S9-7 f OFFICE OF INSPECTOR GENERAL
sf/«r hfffnm'taff th? Effwrvnment-
Evaluation Report
EPA Can Better Manage
Brownfields Administrative
Resources
Report No. 2005-P-00017
June 7, 2005
Before
After
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Report Contributors
Carolyn Copper
Chad Kincheloe
Steve Textoris
Katherine Beam
Abbreviations
EPA
EPM
ESP
FTE
FY
OA/OPEI
OARM
OBCR
OCFO
OECA
OEI
OGC
OIG
OSWER
OUST
STAG
Environmental Protection Agency
Environmental Programs and Management
Enabling Support Program
Full-Time Equivalent
Fiscal Year
Office of the Administrator/Office of Policy, Economics, and Innovation
Office of Administration and Resources Management
Office of Brownfields Cleanup and Redevelopment
Office of the Chief Financial Officer
Office of Enforcement and Compliance Assurance
Office of Environmental Information
Office of General Counsel
Office of Inspector General
Office of Solid Waste and Emergency Response
Office of Underground Storage Tanks
State and Tribal Assistance Grants
Cover photos:
In Springfield, Missouri, a Brownfields assessment pilot grant helped leverage
the resources needed to redevelop the former Jordan Valley Corridor into the
Jordan Valley Park (Photos courtesy of EPA).
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U.S. Environmental Protection Agency
Office of Inspector General
At a Glance
2005-P-00017
June 7, 2005
EPA Can Better Manage Brownfields
Administrative Resources
What We Found
We provide answers to congressional questions about EPA's Brownfields
program: the distribution and type of staff; budget for Fiscal Year 2003 and 2004;
grant and contract management responsibilities and workload; the number and
type of Brownfields conferences; and the workload model used to staff the
program.
In evaluating this data, we determined that EPA's ability to effectively manage
Brownfields resources is challenged by policy and organizational impediments.
Because the authority for Brownfields resources is dispersed, offices with
responsibility for program resources are not in alignment in their efforts to define
and track Brownfields costs, and staff resources cannot be accounted for and
efficiently utilized. Close alignment of offices that support the Brownfields
program is needed to effectively and efficiently manage program resources.
We also found that EPA expends significant financial and personnel resources on
Brownfields outreach at conferences and meetings, without evaluating or
prioritizing these efforts. An analysis of these efforts offers the potential to
identify savings.
What We Recommend
We recommend the Deputy Assistant Administrator for the Office of Solid Waste
and Emergency Response, with assistance from other accountable Assistant
Administrators, as appropriate: (1) more closely align themselves in support of an
accountable entity effectively to distribute, manage, account for, and optimize
Brownfields resources, consistent with program needs and goals; (2) define
Brownfields administrative and programmatic payroll costs and establish a system
to identify and track them; (3) provide documentation to account for all Fiscal
Year 2003 administrative resources; (4) revise the regional staffing model to
support current workload, develop a workload model for allocation of Brownfields
headquarters staff, and develop a schedule for regularly updating the workload
model; (5) evaluate Brownfields staff that are not certified Project Officers to
determine how many should become certified, and take necessary steps to
complete their certification; (6) hold the EPA-sponsored Brownfields conference
once every two years rather than annually; and (7) develop a process to evaluate
conferences and meetings to determine which conferences or meetings
Brownfields staff need to attend. The Agency did not agree or disagree with our
recommendations, and in several cases, disagreed with our analysis.
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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
WASHINGTON, D.C. 20460
THE INSPECTOR GENERAL
MEMORANDUM
SUBJECT:
TO:
June 7, 2005
Evaluation Report: EPA Can Better ManageBrownfields
Administrative Resources
Report No, 2005-P-00017
Thomas Dunne
Acting Assistant Administrator
Office of Solid Waste and Emergency Response
This is our final report on the subject evaluation conducted by the Office of Inspector General
(OIG) of the U.S. Environmental Protection Agency (EPA). This evaluation report contains our
findings that describe the problems the OIG has identified and corrective actions the OIG
recommends. This evaluation report represents the opinion of the OIG and the findings
contained in this report do not necessarily represent the final EPA position. Final determinations
on matters in this evaluation report will be made by EPA managers in accordance with
established procedures.
We met with Office of Solid Waste and Emergency Response (OSWER) staff on February 16,
2005, to discuss our preliminary findings, and obtain feedback. In addition, EPA provided
official written comments on our draft report on April 15, 2005. We have included EPA's
response in its entirety as Appendix A.
Action Required
In accordance with EPA Manual 2750, as the action official, you are required to provide this
office with a written response to this report within 90 calendar days of the final report date.
Your response should address all recommendations and must include your concurrence or
nonconcurrence with all recommendations. For corrective actions planned but not completed by
the response date, please describe the actions that are ongoing and provide a timetable for
completion. If you do not concur with a recommendation, please provide alternative actions
addressing the findings reported. For your convenience, this report will be available at
http://www.epa.gov/oiE/
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If you or your staff have any questions regarding this report, please contact Kwai Chan at (202)
566-0827 or Carolyn Copper at (202) 566-0829.
Nikki L. Tinsley
le U
cc: Linda Garczynski, National Program Director, Office of Brownfields Cleanup and
Redevelopment
Thomas V. Skinner, Acting Assistant Administrator for Enforcement and Compliance
Assurance
Stephanie Daigle, Acting Associate Administrator for Office of Policy, Economics, and
Innovation
Kimberly T. Nelson, Assistant Administrator for Office of Environmental Information
Mike Ryan, Deputy Chief Financial Officer
Desi Crouther, Acting Deputy Director, Office of Brownfields Cleanup and
Redevelopment
Johnsie Webster, Audit Followup Coordinator, Office of Solid Waste and Emergency
Response
Greg Marion, Audit Followup Coordinator, Office of Enforcement and Compliance
Assurance
Pat Gilchriest, Audit Followup Coordinator, Office of the Administrator
Bobbie Trent, Audit Followup Coordinator, Office of Environmental Information
Krista Mainess, Audit Followup Coordinator, Office of the Chief Financial Officer
Kwai Chan, Assistant Inspector Genera! for Program Evaluation, Office of Inspector
General
Eileen McMahon, Assistant Inspector General for Congressional and Public Liaison,
Office of Inspector General
Elizabeth Grossman, Deputy Assistant Inspector General for Program Evaluation, Office
of Inspector General
Carolyn Copper, Director, Office of Program Evaluation, Office of Inspector General
Chad Kincheloe, Project Manager, Office of Program Evaluation, Office of Inspector
General
Steve Textoris, Operations Research Analyst, Office of Program Evaluation, Office of
Inspector General
Katie Beam, Program Analyst, Office of Program Evaluation, Office of Inspector General
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Table of Contents
At a Glance
1 Introduction.
Purpose
Background
Scope and Methodology.
1
1
2
2 Answers to Five Questions
Question 1: What are the type, distribution, and function of all Brownfields FTE in headquarters
and regional offices, including howtime is charged and tracked? 6
Question 2: What is the complete budget breakdown for all Brownfields functions for EPA
headquarters and regional offices? 8
Question 3: What are the grant and contract management and oversight responsibilities for
EPA headquarters and regional offices, including associated workload? 9
Question 4 What are the number and type of annual Brownfields conferences and
meetings held, including FTE usage, attendance, and responsibilities? 11
Question 5: What is the workload model utilized by the Brownfields program, including the
parameters used, the origin of the parameters, and how the workload model is
used for budgeting and allocation functions? 13
3 Obstacles Impact EPA's Ability to Effectively Manage Brownfields Resources.. 14
Brownfields Costs Are Not Consistently Defined and Tracked
Brownfields Staff Resources Are Not Efficiently Utilized or Accounted For.
