boards. However, due to limitations of 
the efforts thus far—such as their informal nature and focus on 
dissemination of information from the regents rather than two-way 
communication—several advisory board chairs with whom we spoke 
expressed concern that the Board of Regents still lacked a sufficient 
understanding of Smithsonian museums and other entities to govern as 
effectively as possible. 

* The Board of Regents has not yet conducted a comprehensive evaluation 
of its reforms but plans to do so in fiscal year 2010. 

What GAO Recommends: 

GAO is not making any new recommendations. The Smithsonian and the 
Board of Regents concurred with the findings of this report. 

View [hyperlink, http://www.gao.gov/products/GAO-10-190R] or key 
components. For more information, contact Mark L. Goldstein, (202) 512-
2834 or goldsteinm@gao.gov. 

[End of section] 

United States Government Accountability Office: 
Washington, DC 20548: 

December 10, 2009: 

The Honorable Dianne Feinstein: 
Chairman: 
The Honorable Lamar Alexander: 
Ranking Member: 
Subcommittee on Interior, Environment, and Related Agencies: 
Committee on Appropriations: 
United States Senate: 

The Honorable Norman D. Dicks: 
Chairman: 
The Honorable Michael K. Simpson: 
Ranking Member: 
Subcommittee on Interior, Environment, and Related Agencies: 
Committee on Appropriations: 
House of Representatives: 

Subject: Smithsonian Institution: Implementation of Governance Reforms 
Is Progressing, but Work Remains: 

The Smithsonian Institution (Smithsonian) has been referred to as 
America's museum, as its museums hold and provide access to 
irreplaceable national collections in American and natural history, 
art, and other areas. The Smithsonian has evolved into the world's 
largest museum complex and research organization; two of its museums on 
the National Mall in Washington, D.C., are among the most highly 
visited in the world. In fiscal year 2008, two-thirds of the 
Smithsonian's annual operating revenues--which equaled about $1 
billion--came from federal appropriations, with the rest coming from 
its own private trust fund assets. The act establishing the Smithsonian 
in 1846 provided that, among other things, the business of the 
Smithsonian be conducted by a board of regents. Currently, the Board of 
Regents is composed of 17 regents, including 2 ex-officio regents 
[Footnote 1]--the Chief Justice and the Vice President of the United 
States--6 congressional regents, and 9 citizen regents. As the 
Smithsonian's chief decision-making body, the Board of Regents is 
responsible for the long-term stewardship of the Smithsonian's mission. 
In recent years, we and others have documented significant governance 
and accountability breakdowns at the Smithsonian, which could result in 
a lack of trust from donors, grantors, and appropriators and ultimately 
put funding and the organization's credibility at risk. 

In 2007, following a report from the Smithsonian's Inspector General to 
the Board of Regents on the then-Secretary's compensation package and 
expenses and related inquiries, the then-Secretary resigned. Two 
subsequent studies were published in June 2007, one by the Board of 
Regents Governance Committee and the other by an Independent Review 
Committee (IRC), created at the Board of Regents' request, that 
identified such governance and accountability breakdowns as the 
following: 

* Policies and internal controls were inadequate in such areas as 
conflicts of interest, compensation, and travel. 

* The Board of Regents did not routinely receive or request information 
necessary to support vigorous deliberation, well-reasoned decision 
making, and adequate oversight. 

* The Board of Regents' roles and responsibilities were not clearly 
defined, leaving the role of the regents subject to interpretation. 

* The Board of Regents may have lacked sufficient expertise to conduct 
effective oversight in some areas, and the size and structure of the 
Board of Regents itself may be contributing to this problem. 

Both studies recommended changes to address these governance 
challenges. The Board of Regents adopted all 25 of the Governance 
Committee's recommendations and stated that the IRC's recommendations 
were, for the most part, encompassed by the Governance Committee's 
recommendations. In 2008, in a previous report[Footnote 2] assessing 
the Smithsonian's implementation of these recommendations, we 
determined that some of these recommendations had multiple parts. In 
order to assess the Smithsonian's efforts to implement these 
recommendations, we analyzed each reform contained in the 
recommendations separately; therefore, we assessed the Smithsonian's 
efforts related to 42 reforms relating to the following areas: 

* executive and ethics reforms, 

* executive travel policies, 

* policies on broader Smithsonian operations, 

* access of senior officials and level of information available to the 
Board of Regents, 

* transparency of the Board of Regents' and the Smithsonian's 
activities, 

* communication and stakeholder relationships, 

* regents' roles and responsibilities, 

* the Board of Regents' structure and composition, and, 

* assessment of the Board of Regents. 

We found that the Board of Regents had implemented 30 of the 42 reforms 
to address these areas of concern, and that it had not completed its 
implementation of 12 of the recommended reforms. In that report, we 
also made four recommendations to strengthen the Board of Regents' 
governance reform efforts: that the Board of Regents (1) develop and 
make public a clear policy regarding the selection, use, and evaluation 
of nonregents who serve on the Board of Regents' committees; (2) 
develop mechanisms to ensure the Board of Regents is considering and 
responding to stakeholder concerns; (3) evaluate actions the Board of 
Regents can take in the event of persistent neglect of duties by any of 
its members; and (4) arrange for a comprehensive evaluation of reforms 
after a suitable time has passed. 

In this report, in response to a congressional mandate,[Footnote 3] we 
are providing an update on the Smithsonian's status in implementing 
governance reforms recommended by the Board of Regents Governance 
Committee and by GAO.[Footnote 4] We conducted our work for this report 
from October through December 2009 in accordance with generally 
accepted government auditing standards. Those standards require that we 
plan and perform the audit to obtain sufficient, appropriate evidence 
to provide a reasonable basis for our findings and conclusions based on 
our audit objectives. We believe that the evidence obtained provides a 
reasonable basis for our findings and conclusions based on our audit 
objectives. Information regarding the Smithsonian's governance changes 
is based on our May 2008 report on Smithsonian governance and updated 
documentary and testimonial information provided by Smithsonian 
officials, including the Board of Regents. We assessed the extent to 
which the Smithsonian has implemented governance reforms recommended by 
its Governance Committee and GAO, but we did not evaluate the 
effectiveness of these reforms in improving Smithsonian governance. The 
Board of Regents and the Smithsonian provided comments on this report. 
Their comments are contained in enclosures II and III, respectively. 
For more information on the scope and methodology of this report, see 
enclosure I. 

Background: 

Congress established the Smithsonian in 1846 to administer a large 
bequest left to the United States by James Smithson, an English 
scientist, for the purpose of establishing in Washington, D.C. an 
institution "for the increase and diffusion of knowledge among men." 
[Footnote 5] In accepting Smithson's bequest on behalf of the nation, 
Congress pledged the "faith of the United States" to carry out the 
purpose of the trust.[Footnote 6] To that end, the act establishing the 
Smithsonian provided for the administration of the trust, independent 
of the government itself, by a board of regents and a secretary, who 
were given broad discretion in the use of the trust funds. The Board of 
Regents currently consists of nine private citizens, as well as members 
of all three branches of the federal government, including the Chief 
Justice of the United States, the Vice President, and six congressional 
members, three from the Senate and three from the House of 
Representatives.[Footnote 7] 

Over the last 160 years, the Smithsonian's facilities inventory has 
expanded to include 19 museums and galleries, 9 research centers, a 
zoo, and other facilities--most located in or near Washington, D.C. The 
major buildings owned by the Smithsonian range in age from about 170 
years old to about 5 years old, with most of the facilities' growth 
occurring since the 1960s (see fig. 1). The Smithsonian's growth will 
continue with the construction of an aircraft restoration area--phase 
II of the National Air and Space Museum Steven F. Udvar-Hazy 
Center[Footnote 8]--and the design and construction of a National 
Museum of African American History and Culture, authorized by Congress 
in 2003.[Footnote 9] Beyond this, in May 2008, Congress established a 
commission to study the potential creation of a National Museum of the 
American Latino and whether the museum should be located within the 
Smithsonian.[Footnote 10] 

Figure 1: Growth in Major Facilities Owned by the Smithsonian 
Institution: 

[Refer to PDF for image: line graph and associated data] 

Year: Early 1850s; 
Facility: Smithsonian Institution Building. 
Square feet in millions: 0.02. 