Conclusions
Recommendations
Agency Comments and OIG Evaluation
14
15
18
18
19
4 EPA Should Evaluate Brownfields Conference and Meeting Outreach 20
EPA Could Reduce the Frequency of the Annual Brownfields Conference and
Other Conference Attendance
Conclusions
Recommendations
Agency Comments and OIG Evaluation
20
21
22
22
A Agency Response to Draft Evaluation Report
B Distribution
23
42
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Purpose
This evaluation was conducted in response to a July 30, 2004, congressional
request from the Chairman of the Subcommittee on Water Resources and
Environment, House Committee on Transportation and Infrastructure. The
congressional request asked that we address five specific questions related to the
Environmental Protection Agency's (EPA) use and management of Brownfields
resources. In addition, our overall objective was to identify any options to reduce
administrative costs. The specific questions were:
1. What are the type, distribution, and function of all Brownfields Full Time
Equivalent (FTE) (staff) in EPA headquarters and regional offices, including
how time is charged and tracked?
2. What is the complete budget breakdown for all Brownfields functions for
EPA headquarters and regional offices?
3. What are the grant and contract management and oversight responsibilities for
EPA headquarters and regional offices, including associated workload?
4. What are the number and type of annual Brownfields conferences and
meetings held, including FTE usage, attendance, and responsibilities?
5. What is the workload model utilized by the Brownfields program, including
the parameters used, the origin of the parameters, and how the workload
model is used for budgeting and allocation functions?
Background
The Small Business Liability Relief and Brownfields Revitalization Act was
signed in 2002. The Act created a new environmental program that fosters
Brownfields redevelopment, and authorized Congress to appropriate up to
$250 million per year through Fiscal Year (FY) 2006 to implement the new
program. Congress also changed the definition of Brownfields to "real property,
the expansion, redevelopment, or reuse of which may be complicated by the
presence or potential presence of a hazardous substance, pollutant, or
contaminant." There are an estimated 450,000 to 1 million Brownfields sites in
the United States.
EPA's Office of Brownfields Cleanup and Redevelopment (OBCR), within the
Office of Solid Waste and Emergency Response (OSWER), is the lead office for
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implementing and managing the Brownfields program, including the grant
selection and competition process for grants. During FY 2003 and 2004, EPA
awarded 272 assessment grants, 161 cleanup grants, and 46 revolving loan fund
grants, totaling more than $148 million. Also, EPA awarded $4.4 million in job
training grants and about $100 million in assistance to States and tribes.
Scope and Methodology
We conducted our evaluation from October 2004 to February 2005 and generally
complied with Government Auditing Standards, issued by the Comptroller
General of the United States (limitations are explained below).
Our general approach for answering the five questions was to request information
from EPA for Fiscal Years 2003 and 2004. To address the overall objective, we
attempted to identify benchmarks, or relevant points of comparison, to compare
the EPA Brownfields program on factors, including administrative costs to
implement and run a Brownfields program or similar grant program, conference
attendance, and Brownfields grant workload. We interviewed officials in the
Department of Housing and Urban Development regarding its Federal
Brownfields program for possible comparison against EPA's Brownfields
program, but were unable to use this program as a point of comparison because
the program receives very little administrative resources and, with a staff of only
two, has limited workload.
We also considered comparing EPA's Brownfields program to other Federal
competitive grant programs (Brownfields and non-Brownfields) that the Office of
Management and Budget has rated as effective, moderately effective, or adequate
as a result of a Program Assessment Rating Tool review. Also, we tried to
identify other EPA programs to use as benchmarks or points of comparison.
However, we were unable to identify another Federal competitive grant program
or similar EPA program that would have provided useful comparison.
We used information from six State Brownfields programs (Massachusetts,
Michigan, New Jersey, Ohio, Pennsylvania, and Wisconsin) to benchmark a
definition of Brownfields administrative costs. All six States we spoke to
identified personnel costs (payroll and benefits) as components of their
administrative costs. The States also identified travel, supplies, operating costs,
legal costs, and outreach costs as administrative. We based our selection of States
on a recommendation from the EPA Brownfields Program Director and a report
by the National Association of Local Government Environmental Professionals
that characterizes effective State Brownfields programs.
The Brownfields Environmental Programs and Management (EPM) appropriation
funds activities that are most similar to the administrative activities States
identified. EPM resources are allocated for costs associated with the
implementation of the Brownfields program, including payroll and benefits,
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travel. Working Capital Fund services, contracts, outreach support, data system
and Web site management, grants, and other expenses (supplies, printing costs,
equipment, rent, and utilities). The EPM appropriation also provides funding for
some programmatic costs, such as programmatic contracts, grants and Working
Capital Fund services.1 Because some programmatic costs could not be separated
from administrative costs, we evaluated all activities funded by the Brownfields
EPM appropriation to identify options for costs savings.
Since we could not identify any benchmarks of administrative costs for
comparison with EPA's Brownfields program, we evaluated how the program has
managed and made use of its administrative resources. In addition, we considered
the program's needs for certain administrative activities that we were specifically
asked about (e.g., conferences) based on how the program has evolved and
progressed since the Brownfields Act was signed in 2002. Specific steps we
followed to answer each of the five questions are detailed below.
For Question 1, we asked OBCR to provide a list of Brownfields staff, including
the type, function, and distribution of FTE data for all offices that received
Brownfields resources. Information related to FTE allocation, type, distribution,
and utilization was compiled and provided by OBCR and Office of the Chief
Financial Officer (OCFO) and does not necessarily reflect all staff. Time
charging and tracking information was obtained from OBCR.
For Question 2, we relied on data provided by OCFO and OBCR. OCFO
provided data from EPA's Budget Automation System for the Agency's Enacted
Operating Plan (the detailed budget approved by congressional appropriation
committees each year). OCFO also provided obligations from EPA's Integrated
Financial Management System for all offices that received resources in the
Enacted Operating Plan (budget). OBCR provided data for the State and Tribal
Assistance Grants (STAG) resources (Brownfields grant resources) obligated each
year.
For Question 3, we used information provided by OBCR and EPA's Integrated
Grant Management System. We also used OCFO payroll charging data for
FY 2003 and 2004 to identify which appropriation funded the payroll for non-
Brownfields EPA staff who manage Brownfields grants but who did not charge
their time to Brownfields. We discussed contract information \vith OBCR during
fieldwork and agreed that due to the resources required to provide detailed
information about all the contracts it managed in FY 2003 and 2004, a general
description of contracts would be acceptable. For this question, we focused on
1 OSWER could not provide us with information on costs associated with all programmatic functions (e.g.,
personnel costs) because this information is not tracked. Early in our fieldwork, we informed the Agency that we
were defining administrative costs of the Brownfields program as all costs funded by the EPM appropriation. We
asked the Agency several times to define and provide data on the administrative costs of the Brownfields program,
but this was not provided to us.
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program contracts, which accounted for a large portion of overall contract dollars
obligated (53% of contracts in FY 2003 and 98% in FY 2004).
For Question 4, we asked EPA to provide a list of EPA-supported Brownfields
conferences, non-EPA-supported Brownfields conferences, and EPA-supported
grants workshops and meetings, along with staff involved in the events and their
responsibilities as planners, presenters, and/or attendees. Due to variations in the
data received from EPA, we grouped the data in the form of EPA Brownfields-
sponsored, other EPA-sponsored, and non-EPA-sponsored. Staff responsibilities
were identified as attendee, participant, speaker, presenter, and more than one
responsibility, or were not identified. The information provided included
Brownfields and some non-Brownfields staff.
For Question 5, we obtained and analyzed the Region 10 FY 2000 Brownfields
resources analysis, the FY 2003 regional staffing model, the FY 2005 regional
workload model (staffing model), the FY 2005 options analysis, and other
documents. We used this and other information to assess FTE resource
allocation, distribution, and utilization rates.
We obtained information about the Brownfields program, including internal
policy memos, guidance, and draft action plans, from EPA headquarters and
regional officials. We interviewed various people within EPA, including staff in
OSWER; OBCR; DEC A; OCFO; Office of the Administrator/Office of Policy,
Economics, and Innovation (OA/OPEI); and Office of Environmental Information
(OEI). We also interviewed regional staff in all 10 regions to obtain regional
perspectives of the Brownfields program.
In addition, we reviewed previous studies of the Brownfields program conducted
by the EPA Office of Inspector General (OIG), including "Substantial Progress
Made, But Further Actions Needed in Implementing Brownfields Program,"
(Report No. 2004-P-0020, issued June 21, 2004), and reports by EPA OIG and the
Government Accountability Office about EPA's grants management. Also, the
EPA OIG recently issued a report, "Brownfields Competition Process for
Awarding Grants Complied with Act" (Report No. 2005-P-00009, issued March
7, 2005).
Limitations
We generally complied with Government Auditing Standards, but with
limitations. We relied on the Integrated Financial Management System as the
primary system for obligation data. An EPA OIG report, "EPA Needs to Improve
Change Controls for Integrated Financial Management System" (Report No.
2004-P-00026, issued August 24,2004) found "a general breakdown of security
controls that could undermine the integrity of Integrated Financial Management
System software libraries and financial system data." We also relied on the
Integrated Grant Management System for grant data, and the Government
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Accountability Office found inaccuracies in that system and recommended that
EPA comprehensively review it to ensure the accuracy of the information in the
system ("Grants Management: EPA Needs to Strengthen Efforts to Provide the
Public with Complete and Accurate Information on Grant Opportunities,"
February 3,2005). Also, we did not test internal controls, conducted limited work
regarding fraud, and used Agency data without independent verification of the
data
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Following are discussions and answers to each of the five questions in the
congressional request.
To support the Brownfields program, the type (title), distribution, and work
function of FTE vary, reflecting the function of OBCR, the regions, and the
following offices that support Brownfields: OECA, OEI, and OA/OPEI.
In FY 2003, the Agency allocated 127 FTE to the Brownfields program, including
89.2 to EPA regions and 37.8 to EPA Headquarters (22 to OBCR; 1 to the Office
of Underground Storage Tanks (OUST); 5 to OECA; 5.8 to OA/OPEI; and .2 to
OEI) and 3.8 FTE to Enabling Support Programs (ESPs).2 Table 2-1 shows the
distribution of staff by their title and location and estimated FTE for FY 2003.
OBCR provided data on 227 staff that charged their time toward 123.2 FTE.
Table 2-1: Brownfields FTE Type/Title, Distribution and Estimated FTE* for FY 2003
ISItlPi;! ^^^^^^^^^^^^ffl^^^^^
Director/ Oeputy:Dtrecfor7BranehChi«f :
Attorney / Legal Advisor :
Workforce Strategist ;
Program Analyst
Environmental Protection Specialist/ Program
Specialist /Scientist /Engineer :
Information Technology Specialist :
Quality Assurance Coordinator . . ;
Office Manager /Admin Assistant/Clerk
PuWic Affairs Specialist
Chemist '; : : : :
Other (Contract Specialist Economist.
lexicologist. Information Officer; Geologist etc.)
:':'''t':-'':":-''' -'^P1FiSt_''''' '':'' ' '
x'^vi'x^iv?^'.*:"??/:^ ; ':: '
2.24
0.95
:1.12
10.28
13.31
1.09
!
1.62 '.'
1.30
1.03
8Z18
0.11
: o.os
2.94
0.24 ;
2.06
2.65
i&JslsifiiJijS&M. x
::-:-::/::>-:::>:*:8!pT::i:;ri:;: >;;
||i|i|||ll f
3.86
2.25
1.12
11.31
95,49
0.11
.08 :
;4.03
0.24
2.06
2.65
* FTE estimates are based on utilization data and may not equal total FTE per office.
2 We did not evaluate the FTE that were allocated to ESPs because they were indirectly charged to Brownfields.
As part of the Agency's five-goal structure implemented in FY 2004, support programs (e.g., Office of General
Counsel and Office of Acquisition and Resources Management, among others) no longer have their own goals, but
instead are allocated to EPA's five goals. ESP charges are spread across EPA's five goals and periodically are
allocated back (e.g., to Brownfields) for financial statement purposes.
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Brownfields staff perform abroad range of roles and responsibilities to address
the workload in OBCR, the regions, and other EPA offices. Brownfields staff
perform: supervision; review of competing grant applications and proposals;
contract management; budget coordination, oversight, management and analysis;
project coordination and management; grants management (Project Officer); legal
counsel; program and policy development and implementation; environmental
justice support, community involvement; analytical services support;
administrative support; quality assurance reviews; and information technology
support, among others.
OBCR is the lead office for managing the Brownfields program, and is
responsible for:
Developing all Brownfields-related policy;
Overseeing the grant selection and award process;
Coordinating with other agencies on their redevelopment programs;
Serving as a liaison with States and other EPA offices;
Serving as the primary Agency co-sponsor of the annual Brownfields
conference;
Overseeing the OSWER Brownfields budget, including distribution of funds
to the 10 regional offices; and
* Managing training, research, and technical assistance grants provided to
nonprofit entities for all socio-economic Brownfields research.
Each region reviews and ranks grant applications for assessment, cleanup, and
revolving loan fund for its own region and as part of the nationwide grant
selection and competition process. Regions also review and rank applications for
job training grants. In addition, Brownfields staff in the regions manage
Brownfields grants and provide technical support and outreach to grant recipients,
communities, States, and tribes.
OECA (as well as the Office of General Counsel) staff implement Brownfields
enforcement provisions, and consult with Brownfields program staff on grant
eligibility issues. In addition, OECA staff develop Brownfields policy actions,
provide regional support, and participate in drafting guidance documents. OPEI
staff assist with smart growth redevelopment, and manage projects and grants.
OEI staff provide regional technical support for the development of automated
data processing systems.
Brownfields program staff followed the Agency's policies and procedures for
time and attendance. For each pay period, OBCR staff at headquarters and the
regions submitted a timesheet to a timekeeper and supervisor. EPA uses the
Employee Personnel and Payroll System and the Combined Payroll Redistribution
and Reporting System to document time and attendance. EPA tracks time
charged to the OBCR account using the Budget Automation System, Management
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and Accounting Reporting System (MARS), and Combined Payroll
Redistribution and Reporting System. Acquisition and Resources Management
Support reviewed the payroll reports for OBCR to track and manage time charged
to the OBCR Brownfields account.
EPA's Brownfields budget included resources from two appropriations: the EPM
appropriation and the STAG appropriation. EPM resources (referred to as
administrative resources) fund 1he costs of implementing the program and STAG
resources (referred to as grant resources) fund targeted Brownfields assessments
and grants to eligible entities for Brownfields activities. EPA budgeted a total of
$166.6 million in FY 2003 and $167.6 million in FY 2004.
EPM resources (administrative resources) were allocated to EPA offices to cover
program implementation costs, including:
Payroll and benefits;
Travel;
Working Capital Fund services;
Contracts (communications and outreach support, including the annual
Brownfields conference);
Grants (awarded for surveys, studies, research and development, and the
Senior Environmental Employment program); and
Other expenses (supplies, printing costs, equipment, rent, and utilities).
In FY 2003, OSWER, OECA, OA/OPEI, OEI, OCFO, Office of Administration
and Resources Management (OARM), and Office of General Counsel (OGC)
received Brownfields administrative resources. In FY 2004, OSWER, OECA,
OA/OPEI, and OEI received Brownfields administrative resources.3 OBCR and
regions distributed grant resources. Tables 2-2 and 2-3 show administrative and
grant resources budgeted and obligated by headquarters and regional offices in
FY 2003 and 2004.