Year: Early 1880s; 
Facility: Arts and Industries. 
Square feet in millions: 0.15. 

Year: Early 1890s; 
Facility: National Zoological Park. 
Square feet in millions: 0.21. 

Year: Early 1910s; 
Facility: National Museum of Natural History (NMNH). 
Square feet in millions: 1.37. 

Year: Mid-1920s; 
Facility: Freer Gallery of Art. 
Square feet in millions: 1.48. 

Year: Mid-1940s; 
Facility: Smithsonian Tropical Research Institute. 
Square feet in millions: 1.93. 

Year: Late 1950s; 
Facility: Garber Facility MD. 
Square feet in millions: 2.61. 

Year: Late 1950s; 
Facility: Patent Office Building. 
Square feet in millions: 2.68. 

Year: Early 1960s; 
Facility: Smithsonian Environmental Research Center. 
Square feet in millions: 2.76. 

Year: Mid-1960s; 
Facility: NMNH - East Wing. 
Square feet in millions: 3.16. 

Year: Mid-1960s; 
Facility: National Museum of American History. 
Square feet in millions: 3.55. 

Year: Late 1960s; 
Facility: Renwick Gallery and Cooper Hewitt. 
Square feet in millions: 4.53. 

Year: Late 1960s; 
Facility: Smithsonian Astrophysical Observatory. 
Square feet in millions: 4.53. 

Year: Mid-1970s; 
Facility: Hirshhorn Museum and Sculpture Garden. 
Square feet in millions: 5.81. 

Year: Mid-1970s; 
Facility: National Air and Space Museum. 
Square feet in millions: 6.25. 

Year: Mid-1980s; 
Facility: Museum Support Center. 
Square feet in millions: 7.49. 

Year: Late 1980s; 
Facility: Anacostia Museum. 
Square feet in millions: 7.92. 

Year: Late 1980s; 
Facility: Quadrangle. 
Square feet in millions: 8.07. 

Year: Mid-1990s; 
Facility: Amazonia Exhibit. 
Square feet in millions: 9.07. 

Year: Late 1990s; 
Facility: NMNH - East Court in FIII. 
Square feet in millions: 9.36. 

Year: Late 1990s; 
Facility: NMNH - West Court in FIII and Cultural Resource Center. 
Square feet in millions: 9.50. 

Year: Late 1990s; 
Facility: Victor Building. 
Square feet in millions: 9.64. 

Year: Early 2000s; 
Facility: Udvar-Hazy Center, Phase 1. 
Square feet in millions: 10.72. 

Year: Mid-2000s; 
Facility: National Museum of the American Indian. 
Square feet in millions: 11.76. 

Square feet as of 2010: 11.97. 

Source: Smithsonian Institution. 

Note: This figure tracks the square footage for all owned and leased 
buildings as they were added to the inventory over time. Only the major 
facilities are named in the figure, although the square footage of 
smaller buildings is included. Also, in November 2005 the Smithsonian 
Institution sold the Victor Building. 

[End of figure] 

The Board of Regents is vested with governing authorities over the 
Smithsonian[Footnote 11] and considers matters such as the 
Smithsonian's budgets and planning documents, new programs and 
construction proposals, appointments to Smithsonian advisory boards, 
and a variety of other issues facing the Smithsonian. The Board of 
Regents also has stewardship responsibilities, including ensuring that 
the Smithsonian's facilities and collections are maintained and that 
the Smithsonian has a funding strategy that provides sufficient funds 
to support these activities. 

Although the Smithsonian is a trust instrumentality of the United 
States with a private endowment,[Footnote 12] about two-thirds of its 
operating revenues in fiscal year 2008 came from federal 
appropriations. In fiscal year 2008, the Smithsonian's operating 
revenues equaled about $1 billion, while its federal appropriations 
equaled about $678.4 million--$107.1 million for facilities capital, 
which provides funds for construction and revitalization projects, and 
$571.3 million for salaries and expenses, which includes funding for 
the program activities of each museum and research center, rents, 
utilities, and facilities' operations, maintenance, and security 
costs.[Footnote 13] The Smithsonian's fiscal year 2008 appropriation 
was subject to an across-the-board rescission of 1.56 percent, which 
according to the Smithsonian resulted in an appropriation of $105.4 
million for facilities capital and $562.4 million for salaries and 
expenses. The remaining operating revenues came from the Smithsonian's 
private trust funds. For fiscal year 2008, the Smithsonian was also 
appropriated an additional $15 million for facilities capital (reduced 
to $14.8 million by the rescission), referred to as the Legacy Fund, to 
be provided if the Smithsonian received matching private donations of 
at least $30 million; however, according to a Smithsonian official, the 
Smithsonian did not meet the matching donations requirement and 
therefore has not received these funds.[Footnote 14] In fiscal year 
2009, the Smithsonian was appropriated $123 million for facilities 
capital and $593.4 million for salaries and expenses. The Smithsonian 
was also appropriated an additional $15 million for the Legacy Fund, 
with the same requirements as for fiscal year 2008, except that funds 
were made available for individual projects in incremental amounts as 
matching funds were raised.[Footnote 15] The Smithsonian was also 
appropriated an additional $25 million for facilities capital under the 
American Recovery and Reinvestment Act of 2009.[Footnote 16] 

In fiscal year 2010, the Smithsonian was appropriated $125 million for 
facilities capital and $636.16 million for salaries and expenses. 
[Footnote 17] Of the $30 million appropriated for the Legacy Fund in 
fiscal years 2008 and 2009, the approximately $29.8 million unobligated 
balance was rescinded, and $29.8 million was appropriated under a new 
requirement--the Legacy Fund is now directed to the Arts and Industries 
Building for the purpose of facilitating the reopening of this 
building. The Appropriations Act makes funds available in incremental 
amounts as private funding becomes available. Private donations, 
including major in-kind donations, that contribute significantly to the 
building's reopening will be matched dollar for dollar. 

The Smithsonian Implemented Most Governance Committee Reforms and One 
of Four GAO Governance Recommendations, but Work Remains on Others: 

The Smithsonian Has Implemented 39 Governance Committee Reforms but 
Work Remains on 3 Reforms: 

Since May 2008, the Smithsonian has implemented 9 reforms recommended 
by the Board of Regents Governance Committee--in addition to the 30 
reforms it had implemented as of May 2008--bringing the total number of 
reforms implemented to 39 of 42 reforms.[Footnote 18] The 3 reforms 
that have not been completely implemented include 2 related to 
improving policies on broader Smithsonian operations--developing a 
contracting policy and conducting a comprehensive review of financial 
reporting and internal controls--and 1 related to communication and 
stakeholder relationships--to enhance the role of the Smithsonian 
advisory boards. Figure 2 summarizes the status of the Smithsonian's 
implementation of the Governance Committee's recommended reforms as of 
May 2008 and December 1, 2009. 

Figure 2: Status of the Smithsonian's Implementation of Governance 
Committee Reforms as of May 2008 and December 1, 2009: 

[Refer to PDF for image: table] 

Governance committee reform: 

Executive and ethics reforms: 		 

Refine the executive compensation process to follow best practices: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 
	
Follow process to recommend range for Secretary's compensation package: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Develop unified compensation policy: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Create leave accrual system for senior trust employees: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Develop overarching Smithsonian code of ethics: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Establish ethics hotline: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Develop policy prohibiting senior staff service on for-profit boards: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Develop database to identify potential conflicts of interest: 
GAO assessment of implementation, May 2008: Reform has not been 
implemented; 
GAO assessment of implementation, December 1, 2009: 

Executive travel policies: 

Adopt interim policies on travel and event expenses: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Policies on broader Smithsonian operations: 

Require Smithsonian Business Ventures to follow Smithsonian policies: 
GAO assessment of implementation, May 2008: Steps have been taken to 
implement the reform, but more work is needed; 
GAO assessment of implementation, December 1, 2009: 

Develop expense policies for regent events: 
GAO assessment of implementation, May 2008: Steps have been taken to 
implement the reform, but more work is needed; 
GAO assessment of implementation, December 1, 2009: Reform has been 
implemented. 

Review internal controls of travel and expense reimbursement: 
GAO assessment of implementation, May 2008: Steps have been taken to 
implement the reform, but more work is needed; 
GAO assessment of implementation, December 1, 2009: Reform has been 
implemented. 

Develop contracting policy: 
GAO assessment of implementation, May 2008: Steps have been taken to 
implement the reform, but more work is needed; 
GAO assessment of implementation, December 1, 2009: Steps have been 
taken to implement the reform, but more work is needed. 

Conduct comprehensive review of financial reporting and internal 
controls: 
GAO assessment of implementation, May 2008: Steps have been taken to 
implement the reform, but more work is needed; 
GAO assessment of implementation, December 1, 2009: Steps have been 
taken to implement the reform, but more work is needed. 

Access of senior officials to the Board of Regents and level of 
information available to the board: 

General Counsel to have direct access to board: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Board review sufficiency of General Counsel resources: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Chief Financial Officer to have direct access to board: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Board review sufficiency of Chief Financial Officer resources: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Inspector General to have direct access to board: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Board review sufficiency of Inspector General resources: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Inspector General to relocate to downtown Washington: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Establish independent regent staff: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Transparency: 

Schedule at least four business meetings annually: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Revise how minutes are taken: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Secretary to delegate corporate secretarial duties to General Counsel: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Develop Freedom of Information Act policy: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Launch regents public Web page: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Communication and stakeholder relationships: 

Enhance role of advisory boards: 
GAO assessment of implementation, May 2008: Reform has not been 
implemented; 
GAO assessment of implementation, December 1, 2009: Steps have been 
taken to implement the reform, but more work is needed. 

Develop strategy to increase public and stakeholder access to 
Smithsonian information: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Create Regent Annual Public Forum: 
GAO assessment of implementation, May 2008: Steps have been taken to 
implement the reform, but more work is needed; 
GAO assessment of implementation, December 1, 2009: Reform has been 
implemented. 

Roles and responsibilities: 

Adopt description of duties and responsibilities of all regents: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Adopt duties and responsibilities of Chair and Chancellor: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Provide for election of new Chair: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Develop board orientation process: 
GAO assessment of implementation, May 2008: Steps have been taken to 
implement the reform, but more work is needed; 
GAO assessment of implementation, December 1, 2009: Reform has been 
implemented. 

Develop opportunities to provide strategic direction in development of 
budget priorities: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Structure and composition: 

Each committee to review and revise charters: 
GAO assessment of implementation, May 2008: Steps have been taken to 
implement the reform, but more work is needed; 
GAO assessment of implementation, December 1, 2009: Reform has been 
implemented. 

New leadership appointed for each committee: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Create standing committee on Facilities Revitalization: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Review existing appointment procedures to existing committees: 
GAO assessment of implementation, May 2008: Steps have been taken to 
implement the reform, but more work is needed; 
GAO assessment of implementation, December 1, 2009: Reform has been 
implemented. 

Create criteria for new citizen regents: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Examine board structure: 
GAO assessment of implementation, May 2008: Reform has been 
implemented. 

Assessment: 

Develop regents' assessment process: 
GAO assessment of implementation, May 2008: Steps have been taken to 
implement the reform, but more work is needed; 
GAO assessment of implementation, December 1, 2009: Reform has been 
implemented. 

Source: GAO presentation and analysis of Smithsonian data. 

[End of figure] 

The following reforms have been implemented by the Smithsonian since 
May 2008: 

* Executive and ethics reforms--conflict of interest: The Smithsonian 
completed its implementation of executive and ethics reforms by 
developing a database to identify potential conflicts of interest. This 
reform was one of several related to strengthening the Smithsonian's 
policies regarding conflicts of interest. The Smithsonian's policies in 
this area had come under concern because the previous policy resulted 
in two senior executives, including a former Secretary, serving on for- 
profit boards, one of which had a contract with the Smithsonian. 

* Operational policies--Smithsonian Business Ventures: The Smithsonian 
implemented a reform to require the former Smithsonian Business 
Ventures (SBV)--now reorganized and renamed Smithsonian Enterprises to 
underscore that the Smithsonian's revenue generating enterprises are in 
a distinct, but not separate, operational unit--to follow Smithsonian 
policies except in the case of a few documented exceptions.[Footnote 
19] This reform came out of concerns about the propriety of SBV 
policies and activities. 

* Operational policies--event expenses: The Smithsonian has implemented 
a reform to develop expense policies for regent events. New event 
guidelines for all special events using Smithsonian funding, including 
regent events, were given final approval by the Board of Regents in 
November 2009. The event expense guidelines require that each 
Smithsonian event funding organization establish and approve a special 
events annual plan. The guidelines also describe three categories of 
events, from the most formal to the least formal, and provide guidance 
on how event coordinators should determine the appropriate event 
category for any particular event, and how events in each category are 
to be approved. For example, a regent event in the most formal category 
is to be reviewed by the Chief Financial Officer (CFO's) office and 
authorized by the Chair of the Board of Regents. The approval form 
requires event coordinators to provide to the approving official the 
event location, total budget, number of guests, and catering cost per 
guest--as well as the same information on a comparable event, such as 
the same event in a prior year. According to a Smithsonian official, 
this comparable information is to help ensure that the approving 
official is able to judge whether event expenses are justifiable and 
reasonable. According to the CFO, the Smithsonian will create a review 
process to monitor and ensure that approving officials are held 
accountable for following the new guidelines. This reform effort 
relates to concerns about a former Secretary's entertainment expenses, 
as well as concerns raised in 2007 and 2008 about the reasonableness of 
the event expenses surrounding the departure of the former Director of 
the National Museum of the American Indian. 