Table 2-2: FY 2003 Brownflelds Budget and Obligations
Headquarters
Regions
Totals
$17,411,500
$9^11.500
$27,023,000
$12,951.163
:$8,719,987
$21,671,150
:: $9,240;913
$130,355,887
$139,596,800
$6,335,767;
$125,949.539;
$132,285,308
3 In FY 2004, as a result of the Agency's change to a five-goal structure and the creation of ESPs, OCFO,
OARM, and OGC did not charge directly to the Brownfields program.
8
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Table 2-3: FY2004 Brownlfetds Budget and Obligations
FY3B04
Headquarters
Regions
Totals
Budgel
$15,206,400
:$9,732,100
$24,938,500
$8,536,303
$9,943,581
$18,479,884
Gttftt
$10,480,414
$132,166i1S6
$142,649,600
$5,105,026
$123,813,750
$128,918,776
During FY 2003, headquarters and regions obligated 95 percent ($132.3 million)
of grant resources and 80 percent ($21.6 million) of administrative resources
budgeted. During FY 2004, these offices obligated 90 percent ($128.9 million) of
grant resources and 74 percent ($18.4 million) of administrative resources
budgeted.
Grant Management Responsibilities and Workload
Both OBCR and regions manage and oversee Brownfields grants. These offices
work with EPA's Grants Management Office to approve, award, and manage
grants. For Brownfields grants, OSWER ensures grants meet scientific, technical,
and programmatic requirements. The Grants Management Office is responsible
for cradle-to-grave administration of grants. We did not examine whether
headquarters or regional officials fulfill all grant management responsibilities or
whether grant management is of sufficient quality.
The Project Officer plays a key role in ensuring the proper expenditure of grant
funds and is designated in the assistance agreement as the program contact with
the recipient. Also, the Project Officer is responsible for ensuring the
Brownfields grant meets scientific, technical, and programmatic requirements.
The Grants Specialist is EPA's administrative contact with the grant recipient and
provides administrative guidance and direction.
Workloads vary across offices. OBCR manages training, research, and technical
assistance grants, which are provided to non-profit entities for all socio-economic
research related to Brownfields. The 1 0 regions manage assessment, cleanup and
revolving loan fund grants, job training, and the State and Tribal Response
Program grants. Table 2-4 shows the number of active Brownfields grants
managed by office.
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Table 2-4: Workload Associated wtth Active Brownfields Grants (from 2/03 to 1/05)
OBCR
Region 1
Region?
Regions
Region 4
Regions
Region 6
Region?
Regions
Region 9
Region 10
Total
12
7
10
1.1
17
t1
108
.21
91
43
35
47
119
36
32
50
79
50
603
1,8:
10.1
6.1
3.9
4.7
17.0
2.9
6.3
4.6
4.5
We could not evaluate the significance of headquarters and regional differences in
grants managed per Project Officer. There is no indicator, baseline, or standard
for the number of grants that could be managed per Project Officer in the
Brownfields program or any other EPA competitive grant program. Currently,
EPA is analyzing the grants management workload to determine the most
efficient use of existing resources.
Some regional Brownfields staff are concerned about the Brownfields program
workload. We reported in 2004 that EPA was resource constrained and
"overwhelmed" when implementing the Brownfields program in 2003.4 During
this review, we interviewed staff from all 10 regions, and staff in 4 of the regions
expressed concerns about the workload and doing all the tasks that are necessary
or required. When asked how the region would employ additional staff, 5 of the
10 regions indicated they would perform more grant management activities and/or
do a better job managing grants. One region reported that it cannot ensure that
grantees are in compliance because its staff cannot meet with grantees or tribes
(i.e., perform site visits).
We also reported in 2004 that the work required to select grantees and award
grants reduced EPA's ability to oversee existing Brownfields projects and that
OBCR had reduced the two-step application process to a single-step application
for FY 2004. While we did not assess the impact of the application review
process on grants management responsibilities, some regions indicated that the
review process is still time-consuming. In one region, staff stated they "spend
100 percent of their time on the competition process for 3-4 months a year to the
detriment of grants management." OBCR explained that in an effort to reduce the
4 EPA OIG Report No. 2004-P-0020, Substantial Progress Made, But Further Actions Needed in Implementing
Brownfields Program, June 21,2004.
10
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workload involved with reviewing grant applications, it worked with regions to
streamline the process in FY 2005.
Contract Management Responsibilities and Workload
OBCR Project Officers and Work Assignment Managers follow the procedures
for contract management and oversight outlined in the Agency's Contract
Management Manual. OBCR typically prepares the annual funding package,
which includes a procurement request, in early August. In addition, Project
Officers and Work Assignment Managers evaluate work plans; monitor contractor
performance by reviewing progress reports; and track, inspect, and accept or
reject contractor deliverables. OBCR stated that if a product is not adequate, it
reassesses the work assignment or sends the product back for additional work.
Almost all OBCR contracts are "best effort contracts," meaning if the product is
delivered on time and as described in the contract, then the work is accepted.
OBCR manages several contracts for EPA's Brownfields program. These
contracts support communication and outreach efforts, the grant application
process, records management, Web site development, and training contractor
support. Regions manage Interagency Agreements with the U.S. Army Corps of
Engineers and other contractors who perform targeted Brownfields assessments.
, *t&m
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Table 2-5: EPA Brownflelds-Sponsored Meetings and Conferences*
Ho, of Agency «&. of Meetings ait* No,
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To determine where Brownfields FTE should be placed, EPA prepared a regional
workload model (regional staffing model) for FY 2003 - the first year of the
program's national authorization. EPA used the regional staffing model to
distribute FTE to the regions only, because the staffing model does not include a
plan to distribute FTE to headquarters offices (OBCR, OECA, OA/OPEI, OEI).
The distribution of FTE to EPA headquarters offices is based on historical
allocations.
The FY 2003 regional staffing model was based on a FY 2000 Brownfields
staffing plan. This plan was developed to address the needs of the Brownfields
pilot program, beginning with a core of FTE that was increased based on
presumed complexities, such as number and types of grants, tasks, and functions
associated with activity factors. The resource plan identified 30 tasks and core
activities considered necessary to run the Brownfields program, and estimated a
range of FTE necessary to complete each of the 30 tasks. The activity factors
included: 1) the number of assessment and job training pilots per region, 2) the
number of revolving loan fund pilots per region, 3) the number of States and
territories per region, and 4) the number of (proposed) targeted Brownfields
assessments per region.
In response to a recommendation in our 2004 report to evaluate workload and
FTE distribution, EPA developed a FY 2005 regional staffing model and FY 2005
options analysis. According to OBCR, activity factors were updated to reflect the
number of grants awarded through FY 2003, including the number of cleanup
grants awarded, the number of revolving loan fund grants and the number of grant
applications received in FY 2004.
While OBCR's updates to its Brownfields staffing plan are good progress,
additional updates are needed. EPA has not updated the core activities, including
the 30 tasks, with new staff responsibilities, such as additional State and tribal
outreach efforts, and new Agency policies related to ongoing grant management
activities. For example, EPA developed a comprehensive post-award
management policy effective in January 2003, including requirements for pre-
award assistance to grantees and performance of baseline monitoring, which has
not been factored into the regional staffing model.
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EPA's management of Brownfields program resources is challenged by policies
and organizational impediments. The authority for Brownfields resources is
dispersed across numerous headquarters and regional offices, impeding close
alignment and oversight. As a result, EPA does not consistently define and track
Brownfields costs, and staff resources can not be accounted for and efficiently
utilized. Specific impacts include: (1) EPA does not know what its administrative
costs are, as the responsible offices do not track costs according to an agreed-upon
definition of administrative costs; (2) not all FY 2003 administrative resources
could be explained; (3) EPA financial managers and Brownfields program
managers report different costs for some Brownfields contracts; (4) EPA uses an
incomplete and outdated staffing model to allocate Brownfields resources; (5)
EPA offices do not efficiently utilize staff resources; and (6) EPA does not
account for the program work of non-Brownfields staff. The obstacles we
identified prevent EPA from adequately accounting for Brownfields resources and
effectively managing the Brownfields program for performance.