* Operational policies--travel and expense reimbursement: The 
Smithsonian implemented the Governance Committee's reform calling for a 
review of the Smithsonian's internal controls for travel and expense 
reimbursement. As a result of this review, the Smithsonian has 
implemented a number of additional accountability measures for travel 
and expense reimbursement. For example, in addition to ongoing review 
of all senior officials' travel (including the Secretary's travel) by 
the Smithsonian's Office of the Comptroller, a judgmental sample of 
nonsenior officials' travel is reviewed quarterly. The CFO reviews the 
Smithsonian Secretary's travel through travel authorizations prior to 
the travel and post-travel vouchers. The CFO presents a formal report 
of senior officials' travel and credit card use semiannually to the 
Board of Regents Audit and Review Committee, which includes information 
on all travel and expense card policy violations. In addition, the 
Smithsonian implemented five recommendations made by the Smithsonian 
Inspector General in January 2009 to further improve travel 
accountability.[Footnote 20] 

* Communication and stakeholder relationships--public forum: The 
Smithsonian implemented a reform calling for the creation of a regent 
annual public forum. Two regent public forums have now been held--the 
first in November 2008 and the second in September 2009. This reform 
was adopted in response to criticisms about the lack of transparency 
regarding governance at the Smithsonian. 

* Roles and responsibilities--board orientation process: The 
Smithsonian completed implementation of a reform that called for 
clarifying the regents' roles and responsibilities by developing a 
board orientation process. The orientation program includes a book with 
information on the Smithsonian, the Board of Regents, and the regents' 
roles and responsibilities. It also includes the expectation that as 
close as possible to the regents' first board meeting, new regents will 
meet with the Chair of the Board of Regents, the Secretary of the 
Smithsonian, and the Smithsonian's General Counsel and Inspector 
General. According to a Smithsonian official, all current regents 
received the orientation materials, and of the two regents appointed 
after the development of the orientation program, one has had the 
orientation, and the other, who was appointed in September 2009, will 
receive it around the time of the next board meeting. These reforms 
were developed because previously the roles and responsibilities of 
regents were not clearly and explicitly defined, which, in part, led to 
a lack of oversight and awareness. 

* Structure and composition--review of committee charters: The 
Smithsonian implemented a reform calling for review and revision of the 
Board of Regents committees' charters. All committees had completed 
their charter review by October 2008. Previously, committees were not 
consistently examining their roles, responsibilities, and jurisdiction. 
The June 2007 Governance Committee report raised concerns that some 
committees were not effectively carrying out their proper oversight 
functions as a result. 

* Structure and composition--appointment procedures to committees: The 
Smithsonian implemented a reform calling for a review of appointment 
procedures to Board of Regents' committees. Since 2008, the Board of 
Regents has standardized and clarified the appointment process for 
nonregents to committees and has made this process publicly available 
on the Smithsonian's Web site. This reform related to a concern that 
the Board's lack of expertise in some areas--such as finance or 
accounting--may have contributed to the lack of oversight of executive 
compensation and expenses. In our 2008 report, we noted that the Board 
of Regents had addressed this need by increasing the use of nonregents 
on committees, but stated that some issues were still under 
consideration regarding the appropriate selection and use of 
nonregents. We discuss the Smithsonian's actions related to other 
issues regarding the use of nonregents on committees later in this 
report. 

* Assessment--Board of Regents' self-assessment process: The 
Smithsonian implemented a reform calling for a regular assessment of 
the Board of Regents, its committees, and its members. In early fall 
2008 the Board of Regents conducted a self assessment. The Board of 
Regents is currently in the process of conducting its second 
assessment, which includes a self-assessment of individual regents' 
performance, and its first assessment of all committees--and individual 
committee members' performance--to be completed by December 2009. 
Previously, the Board of Regents lacked a formal and regular assessment 
of its performance to determine its effectiveness in governance and 
oversight of Smithsonian management. In May 2008 we reported that a 
self-assessment of the Board of Regents, its committees, and individual 
members would enable the Board of Regents to identify areas for 
improvement in its operating procedures, governance practices, and 
committee structure. 

The Smithsonian Has Not Completed Implementation of Other Reforms 
Recommended by the Governance Committee: 

Since we last reported on these issues in May 2008, the Smithsonian has 
continued to work on, but has not completed, implementation of three 
reforms recommended by the Governance Committee: two related to 
policies on broader Smithsonian operations and one related to 
communication and stakeholder relationships. According to Smithsonian 
officials, generally, the Board of Regents is responsible for setting 
the policies and the Smithsonian administration is responsible for 
implementing those policies. While the Board of Regents has approved 
policies or plans related to the two policy-related reforms, the 
Smithsonian has not completed its implementation of these reforms. In 
our May 2008 report, we raised concerns about challenges associated 
with these efforts, stating that effectively implementing the new 
policies and procedures developed during these reviews was likely to 
depend on effectively training staff and establishing accountability, 
both of which could be challenging because of a level of 
standardization and requirements that did not previously exist. The 
following provides a brief summary of the Smithsonian's efforts 
regarding these reforms: 

* Operational policies--contracting: The Smithsonian has taken steps 
toward, but has not fully implemented, the governance reform related to 
improving contracting policies and procedures. The Smithsonian issued a 
new contracting policy and is currently writing formal procurement and 
contracting procedure manuals that implement this policy and provide 
the rules and procedures for day-to-day procurement and contracting 
activities. According to the Smithsonian CFO, two of the seven parts of 
the manual are completed and in use with the rest scheduled to be 
completed by the end of fiscal year 2010. While the Smithsonian is not 
required to follow the Federal Acquisition Regulation (FAR), the 
Smithsonian's contracting policy and procedures are guided by the 
principles in the FAR. In this environment, where the FAR is not 
required, having strong procedure manuals may be even more important to 
ensuring that the contracting policy is effectively implemented and 
staff know what sections of the FAR the Smithsonian has chosen to 
follow. Moreover, in previous work, we have found that a lack of agency-
specific policies and procedures can result in an increased risk of 
improper or wasteful contract payments. Smithsonian officials indicated 
that the various parts of the Smithsonian's contracting procedures 
manual will incorporate the principles of the FAR applicable to its 
contracting activities. Additionally, the officials indicated that they 
believe the new contracting policy and procedures, when complete, will 
be comprehensive and will serve to obviate incidences of improper 
contracting activity. This reform effort stemmed from concerns that the 
Smithsonian had entered into confidential business contracts that 
appeared to have been awarded in a manner not consistent with 
contracting standards generally applicable in the public sector. 

* Operational policies--financial reporting and internal controls: The 
Smithsonian has taken steps to implement its reform to conduct a 
comprehensive review of the Smithsonian's financial reporting and 
internal controls. This reform effort is related to concerns about 
whether the Smithsonian has appropriate policies and an effective 
process for enforcing and monitoring compliance with its policies. 
[Footnote 21] Internal control--the plans, methods, and procedures used 
to meet missions, goals, and objectives--is the first line of defense 
in safeguarding assets and preventing and detecting fraud and errors 
and helps government program managers achieve desired results through 
effective stewardship of public resources. In May 2008 we reported that 
the Smithsonian had taken some steps to address this reform, including 
developing a framework with which to analyze 23 critical processes 
where there is financial risk. We also reported that its framework for 
this analysis was closely aligned with the framework established by our 
Standards for Internal Control in the Federal Government.[Footnote 22] 
However, we pointed out that effectively implementing the new policies 
and procedures developed during such review efforts would likely depend 
on effectively training Smithsonian staff and establishing 
accountability, both of which could be challenging for the Smithsonian. 
[Footnote 23] The Smithsonian's review of financial reporting and 
internal controls led to a plan--approved by the Audit and Review 
Committee in March 2009--to reduce the risk level of five processes 
identified by the Smithsonian as high risk by the end of fiscal year 
2012. The work laid out in the plan for accomplishing this goal 
includes such items as writing new policies and procedures, training 
staff on responsibilities and procedures for which they are 
accountable, and testing and validating controls through policy 
compliance reviews or personal property inventories. The CFO reported 
to the Audit and Review Committee that effective execution of the plan 
will require a commitment to increasing staffing and other resources 
over time. During the discussion with the CFO, members of the Audit and 
Review committee expressed concern that providing these resources may 
be challenging for the Smithsonian, given limited available resources 
and other priorities, such as collections care and research. According 
to Smithsonian officials, the Smithsonian received funding in fiscal 
years 2009 and 2010 to improve internal controls, and Smithsonian 
officials recognize that vigilance with respect to internal controls is 
an ongoing process. 

* Communication and stakeholder relationships--role of advisory boards: 
The Smithsonian has taken steps to implement its reform to enhance the 
role of its 30 advisory boards--which include a national advisory 
board, as well as advisory boards that focus on individual museums, 
research centers, or programs--but has not resolved all issues. 
[Footnote 24] The primary purpose of an advisory board is to provide 
advice, support, and expertise to the directors of museums, research 
centers, and programs, as well as to the Board of Regents and the 
Secretary. This reform came out of concern that there was a lack of 
transparency and connection to stakeholders within the Smithsonian, 
including advisory boards. According to the Governance Committee's 
report, the advisory boards provide a key link between the Board of 
Regents and the public and a direct connection to the museums. We 
discuss the Smithsonian's efforts regarding this reform later in this 
report, when we discuss the Smithsonian's actions towards implementing 
our related May 2008 recommendation. 

The Smithsonian Has Implemented One of GAO's Four Governance 
Recommendations, While Work Remains on the Other Three: 

In May 2008, we found that there were some areas where the Board of 
Regents Governance Committee had not yet developed reforms or where the 
Governance Committee's reforms could be taken further. We therefore 
made four recommendations to strengthen the Smithsonian's governance 
reform efforts. As shown in figure 3, the Smithsonian has implemented 
one of our four recommendations and has taken steps to implement the 
other three recommendations. 

Figure 3: Smithsonian's Progress in Implementing Our Governance 
Recommendations: 

[Refer to PDF for image: table] 

Category: Structure and composition
Recommendation: Develop and make public a clear policy regarding the 
selection, use, and evaluation of nonregents; 
Status: Steps have been taken to implement the recommendation, but more 
work is needed. 

Category: Communication and stakeholder relationships
Recommendation: Develop mechanisms to ensure the Board of Regents is 
considering and responding to stakeholders concerns; 
Status: Steps have been taken to implement the recommendation, but more 
work is needed. 

Category: Assessment; 
Recommendation: Evaluate what actions the Board of Regents can take in 
the event of persistent neglect of duties by any of its members; 
Status: Recommendation has been implemented. 

Category: Assessment; 
Recommendation: Arrange for a comprehensive evaluation of reforms after 
suitable time has passed; 
Status: Steps have been taken to implement the recommendation, but more 
work is needed. 

Source: GAO. 

[End of figure] 

As Figure 3 shows, the Board of Regents implemented one of our 
recommendations related to assessment--to evaluate what actions it can 
take in the event of persistent neglect of duties by any regents or 
their liaisons. In July 2009 the Board of Regents Governance and 
Nominating Committee[Footnote 25] implemented this recommendation by 
considering a staff paper that described actions that could be taken in 
the event of persistent neglect of duties and approving an approach 
that included initial counseling and potential referral to the full 
Board of Regents for appropriate action. This recommendation came from 
a concern that because the Board of Regents has no authority to remove 
regents for cause, such as persistent neglect of duties during a 
regent's term--only Congress can take action to remove a regent--a key 
challenge for the Board of Regents would be how to hold all regents 
accountable for individual performance. We therefore recommended that 
the Board of Regents evaluate actions it could take in the case of 
neglect of regent duties. 

The following briefly summarizes the status of the Smithsonian's 
implementation of our other three recommendations: 

* Structure and composition: The Board of Regents has taken steps 
toward, but not implemented, our recommendation to develop and make 
public its process for the selection, use, and evaluation of 
nonregents. The Board of Regents has developed and posted on its Web 
site the process used to recruit and select the eight additional 
nonregents that have been added to its committees since our May 2008 
report, thus fulfilling the part of our recommendation related to 
making public its process for selecting nonregents[Footnote 26]. In 
addition, in May 2008, the Board of Regents adopted a recommendation 
stating that nonregent committee members must be considered full and 
equal members of committees. However, the Board of Regents has not 
fully determined the implications of this recommendation for the roles 
and responsibilities of nonregent committee members in some areas. In 
July 2009, the Board of Regents Governance and Nominating Committee 
considered but tabled a motion on a proposed bylaw concerning the 
duties and responsibilities of nonregent committee members. Committee 
members discussed several issues related to establishing such a bylaw, 
including the fact that nonregent committee members do not go through 
the same nomination and appointment process as regents and do not 
exercise the statutory authority of regents. Committee members also 
discussed whether certain ethical and disclosure obligations for 
regents under the Board of Regents ethics guidelines and annual 
disclosure statement should apply to nonregent committee members, and 
requested that Smithsonian staff provide the regents with further 
information on potential implications of this bylaw. According to the 
chief of staff to the Board of Regents, subsequently, the Smithsonian 
concluded that existing governance requirements in committee charters 
require that all committee members, including nonregent members, file 
annual financial disclosures, and the Smithsonian plans to apply this 
requirement to these individuals. The Board of Regents official also 
stated that the Governance and Nominating Committee plans to further 
discuss this issue at its March 2010 meeting. This recommendation came 
from a concern that, while the Board of Regents had addressed issues 
regarding the need for additional expertise by increasing the use of 
nonregents on committees, there was little transparency as to how 
nonregent experts on committees were to be selected, used, or 
evaluated. 

* Communication and stakeholder relationships: The Board of Regents has 
taken steps toward but not implemented our recommendation related to 
improving communication and stakeholder relationships by developing 
mechanisms to ensure consideration of and follow-up on the key concerns 
of advisory boards and other stakeholders. This recommendation came 
from a concern that, without mechanisms by which the Board of Regents 
could receive and consider unfiltered information from stakeholders on 
a regular basis, its reform efforts in this area may not have the 
desired impact of creating an environment for governance that is 
inclusive of the broad diversity of activities and viewpoints of 
stakeholders within and outside of the Smithsonian. The Board of 
Regents has taken steps toward implementing this recommendation. For 
example, the Board of Regents has now held two public forums and 
developed a process for each by which comments received were responded 
to. The Board of Regents has also taken several steps to improve its 
relationship with the Smithsonian advisory boards. For example, the 
Chair of the Board of Regents now sends a quarterly e-mail to all 
advisory board chairs providing information on the most recent meeting 
and asking advisory board chairs to contact her directly with any 
concerns.[Footnote 27] According to a Smithsonian official, when a 
concern is brought to the Chair of the Board of Regents' attention, it 
is either responded to immediately or tracked by the Office of the 
Board of Regents until responded to. In addition, as part of its 
strategic planning process, the Smithsonian conducted a workshop of 
advisory board chairs in April 2009, which was organized through the 
regents and led by the Chair of the Board of Regents and the Secretary 
of the Smithsonian. According to Board of Regents officials, this 
workshop provided a critical opportunity for the Board of Regents to 
engage with advisory board chairs on the development of the plan and 
the role of the advisory boards in its implementation. According to a 
Smithsonian official, the input provided by these advisory board chairs 
was considered as the strategic plan was developed. Furthermore, seven 
regents sit on at least one advisory board,[Footnote 28] and eight 
nonregent committee members have a current or past affiliation with an 
advisory board. According to five advisory board chairs with whom we 
spoke, the relationship between the Board of Regents and the advisory 
boards has improved.[Footnote 29] However, limitations of the efforts 
thus far do not ensure that the Board of Regents is getting sufficient 
input from advisory boards to increase the effectiveness of its 
governance of the Smithsonian. 