Brownfields Costs Are Not Consistently Defined and Tracked
EPA offices use different definitions of Brownfields administrative costs,
preventing the Agency from accurately identifying and accounting for its
administrative costs. OCFO, which manages the Agency's accounting system,
defines administrative costs differently than OBCR. OCFO includes all payroll
costs as administrative, regardless of whether the activity is purely administrative
or not. Contrary to their assertions, OBCR does not define administrative costs -
specifically personnel costs - consistently with Agency policy. OBCR has stated
repeatedly that while it follows Agency-wide practice and adheres to the
Agency's definition of administrative costs, it considers Brownfields regional
staff costs to be programmatic costs; therefore, OBCR does not follow Agency
policy regarding administrative costs. The lack of an agreed-upon definition of
administrative costs prevents EPA from identifying and analyzing these costs.
EPA does not track Brownfields administrative and programmatic payroll costs
separately, which prevents the Agency from identifying these costs and
effectively managing them. Although OCFO stated that there are systems
available to track payroll costs according to administrative and programmatic
costs, neither OSWER, the primary program management office for Brownfields,
not OCFO track these costs separately. Payroll costs accounted for 49 percent of
total administrative costs in FY 2003 and increased to 64 percent of total
administrative costs in FY 2004.
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In our analysis of Brownfields administrative and programmatic costs, we
reviewed allocated resources for FY 2003 and 2004. We were unable to fully
describe the FY 2003 Brownfields resources because it is unclear how $310,030
in FY 2003 Brownfields administrative resources was used.5 OCFO explained
that the $310,030 was reprogrammed out of the Brownfields sub-objective.
Although we asked for clarification and data on several occasions, clear and
sufficient evidence to support this explanation was not provided to us.
In addition, OCFO and OBCR reported different costs for program contracts
obligated in FY 2004 (program contracts accounted for 98% of all contracts
obligated that year). OBCR provided information to us it had pulled from EPA's
Management and Accounting Reporting System (MARS) and reported that it only
spent $1,464,400 on program contracts in FY 2004. However, OCFO's data from
EPA's Integrated Financial Management System showed that OBCR had
obligated $4,759,640 on program contracts. OBCR did not agree with OCFO's
data until OSWER provided official comments on our draft report. This lack of
alignment and agreement among the EPA offices responsible for managing
Brownfields resources is an obstacle to managing the program for performance
and accountability.
Brownfields Staff Resources Are Not Efficiently Utilized or
Accounted For
EPA's management tools and dispersion of authority for Brownfields prevent the
Agency from effectively allocating, utilizing, and accounting for staff resources.
EPA's regional staffing model is based on outdated assumptions, and there is no
model for distributing resources to EPA headquarters. Some Brownfields staff
resources are underutilized while others are overutilized. In addition, work
conducted by dedicated Brownfields staff does not fully account for all work on
the program. The inability to fully account for staff costs and needs presents
obstacles to managing the Brownfields program for performance and results.
Staffing Model Is Not Effective
EPA's current regional staffing model is based on FY 2000 Brownfields workload
assumptions, and there is no model for the distribution of FTE to EPA
headquarters offices. While the Brownfields workload has evolved since FY
2000, the regional staffing model does not reflect current tasks, workload
conditions, and other parameters. Based on a conservative workload identified by
OBCR, the change in FTE - using current workload assumptions - could range
from 17 percent fewer staff (1.7 staff) to 22 percent more staff (2.7 staff) in
specific regions. Because some regions have few FTE, for example Region 10 is
allocated 6.3 FTE, a change in 2 or 3 FTE could be significant. In addition, while
EPA headquarters accounts for about 30 percent of all Brownfields FTE, these
5 EPA carried over $5,351,850 in F Y 2003 administrative resources and in F Y 2004, EPA obligated all of the
carryover except for $310,030.
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FTE are distributed according to historical allocations instead of using a staffing
model.
The utilization rates of all staff working on and/or charging time to Brownfields is
an indicator of the effectiveness of FTE distribution. Where the utilization rate is
below 100 percent, existing FTE capacity is not being used. Where the utilization
rate is above 100 percent, the region has exceeded its distributed FTE capacity.
Under the current workload model, utilization rates varied across regions:
In FY 2003,2 of the 10 regions exceeded their FTE allocation. For
example Region 3 used 21 percent more staff than allocated.
In FY 2004,5 of the 10 regions exceeded their FTE allocations. For
example, Region 9 used 10 percent more staff than allocated.
Also, some regions did not use all the FTE they were allocated. In FY 2003,
Region 4 used 35 percent less than its allocated staff, and in FY 2004, Region 4
used 18 percent less than its allocated staff. As shown in Table 3-1 below, FTE
utilization by OECA, OEI and OA/OPEI was below what was allocated.
Table 3-1: Other EPA Offices' Allocation and Utilization of FTE for FY 2003-2004
OECA-HQ
1.0.
0.6
60.0%
0.6
60.0%
QECA-Regions
4.0
0.5
12.5%
22
55.0%
OEt-Regions
0.2
50.0%
O.Q
0.0%
OA/5PEI-HQ
S.8
4.2
72,4%
5.0
86.2%
Total
11.0
M
49.0%
7.8
70,9%
According to OSWER, the Brownfields program could not make full use of the
new statutory opportunities for hiring additional personnel until funds became
available thereby affecting utilization of FTE.6
OSWER indicated that during the first year of the program, EPA operated at FY 2002 funding and FTE levels
until May 2003, when F Y 2003 funding became available. OSWER stated that due to the delay in funding, the
Brownfields Program could not fully use its resources inFY 2003.
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Program Work of Brownfields and Non-Brownfields Staff Is Not Accurately
Accounted For
OA/OPE1 did not charge the salaries of some of their Brownfields staff to
Brownfields accounts during FY 2003 and 2004. This could compromise
management's ability to determine the overall level of effort applied to the
program and make informed changes in how these resources are managed. It is
unclear whether the coding errors that caused this situation would have been
identified if it were not for our evaluation because there is not close alignment or
agreement among offices with responsibility for Brownfields resources. In this
case, we were serving to marshal and align the information from multiple EPA
offices and, therefore, uncovered the problem.
Also, EPA headquarters and regional offices indicated that time charged by
Brownfields staff does not accurately reflect all work being done to implement the
program. OCFO and OBCR were unable to account for all staff doing work for
the Brownfields program. From interviews in the regions, we learned that staff
from other EPA programs, and another federal agency, worked on Brownfields,
but did not charge their time to the program. This included staff from the
following EPA offices and one federal agency:
Office of the Administrator
Office of Underground S torage Tanks
* Office of Water
Office of Superfund Remediation and Technology Innovation
Resource Conservation and Recovery Act
Agency for Toxic Substances and Disease Registry
Assistance from these offices and agency included reviewing grant applications,
workplans, site evaluations and assessments, as well as efforts related to
environmental justice and community relations.
In addition, other EPA staff assisted with the management of Brownfields grants.
Twenty-four percent (26 of 108) of Brownfields Project Officers were not
Brownfields staff and did not charge their time to Brownfields in either FY 2003
or 2004. These Project Officers manage 30 percent (181 of 603) of all active
Brownfields grants. OCFO was unable to identify all the programs to which the
26 staff charged their time. Eight staff charged all their time to Superfund, three
staff charged all or some time to Leaking Underground Storage Tanks, and other
staff charged to the Resource Conservation and Recovery Act, Water, or the
Office of the Administrator.