First, much of the increased communication from the Board of Regents to 
advisory boards is due to efforts of the current Chair of the Board of 
Regents and has not been formalized to ensure that these improvements 
continue if the chairmanship of the Board of Regents changes hands. 
Moreover, while the advisory board chairs with whom we spoke stated 
that they would contact the Chair of the Board of Regents if they had a 
particular concern, several commented that regular e-mail updates from 
the Chair of the Board of Regents are one-way communications that do 
not encourage a full flow of information in both directions. In another 
example, except for the Chief Justice, who is on two advisory boards in 
an ex-officio position, the six regents who are on advisory boards are 
on a total of four advisory boards, leaving the majority of advisory 
boards without regent representation. Moreover, most of the nonregent 
members of committees who are current or past advisory board members 
come from the Smithsonian-wide National Board. Therefore, while this 
intermingling may be valuable, it is not significantly increasing the 
breadth of the regents' knowledge about the different museums and other 
entities that make up the Smithsonian. Board of Regents officials 
clarified that the overarching purpose of adding nonregent committee 
members to Board of Regents' committees is to supplement the Board of 
Regents' subject-matter expertise. While the Board of Regents' policy 
calls for giving primary consideration to nonregent members who possess 
significant ties to the Smithsonian, such as leaders of the advisory 
boards, if needed expertise is absent in that pool, the Board of 
Regents will then look outside the advisory boards. 

Several advisory board chairs with whom we spoke expressed concern that 
the Board of Regents still lacked a sufficient understanding of the 
many museums and other Smithsonian entities to govern as effectively as 
possible--an understanding that could be gained through developing 
additional mechanisms to ensure substantive interactions between the 
Board of Regents and the advisory boards. For example, several advisory 
board chairs with whom we spoke suggested that each regent take 
ownership over understanding a certain number of museums or programs, 
which could include practices such as periodic telephone conversations 
with the advisory board chair, regular visits to the museum's exhibits, 
and reading important museum, program, or advisory board documents. 
Board of Regents officials stated that because the regents are 
collectively responsible for the governance of the entire Smithsonian, 
better governance counsels against fragmentation of interests or 
promotion of the idea that an individual regent represents a particular 
museum constituency. GAO did not evaluate the suggestions of the 
advisory board chairs for improving interaction between the advisory 
board and the Board of Regents or the Board of Regents' concerns. Board 
of Regents officials also stated that additional opportunities for 
interaction between regents and advisory boards have been and are being 
developed. These officials stated that, for example, regent dinners and 
meetings routinely contain mission-related components that include 
tours or presentations by museum directors and staff; and a 2010 goal 
of the Office of the Regents is to collect, analyze, and routinely 
inform the Board of Regents of issues gleaned from the minutes and 
other papers of the advisory boards. According to Board of Regents 
officials, in addition, both advisory board chairs and their respective 
museum or program directors will be requested annually to identify the 
most promising opportunities and most pressing challenges or issues 
that face the museum or program and the advisory board for 
dissemination to the Board of Regents. 

* Assessment--evaluation of reforms: The Board of Regents has taken 
steps toward, but has not implemented, our recommendation to conduct an 
evaluation of its reform efforts after a suitable time has passed. In 
May 2008 the Board of Regents took steps towards implementing this 
recommendation by approving a plan to conduct an evaluation of its 
governance reform effort every 3 years, beginning in 2010. This 
recommendation stemmed from a concern that the Board of Regents had no 
mechanism planned to evaluate the implementation and effectiveness of 
the governance reforms after enough time had passed for the Smithsonian 
to operate in a fully reformed environment. Board of Regents officials 
stated that the Board of Regents has been consistent in its commitment 
to conduct a review of the efficacy of the governance reforms in 2010. 

Agency Comments: 

We provided a draft of this report to the Board of Regents and the 
Smithsonian for review and comment. Both the Board of Regents and the 
Smithsonian concurred with the findings of this report. The Board of 
Regents stated that it has made significant progress over the past 2 
years in making the Smithsonian a leader in nonprofit governance, and 
that the Board of Regents is continuing to identify ways to strengthen 
relationships with Smithsonian advisory boards, including ways to 
formalize improvements in communication that have been made. The Board 
of Regents also reiterated its commitment to assess the efficacy of its 
governance reform efforts in 2010. The Smithsonian Institution stated 
that it is proud of the progress that has been made with regard to 
governance reform, and that the Smithsonian expects to complete the 
remaining reforms over the course of the coming year. In addition, both 
the Board of Regents and the Smithsonian provided technical 
clarifications and comments to the draft, which we incorporated into 
the final report as appropriate. The Board of Regents' comments on our 
report can be found in enclosure II, and the Smithsonian's comments to 
our report can be found in enclosure III. 

We are sending copies of this report to the appropriate congressional 
committees. We are also sending this report to the Chair of the Board 
of Regents and the Secretary of the Smithsonian. In addition, this 
report will be available at no cost on the GAO Web site at [hyperlink, 
http://www.gao.gov]. Contact points for our Offices of Congressional 
Relations and Public Affairs may be found on the last page of this 
report. 

If you or your staff have any questions regarding this report, please 
contact me at (202) 512-2834 or at goldsteinm@gao.gov. Key contributors 
to this report include David Sausville (Assistant Director), Brian 
Hartman, Jennifer Kim, Susan Michal-Smith, Sara Ann Moessbauer, Ruth 
Walk, Alwynne Wilbur, and Carrie Wilks. 

Signed by: 

Mark L. Goldstein:
Director, Physical Infrastructure Issues: 

Enclosures: 

[End of section] 

Enclosure I: Scope and Methodology: 

To analyze the extent to which the Smithsonian Institution 
(Smithsonian) had implemented its Governance Committee and our May 2008 
governance recommendations, we took the following steps. As described 
in 2008, in assessing the Smithsonian's implementation of its 
Governance Committee's 25 recommendations, we determined that some of 
these recommendations had multiple parts. In order to assess the 
Smithsonian's efforts to implement these recommendations, we analyzed 
each reform contained in the recommendations separately; therefore, we 
assessed the Smithsonian's efforts related to 42 reforms that related 
to the following areas: 

* executive and ethics reforms, 

* executive travel policies, 

* policies on broader Smithsonian operations, 

* access of senior officials to the Board of Regents and level of 
information available to the Board of Regents, 

* transparency of the Board of Regents' and the Smithsonian's 
activities, 

* communication and stakeholder relationships, 

* regents' roles and responsibilities, 

* the Board of Regents' structure and composition, and: 

* assessment of the Board of Regents. 

We found that the Board of Regents had implemented 30 of the 42 reforms 
to address these areas of concern, and that it had not completed its 
implementation of 12 of the recommended reforms. In that report, we 
also made four recommendations to strengthen the Board of Regents' 
governance reform efforts. For this report, we assessed the status of 
the Smithsonian's implementation of the 12 governance reforms that had 
not been implemented as of May 2008 and our four recommendations from 
prior work. We assessed the extent to which the Smithsonian has 
implemented governance reforms recommended by its Governance Committee 
and GAO, but we did not evaluate the effectiveness of these reforms in 
improving Smithsonian governance. 

In order to perform this assessment, we reviewed our May 2008 report on 
the Smithsonian's governance reforms, and we reviewed Smithsonian 
documentary and testimonial evidence. To assess the status of the 
Smithsonian's implementation of all the reforms and recommendations, we 
interviewed Smithsonian officials, including the Board of Regents Chief 
of Staff, and the Smithsonian Chief Financial Officer, among others, 
and five current or recently past advisory board chairs. In addition, 
we reviewed the following evidence related to the reform areas: 

* To review the Smithsonian's steps to implement the Board of Regents 
Governance Committee's reform on ethics, we reviewed a document 
describing the process for implementing the conflicts of interest 
database from the Smithsonian's Office of General Counsel. 

* To assess the steps taken by the Board of Regents to implement its 
Governance Committee's reforms on broader Smithsonian operations, we 
reviewed (1) documents relating to the former Smithsonian Business 
Ventures, (2) approved actions from the Board of Regents' January 26, 
2009, meeting, (3) a Chief Financial Officer report to the Audit and 
Review Committee on the results of the Smithsonian's ongoing senior 
executive travel review, (4) Smithsonian-wide e-mail announcements 
containing travel policy reminders, (5) portions of the Smithsonian's 
travel handbook guidance, (6) the Smithsonian's contracting policy 
(Smithsonian Directive 314), (7) and two plans (January 2009 and March 
30, 2009) developed by the Chief Financial Officer for strengthening 
internal controls at the Smithsonian. We also reviewed two recent 
relevant Smithsonian Inspector General reports--a January 2009 report 
on travel oversight at the Smithsonian and an October 2008 report on 
the travel and event expenses of the former Director of the National 
Museum of the American Indian. To assess the steps taken by the 
Smithsonian to implement its Governance Committee reforms and our May 
2008 recommendation related to communication and stakeholder 
relationships, we watched the Webcast of the Smithsonian's November 
2008 public forum posted on the Smithsonian's Web site and analyzed 
comments and responses posted on the Smithsonian's Web site. We also 
reviewed a summary of comments received during and after the public 
forum created by the Smithsonian and provided to several Smithsonian 
parties, and we reviewed documentary evidence on the September 2009 
annual public forum. In addition, we reviewed a document created by the 
Board of Regents and provided to the chairs of advisory boards 
detailing new efforts to improve communication and information sharing 
between the Board of Regents and the advisory boards. We analyzed three 
e-mails sent to Advisory Board chairs from April through October 2009, 
information on regents membership on advisory boards and advisory board 
membership on Board of Regents' committees, and we spoke with five 
current or just prior advisory board chairs about the effectiveness of 
efforts to increase the role of the advisory boards. 

* To assess the steps taken by the Board of Regents to implement its 
Governance Committee reforms related to the Board of Regents' roles and 
responsibilities, structure and composition, and assessment, and our 
May 2008 recommendations related to the Board of Regents' structure and 
composition and assessment, we reviewed and analyzed the September and 
November 2008 and January, June, and September 2009 board meeting 
minutes; the Board of Regents' orientation package; committee charters; 
self-assessment instruments used to conduct the Board and committee 
self-assessments; results of the Board of Regents' first self- 
assessment; and the procedures for recruiting and selecting nonregents 
for committees, which are posted on the Smithsonian Web site. 

We conducted our work in Washington, D.C., between October and December 
2009 in accordance with generally accepted government auditing 
standards. Those standards require that we plan and perform the audit 
to obtain sufficient, appropriate evidence to provide a reasonable 
basis for our findings and conclusions based on our audit objectives. 
We believe that the evidence obtained provides a reasonable basis for 
our findings and conclusions based on our audit objectives. 

[End of section] 

Enclosure II: Comments from the Smithsonian Institution's Board of 
Regents: 

Smithsonian Institution: 
The Board of Regents: 

Chancellor: The Chief Justice of the United States: 

Chair: Patricia Q. Stonesifer, Washington State: 

Vice Chair: Alan G. Spoon, Massachusetts; 

Members: 
The Vice President of the United States; 
The Honorable Thad Cochran, Mississippi; 
The Honorable Christopher J. Dodd, Connecticut; 
The Honorable Patrick I. Leahy, Vermont; 
The Honorable Xavier Becerra, California; 
The Honorable Sam Johnson, Texas; 
The Honorable Doris Matsu, California; 
Phillip Frost, Florida; 
Shirley Ann Jackson, New York; 
Robert P. Kogod, Washington, D.C.; 
John W. McCarter Jr., Illinois; 
David M. Rubenstein, Maryland; 
Roger W. Sant, Washington, D.C.; 

December 2, 2009: 

Mark L. Goldstein: 
Director, Physical Infrastructure Issues: 
Government Accountability Office: 
441 G Street, NW: 
Washington, DC 20548: 

Dear Mr. Goldstein: 

On behalf of the Board of Regents of the Smithsonian Institution, I'd 
like to join Secretary Clough in expressing our appreciation for the 
Government Accountability Office's review of the implementation of our 
governance reforms. Over the past two years, the Regents have made 
significant progress toward making the Smithsonian a leader in 21st 
century non-profit governance and, in doing so, we have welcomed the 
analysis and guidance provided by the GAO. We recognize, however, that 
good governance requires us to regularly assess our progress and reset 
our goals to ensure that they continue to reflect the best practices in 
non-profit governance. 

In that regard, we continue to identify ways to strengthen our key 
relationships with the museum and research center advisory boards. As 
your report notes, I have continued the practice begun by my 
predecessor, Roger Sant, to send quarterly reports to the advisory 
board chairs and meet personally with many of them to discuss issues 
facing their respective museums or research centers. We will also 
continue holding an annual meeting with the chairs; this April, 
Secretary Clough and I will lead a conversation with the advisory board 
chairs on the launch of the national campaign. 

Following our recommendation, many advisory board chairs now provide 
critical input on the development of unit goals and the evaluation of 
unit directors' performance. We are committed to fostering such 
meaningful opportunities for communication and will implement 
procedures to learn from their input. We remain mindful that effective 
oversight of a diverse and complex organization such as the Smithsonian 
must reflect the perspective and expertise of our dedicated advisory 
board members. 

We accept your recommendation that many of these improvements should 
now be formalized. During the first quarter of the new year, I will be 
working closely with the Chair of the Governance and Nomination 
Committee, Dr. Shirley Ann Jackson, to codify our processes for two-way 
communications between the Regents and advisory board chairs. In doing 
so, we will continue to look at the best practices of diverse 
organizations with similar advisory board structures for new ways to 
promote communication and better tap the expertise and dedication of 
our advisory board members. 

When the Regents committed ourselves to an ambitious and aggressive 
governance reform agenda in June 2007, we recognized the need to assess 
the efficacy of our efforts in 2010. We are now preparing for that 
review and no doubt will benefit from the solid foundation already laid 
by you and your colleagues. 

Sincerely, 

Patricia Q. Stonesifer: 

[End of section] 

Enclosure III: Comments from the Smithsonian Institution: 

Smithsonian Institution: 
C. Wayne Clough: 
Secretary: 
Smithsonian Institution Building: 
1000 Jefferson Drive SW: 	
Washington DC 20560-0016: 
202.633.1846: Telephone:	
202.786.2515: Fax: 

December 1, 2009: 

Mr. Mark L. Goldstein: 
Director, Physical Infrastructure Issues: 
Government Accountability Office: 
441 G Street, NW: 
Washington, DC 20548: 

Dear Mr. Goldstein: 

On behalf of the management and staff of the Smithsonian Institution, I 
would like to thank you and your colleagues for your thorough 
assessment of the progress we have made in improving our governance 
system. We are pleased that the Government Accountability Office (GAO) 
took the time to understand the Institution and the challenges we face. 