We are concerned about the program work non-Brownfields staff perform
because: (1) OBCR stated that the main function of Brownfields regional staff is
to manage grants; and (2) we observed that in every region with non-Brownfields
staff functioning as Brownfields Project Officers, there are Brownfields staff that
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are not Project Officers.7 OBCR stated that Project Officer duties have been
assigned to other personnel because the grants managed by each region continue
to increase while the Brownfields workforce has remained static. Because the
program work performed by non-Brownfields staff is not accounted for (staff do
not charge Brownfields), management is unable to accurately determine the
overall level of effort applied to the program and identify staffing needs.
Conclusions
In a complex program like Brownfields, close alignment of offices that support
the program, and produce cost and performance data, could help EPA manage the
program more effectively. Headquarters and regional offices either follow
different policies and procedures or implement rules inconsistently, which is an
obstacle to managing the program for performance and achieving the
environmental goals and results Brownfields resources are provided for. The
inability to fully account for staff resources limits EPA's ability to accurately
account for Brownfields program costs, while the use of non-Brownfields staff to
support the program and over or underutilization of staff suggests challenges with
staff resource management or estimation of staffing needs. With better alignment,
Brownfields program and financial managers marshal information to accurately
account for program costs, select alternative actions to achieve program goals,
and establish a measurement system to determine whether the program is
achieving its goal and spending resources efficiently.
Recommendations
We recommend that the Deputy Assistant Administrator for OSWER, with
assistance from other accountable Assistant Administrators, as appropriate:
3-1 More closely align themselves in support of an accountable entity to
effectively distribute, manage, account for, and optimize Brownfields
resources, consistent with program needs and goals.
3-2 Define the costs associated with Brownfields administrative and
programmatic payroll functions, and establish a system that would
allow identification and tracking of these costs, as a first step to
effectively managing these costs.
3-3 Provide supporting data and documentation that clearly shows that the
$310,030 in FY 2003 administrative resources was used on
Brownfields activities by the end of FY 2004.
We did not determine why some regional Brownfields staff are not certified Project Officers and managing
these Brownfields grants.
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3-4 Revise the regional staffing model parameters to support current
workload and associated tasks, develop a workload model for
allocation of Brownfields headquarters staff, and develop and
communicate a clear and consistent schedule for regularly updating the
workload models.
3-5 Evaluate regional Brownfields staff that are not Project Officers to
determine how many of these staff should become certified. Complete
appropriate certifications.
Agency Comments and OIG Evaluation
The Agency did not address all our findings and recommendations and disagreed
with our analysis in several cases. EPA did not provide clarification and data to
support their positions on our analysis. The Agency's complete response and our
evaluation of that response are included in Appendix A. We made changes to the
report as appropriate.
Our draft report contained a recommendation to evaluate unused Brownfields
administrative resources on an annual basis to (1) redirect or reprogram them for
obligation on an appropriate Brownfields activity, or (2) reduce the Brownfields
administrative budget based on the amount not used each fiscal year. OSWER
stated that it currently examines resources in the EPM account and performs
reprogrammings as necessary throughout each fiscal year and expressed concerns
that our draft report did not reflect the nature of EPM funding as two-year funding
which allows funds from one year to carry over for use in the second year. We
have revised the report to reflect this and encourage EPA to continue to monitor
the use of Brownfields administrative resources on an annual basis to ensure
carryover funds are used for Brownfields activities and within the two-year time
period. However, because OSWER did not provide clear or sufficient evidence to
demonstrate that $310,030 of FY 2003 administrative funds were obligated on
Brownfields activities by the end of FY 2004, we recommend that OSWER
clarify how these funds were used.
We revised a recommendation to evaluate the sufficiency of staffing and FTE
levels at regional, headquarters, and other EPA offices, and develop and
communicate a clear and consistent schedule for regularly evaluating a new
workload model.
In our draft report, we recommended that OSWER evaluate the appropriateness of
other EPA staff functioning as Project Officers for Brownfields grants and
determine if additional staff should become certified Project Officers. We revised
the recommendation to be more specific.
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EPA has not determined the appropriate resources to devote to Brownfields
conferences and meetings. Each year, EPA devotes significant financial and
personnel resources - not all of which are tracked separately - to Brownfields
outreach, without establishing the return on investment. By holding the annual
Brownfields conference every other year and attending fewer meetings and
conferences, EPA could potentially save $2.7 million every other year and avoid
lost staff time working on the conference.
EPA Could Reduce the Frequency of the Annual Brownfields
Conference and Other Conference Attendance
EPA could potentially save $2.7 million every 2 years by holding the Brownfields
conference only every other year. OBCR budgeted $2.6 million in FY 2003 and
$2.7 million in FY 2004 in contracts for the annual Brownfields conference.
The annual Brownfields conference, as well as other conferences and meetings,
addresses one of the four primary goals of the Brownfields program. The four
main goals that EPA Brownfields program provides financial and technical
assistance for are:
Protecting the environment by addressing Brownfields to ensure the health
and well-being of America's people and environment;
Promoting partnerships by enhancing collaboration and communication
essential to facilitate Brownfields cleanup and reuse;
Strengthening the marketplace by providing financial and technical
assistance to bolster the private market; and
Sustaining reuse by redeveloping Brownfields to enhance a community's
long-term quality of life.
We believe the Brownfields conference primarily meets the second goal. EPA
co-sponsors the annual Brownfields conference and described the 2004
conference as a leading educational and networking event, focused entirely on
Brownfields. The final evaluation report on the Brownfields 2003 conference
identified that "by most accounts the conference was a success and participants
found the various events, educational opportunities, and networking to be
beneficial." This report also stated that past attendees mentioned "networking" in
some form as one of the greatest benefits to the conference.
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OBCR does not track the amount of time spent planning the Brownfields
conference, but we were told that planning for this event takes time away from
other work. The host region for the 2005 conference (Region 8) reported that
time would be spent planning the conference with no additional resources being
provided. The host region is responsible for all planning and coordinating efforts,
including the outreach and marketing efforts for all the regions and States, as well
as regional media and press efforts. With some regional staff already reporting
concerns with their workload, the additional task of planning the annual
Brownfields conference will add to the workload of the host region and delay
other work.
EPA could also reduce attendance at other conferences and meetings to reduce
administrative costs. Brownfields staff attend a wide variety of conferences and
meetings that are not mandated by the Brownfields Act. Of the remaining
conferences and meetings identified, there was wide variation in the type of
events and staff attendance at them. Based on data provided by the Agency,
attendance at nearly all of the conferences and meetings was fewer than 10
Agency personnel. OBCR stated that none of the conferences or meetings are
mandated, and that the Brownfields Act does not require EPA to conduct or attend
any meeting.
OBCR stated that EPA does not track travel and other costs for each individual
conference and meeting separately, so the financial and workload impacts of
outreach are unknown. OBCR stated that it believes that the Brownfields
program would hardly be successful without outreach and meetings. We agree
that outreach is important to facilitate awareness and participation in the program.
However, Brownfields program activities have been ongoing since 1995 when the
pilots began. It has been a showcase EPA program since its authorization in
2002, receiving support and attention from the President and EPA Administrators.
Evidence suggests that awareness of the program is already established. For
example, in FY 2004, the program received 756 Brownfields proposals requesting
funding; nearly three times the amount of proposals that were selected to receive
grants. In FY 2005, the program received 673 proposals requesting funding.
Conclusions
Though EPA has not determined the appropriate resources to devote to
Brownfields outreach, significant financial and personnel resources are expended
on conferences and meetings. Since outreach via meetings or conferences is not
mandated by the Brownfields Act, and because these efforts take staff time away
from doing other program work, we feel an analysis of these efforts offers the
potential to identify savings.