The Institution's Board of Regents, senior management and staff have 
worked hard to improve the governance of the Institution, and we have 
completed implementation of almost all the recommendations made by the 
Regents' Governance Committee, the Independent Review Committee and 
GAO. As a result, our governance now more accurately reflects best 
practices. Indeed, as one commentator noted, we "developed new 
governance policies that are clearly 'second generation' in nature and 
thus worthy of close notice by other nonprofit organizations."[Footnote 
1] We are very proud of the progress we have made with regard to 
governance reform, and I believe that both the Institution and the 
American public are better served as a result of this effort. 

With respect to further progress to be made, I expect that we will 
complete the reaiming reforms over the course of the coming year. For 
example, our new contracting policy was completed and issued in June 
2008, and all seven parts of the accompanying procedures will be 
completed by the end of 2010. We have received additional federal 
funding to improve our internal controls, and the results of that 
enhanced effort are already visible though, like governance itself, 
control of internal operations is a continual process. 

Thank you again for your efforts. 

Sincerely, 

Signed by: 

C. Wayne Clough: 
		
Footnote: 

[1] Exempt Organization Tax Review, Vol. 57, No 3, September 2007, p. 
282. 

[End of section] 

Footnotes: 

[1] An ex-officio regent is a regent not by appointment but by virtue 
of holding a certain office. 

[2] GAO, Smithsonian Institution: Board of Regents Has Implemented Many 
Governance Reforms, but Ensuring Accountability and Oversight Will 
Require Ongoing Action, [hyperlink, 
http://www.gao.gov/products/GAO-08-632] (Washington, D.C.: May 15, 
2008). 

[3] Explanatory Statement in the 2009 Committee Print of the House 
Committee on Appropriations on H.R. 1105, at 1156-1157 accompanying the 
Omnibus Appropriations Act for FY 2009, Pub. L. No. 111-8, Div. E, 
Title III, 123 Stat. 524, 740-741 (2009). 

[4] [hyperlink, http://www.gao.gov/products/GAO-08-632]. 

[5] The Act of August 10, 1846, as amended, is codified at 20 U.S.C. §§ 
41-67. 

[6] A trust is a fiduciary relationship involving a right of property 
held by the trustee for the benefit of another. 

[7] The three senators are appointed by the President of the Senate, 
the three representatives are appointed by the Speaker of the House, 
and nine citizens are appointed by joint resolution of Congress--two 
from the District of Columbia and seven from the states. 

[8] The National Air and Space Museum Steven F. Udvar-Hazy Center near 
Washington Dulles International Airport is the companion facility to 
the National Air and Space Museum on the National Mall and is being 
built in two phases. Phase I opened in December 2003 and provides 
enough space for the Smithsonian to display thousands of aviation and 
space artifacts. Phase II will include a restoration hangar, archives, 
collections processing unit, conservation laboratory, and a collections 
storage facility. 

[9] 20 U.S.C. §§ 80r through 80r-9. 

[10] Pub L. No 110-229, Title III, § 333, 122 Stat. 754, 784-787 
(2008). 

[11] For example, 20 U.S.C. §42 establishes the Board of Regents' 
responsibility to conduct the business of the Smithsonian, and 20 
U.S.C. §50 provides for the Board of Regents to accept specimens and 
objects of art and for these items to be appropriately classed and 
arranged. 

[12] GAO recently issued a report on federally created entities such as 
the Smithsonian. See GAO, Federally Created Entities: An Overview of 
Key Attributes, [hyperlink, http://www.gao.gov/products/GAO-10-97] 
(Washington, D.C.: Oct. 29, 2009). 

[13] Pub. L. No. 110-161, Div. F, Title III, 121 Stat. 1844, 2140 
(2007). 

[14] The fiscal year 2008 Appropriations Act establishing the Legacy 
Fund required that both private donations and federal matching funds be 
used for the restoration, renovation, and rehabilitation of existing 
facilities. Funds could not be used for day-to-day maintenance, 
salaries and expenses, or programmatic purposes, and in-kind donations 
did not count toward the match. See Pub. L. No. 110-161, 121 Stat. 
1844, 2140 (2007). 

[15] Pub. L. No. 111-8, Div. E, Title III, 123 Stat. 524, 740-741 
(2009). Smithsonian's fiscal year 2009 appropriation is not subject to 
a rescission. 

[16] Pub. L. No. 111-5, Title VII, 123 Stat. 115, 171 (2009). 

[17] Pub. L. No 111-88, Title III, 123 Stat. 2904, 2951-2952 (2009). 

[18] For more information on the reforms implemented as of May 2008, 
see [hyperlink, http://www.gao.gov/products/GAO-08-632]. 

[19] SBV was a centralized entity responsible for the Smithsonian's 
various business activities. The documented exceptions were driven by 
the fact that SBV used different automated systems from the rest of the 
Smithsonian for financial accounting, payroll, and time and attendance. 

[20] The Inspector General recommended that Smithsonian management (1) 
encourage use of per diem allowances rather than actual expenses; (2) 
expand post-travel compliance reviews; (3) revise procedures to define 
more precisely what circumstances constitute adequate justification for 
actual expenses rather than per diem allowances; (4) ensure compliance 
with sponsored travel procedures; and (5) verify that employees with 
approval authority are not subordinates of the travelers. The 
Smithsonian implemented all five of these recommendations by May 2009. 

[21] The Smithsonian has defined internal control as a process designed 
to provide reasonable assurance of the Smithsonian's ability to achieve 
and sustain effective and efficient operations, reliable financial 
reporting, and compliance with applicable laws, regulations, and 
policies. This definition is very similar to the definition we have 
established for internal controls. 

[22] GAO, Standards for Internal Control in the Federal Government, 
[hyperlink, http://www.gao.gov/products/GAO/AIMD-00-21.2.1] 
(Washington, D.C.: November 1999). 

[23] Accountability represents the processes, mechanisms, and other 
means by which an entity's management carries out its stewardship and 
responsibility for resources and performance. 

[24] Most advisory boards (except for those with mandated statutory 
authority) have no independent governance function, and all are subject 
to the authority of the Board of Regents. The Smithsonian is not 
subject to the Federal Advisory Committee Act, which requires federal 
agencies that sponsor federal advisory committees and have at least one 
member that is not a federal employee to comply with requirements for 
establishing and managing advisory committees. See 5 U.S.C. App. 2. 

[25] The Board of Regents established the Governance Committee as a 
standing committee in March 2007 and then combined committee function 
with its Nominating Committee in June 2007, after the issuance of the 
Governance Committee's report and recommendations on Smithsonian 
governance reforms. The committee is now called the Governance and 
Nominating Committee. 

[26] The eight nonregents were recruited specifically from the various 
Smithsonian advisory boards and were vetted by the Secretary, the unit 
directors and advisory board chairs, and the Board of Regents committee 
chairs, as well as the Chair of the Board of Regents and the Governance 
and Nominating Committee. The criteria for selecting these nonregents 
were based on their expertise in areas subject to a committee's 
oversight responsibilities. 

[27] The position description for the Chair of the Board of Regents 
states that the Chair serves as the primary liaison between the Board 
of Regents and the Smithsonian National Board and other advisory 
boards. 

[28] One of these seven regents is the Chancellor--the Chief Justice of 
the United States--who is an ex-officio member of two advisory boards. 

[29] Four of the five people we interviewed were current advisory board 
chairs as of December 2009. One person had rotated off of the advisory 
board in October 2009, but was the advisory board chair prior to the 
governance reforms and during the time that the changes described above 
took place. 

[End of section] 

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