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Recommendations
We recommend that the Deputy Assistant Administrator for OSWER, with
assistance from other accountable Assistant Administrators, as appropriate:
4-1 Hold the annual EPA-sponsored Brownfields conference once every
two years rather than annually.
4-2 Develop a process to evaluate and prioritize each conference and
meeting and determine which conferences or meetings Brownfields
staff need to attend to implement the Brownfields program.
Agency Comments and OIG Evaluation
The Agency did not clearly agree or disagree with these recommendations, but
disagreed with parts of our analysis. However, OSWER did agree to conduct a
thorough cost-benefit analysis of the annual Brownfields conference. OSWER
stated that a Brownfields Program Priorities Memorandum is under development
that will require each region to evaluate and determine the best methods of
outreach in that region. OSWER stated that it will continue to stress the need for
EPA offices to look for strategies and cost effective opportunities with respect to
Brownfields staff attendance or participation in conferences and meetings.
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Appendix A
Agency Response to Draft Evaluation Report
MEMORANDUM
SUBJECT: Inspector General's Evaluation Report entitled Opportunities Exist to Improve
Management of Brownfields Administrative Resources. Assignment No. 2005-
00073.
FROM: Thomas P. Dunne,
Deputy Assistant Administrator
Office of Solid Waste and Emergency Response
TO: Kwai Chan
Assistant Inspector General for Program Evaluation
Office of the Inspector General
I am transmitting the Environmental Protection Agency's (EPA) response to the Office of
Inspector General's (OIG) Evaluation Report entitled Opportunities Exist to Improve
Management of Brownfields Administrative Resources. (Assignment No. 2005-00073.) The
OIG was asked to conduct this review in response to a congressional request to evaluate the
administrative and program costs being used to carry out the Brownfields program and identify
options to reduce administrative costs.
The Office of Solid Waste and Emergency Response (OSWER) has concerns with the
report's recommendations and conclusions. OSWER believes the OIG draft report does not take
into consideration the challenges presented in implementing the Small Business Liability Relief
and Brownfields Revitalization Act (the Brownfields law) in the first two years following its
passage. In addition, we feel strongly that OIG needs to recognize the constraints imposed by
the timing of the receipt of appropriations for the program. For example, the enactment of the
Brownfields Law on January 11, 2002, but did not carry with it Fiscal Year (FY) 2002 funding.
The changes created by the Brownfields Law resulted in a shift in the FY 2003 appropriations
from the Superfund account to the EPM account. In addition, the program was constrained by
operating under a Continuing Resolution for FY 2003. This meant that the program was
restricted to using Superfund appropriations at the same funding and FTE levels that had been
received in FY 2002. The program was not funded at the increased levels provided in the statute
using both Environmental Program & Management (EPM) and State and Tribal Assistance
Grants (STAG) funds until Congress passed an appropriations law for FY 2003 in February of
2003. And, an operating plan for the Agency was received in late May 2003.
Regional and Headquarters offices that had previously charged only Superfund
appropriations were required to put in place new accounts. In addition, to delay from funding
availability and the hiring and merit promotion procedures, the Brownfields program could not
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fully utilize the new FTE ceiling in the remaining months of FY 2003. Consequently, in its first
year, the Brownfields program could not make full use of the new statutory opportunities for
hiring additional personnel, process funding documents to provide additional contracts, or
engage in other technical work until the funds became available.
The draft OIG report does not take into account the nature of the EPM funding as two-
year funding which allows funds from one year to carry over for use in the second year. The
draft report makes recommendations regarding the "unused" carryover funds, and seems to
recommend returning to one-year funding for the Brownfields program. This would not be
consistent with the direction provided to EPA when Congress created the EPM account. For
example, the FTE ceiling for the Regions, changed from approximately 59 FTE to 102 FTE;
however, in accordance with the two-year funding available for EPM accounts, OBCR and the
Regions have the spending flexibility needed to use carryover funding in the following fiscal
year and address funding lags. OSWER in partnership with OCFO believes it now has in place
sufficient tools to ensure that implementation of all aspects of the Brownfields law and its
appropriations are used efficiently and effectively.
Finally, OSWER is concerned that the draft report repeatedly advises OBCR and
OSWER to exceed the scope of their respective authority and to adopt definitions and systems of
accounting that are outside of the Agency-wide systems, definitions and procedural norms. The
draft report equates "administrative costs" with funding in the EPM account. This is inaccurate
and not consistent with the definition of the EPM account provided to EPA in the 1996
Appropriations Conference Report. The Office of Chief Financial Officer (OCFO) provided
OIG with information on those FY2003 and FY2004 expenditures for the Brownfields Program
that meet the definition of administrative costs in the Agency's Funds Control Manual.
However, OSWER strongly believes that the majority of the HQ and regional FTE perform
programmatic functions such as conducting grant evaluation, competition, management,
outreach, tribal, and environmental justice activities. The Agency's Resources Management
Directives Manual requires that "obligations that cannot be segregated, justified, and directly
charged to a programmatic object class will still have to be charged to an administrative object
class. Thus, in transitioning from the Superfund account all PC&B and travel expenses for all
media and programs of the Agency, except Superfund, LUST, Oil Spills, and the OIG must be
paid for out of EPM. The Brownfields program is limited to either EPM or STAG
appropriations to carry out its program. The draft report does not distinguish our programmatic
activities from administrative costs and the entire EPM account.
The Agency's specific comments are arrayed under each of the seven recommendations
made. We have also added a separate listing of miscellaneous comments. Thank you for the
opportunity to review the OIG draft report. We hope the OIG will give serious consideration to
the comments presented.
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EPA - OSWER Responses to OIG Recommendations
OIG made seven recommendations. OSWER and other offices have specific concerns
with the findings, conclusions and recommendations.
Recommendation #1
OIG recommended the Deputy Assistant Administrator for OSWER "have greater control
over distributing Brawnfields resources based on program needs, and track, manage and
optimize Brawnfields administrative resources consistent with goals.
EPA Response: The draft OIG report appears to recommend that OSWER exercise
control over the distribution of all brownfields resources and track, manage, and optimize
Brownfields administrative resources. This is not consistent with how resources and programs
are managed across the Agency. OSWER feels strongly that the resources provided to other
offices further the goals of the Brownfields program.
For example, the work performed by the Office of Enforcement and Compliance
Assurance (OECA) as well as the Office of General Counsel (OGC) are highly necessary to the
implementation of the grants program and implementation of Subtitle B of the Brownfields law.
OECA, for example, is the primary EPA office responsible for implementing the Brownfields
Amendments that relate to enforcement, and provides a critical consultation role, pursuant to the
Delegation of Authority 14-45, to the Brownfield program on Brownfield grant eligibility issues.
OECA implements the many enforcement and liability related provisions of the Superfund
statute, including the Brownfields Amendments provisions related to, for example, the liability
of contiguous property owners and bona fide prospective purchasers, and the ability of EPA to
obtain a windfall lien at certain remediated sites.
The Brownfields Amendments also created a grants program that requires an assessment
of the enforcement activities, and the potential liability of applicants, at sites. The
Administrator's Delegation of Authority 14-45 requires that OECA headquarters staff and
regional enforcement personnel must be consulted with by the Brownfield program on the
Brownfield grant eligibility determinations. This consultation role provides OECA/Office of
Site Remediation Enforcement (OSRE) and the regional enforcement personnel a critical process
for ensuring that Brownfietd grant eligibility decisions, recommendations, and policy do not
negatively impact EPA Superfund enforcement authorities, policy and activities. Shifting the
responsibility for evaluating the sufficiency of, and managing the resources for, headquarters and
regional enforcement personnel out of OSRE, impedes the ability of OECA and the Regions to
meet these important requirements. In addition, it is unclear that such a shift would provide any
significant improvement to Brownfields administrative resources management
Finally, OSWER believes that the work done by the Office of Planning, Economics and
Innovation (OPEI) contributes greatly to the planning functions for smart growth redevelopment.
Initially, when management of the Policy Office's FTE and PC&B, including the Brownfields
resources was centralized in the Office of the Administrator, a number of problems were created
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including reduced utilization of OPEI's brownfields FTE in FY 2003 and FY 2004. (P16.) The
problem was a coding issue that was not caught and addressed until recently. The problem has
now been fixed. In FY 2005, the Agency is projecting almost full utilization of those FTE by
OPEI: 5.6325. The FY 2004 and FY 2005 data should not be interpreted as OPEI not valuing
and needing their Brownfields FTE, but rather a coding error that has been addressed. OBCR
and OPEI will continue to address coding issues on an on-going basis.
OIG Response:
OSWER did not clearly agree or disagree with this recommendation. We did, however, revise
our recommendation to recommend that the Deputy Assistant for OSWER, -with assistance from
other accountable Deputy Assistant Administrators, more closely align themselves to distribute,
manage, account for, and optimize Brownfields resources, consistent with program needs and
goals. OSWER stated it is inconsistent with Agency practice for OSWER to exercise control over
all Brownfields resources, but EPA does have the ability within its current organizational
structure to manage Brownfields resources differently. In a complex program like Brownfields,
close alignment of offices that support the program, and produce cost and performance data,
could help program and financial managers marshal information to accurately and consistently
account for program costs, select alternative actions to achieve program goals, and establish
feedback mechanisms to determine whether the program is achieving its goal and spending
resources efficiently.
We did not evaluate or report whether the Junctions performed by other offices were necessary.
Recommendation #2
OIG recommended that EPA define administrative costs of the Brownfields program and
establish an accounting system that would allow identification and tracking of Brownfields
administrative costs, including payroll and program contract expenses.
EPA Response; The draft report equates "administrative costs" with funding in the
Environmental Program & Management (EPM) account. This is inaccurate and not consistent
with the definition of the EPM account provided to EPA in the 1996 Appropriations Conference
Report. OCFO provided OIG with information on those FY2003 and FY2004 expenditures for
the Brownfields Program that meet the definition of administrative costs in the Agency's Funds
Control Manual. However, OSWER strongly believes that the majority of the HQ and regional
FTE perform programmatic functions such as conducting grant evaluation, competition,
management, outreach, tribal, and environmental justice activities. The Agency's Resources
Management Directives Manual requires that "obligations that cannot be segregated, justified,
and directly charged to a programmatic object class will still have to be charged to an
administrative object class. Thus, in transitioning from the Superfund account all PC&B and
travel expenses for all media and programs of the Agency, except Superfund, LUST, Oil Spills,
and the OIG must be paid for out of EPM. The Brownfields program is limited to either EPM or
STAG appropriations to carry out its program. The draft report does not distinguish our
programmatic activities from administrative costs and the entire EPM account.
Resources Management Directives, Administrative Control of Appropriated Funds, Chpt 4. I.I C.I and J.
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Congress initiated the appropriations account structure in the late 1990's that was
intended to allow EPA greater flexibility to manage its programs. Specifically, Congress
eliminated the Program & Research Operations account (which mainly funded administrative
expenses, salaries, etc.) and the Abatement, Control and Compliance accounts (which funded
activities including standards development and permitting). The new EPM account provided for
administrative and programmatic support for regulatory, technical assistance, education and
enforcement activities "providing the Agency with increased flexibility to meet personnel and
programmatic requirements." (See Conference Committee Report 104-384, p. 63). In addition
since FY 2003, EPA has consistently requested EPM fund for management of the Brownfields
program to support both programmatic and administrative functions.
The O1G should revise the draft report to reflect the following:
1. Page 5,2nd paragraph. OSWER is concerned that the OIG is not differentiating between
FTE and people (on-boards). In addition, we are concerned that the OIG report appears
to place the bulk of the HQ FTE in OBCR. OSWER suggests revising the report to
clarify that "in FY2003, the Agency allocated 127 FTE to the EPA Brownfields program,
including 112.2 to OSWER headquarters and regions (22 to OBCR; 1 to OUST; 89.2 to
regions) and 11 FTE to other offices (5 to OECA; 5.8 to OA/OPEI; and .2 to OEI)".
2. The OIG draft report does not describe how the OIG derived the number of 'people'
charged to the brownfields account. OSWER is concerned that OIG is combining the FY
2003 and 2004 on-board count to total the 227 on-boards rather than accounting the
number of on-boards for each respective fiscal year. Combining the number of people or
on-boards charging to the Brownfields program is not an accurate comparison to the
number of FTE received each fiscal year.
OIG Response:
OSWER did not clearly agree or disagree with this recommendation. OSWER misstated our
recommendation from the draft report. We recommended "the Deputy Assistant Administrator
for OSWER, with assistance from other accountable Assistant Administrators, as appropriate:
define the administrative costs of the Brownfields program and establish an accounting system
that would allow identification and tracking of Brownfields administrative costs, including
payroll and program contract expenses, as a first step to effectively managing these costs. "
We have eliminated the reference to program contracts and revised the recommendation to
recommend that OSWER define the costs associated with Brownfields administrative and
programmatic payroll Junctions, and establish a system that would allow identification and
tracking of these costs, as a first step to effectively managing these costs. Because some EPA
offices have different definitions of Brownfields administrative costs, the Agency is challenged in
being able to accurately identify and account for its administrative costs. As we stated in the
report, OCFO, which manages the Agency's accounting system, defines administrative costs
differently than OBCR OCFO's definition of administrative costs includes all payroll costs,
regardless of whether the payroll activity is purely administrative or not. OBCR stated it follows
Agency-wide practice and adheres to the Agency's definition of administrative costs, but it
27
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considers Brownfields regional staff costs to be programmatic costs. Therefore, OBCR does not
follow Agency policy regarding administrative costs. As a first step to effectively managing
administrative costs, EPA needs to define and track administrative and programmatic payroll
costs.
Contrary to the Agency's statement, OCFO provided obligation data, not expenditure data.
We have revised the report to reflect that funding in the EPM account is used for both
administrative and programmatic costs. Early in our fieldwork, we informed the Agency that we
were defining administrative costs of the Brownfields program as all costs funded by the EPM
appropriation. We asked the Agency several times to define and provide data on the
administrative costs of the Brownfields program, but this was not provided to us. Because some
programmatic costs could not be separated from administrative costs (e.g. payroll costs) we
evaluated all activities funded by the Brownfields EPM appropriation to identify options for
costs savings.
The following points address OSWER 's numbered points above:
1. We have revised the report to differentiate between FTE and people (on-boards)
indicating that the information provided by OBCR for 227 staff that charged time toward
123.2 FTE allocated to the Brownfields program. We have revised the report to states
that, in FY 2003, the Agency allocated 127 FTE to the Brownfields program, including
89.2 to EPA regions and 37.8 to EPA Headquarters (22 to OBCR; 1 to the Office of
Underground Storage Tanks (OUST); 5 to OECA; 5.8 to OA/OPEI; and. 2 to OEI) and
3.8 FTE to Enabling Support Programs (ESPs)2 Table 2-1 shows the distribution of
staff by their title and location and estimated FTE for FY 2003.
2. As indicated in the report, FTE information was compiled and provided by OBCR. Staff
charging to the Brownfields program for FY 2003 is presented in the report and is not
combined fiscal year data.
Recommendation #3
OIG recommended that the Agency evaluate unused Brownfields administrative
resources on an annual basis and redirect or reprogram them for obligation on an appropriate
Brownfields activity, or reduce the Brownfields administrative budget.
EPA Response; OSWER believes the Agency financial systems provide sufficient
definition of costs, and that the need to separate programmatic functions out of the payroll
system is not effective but rather would hamper the agency as a whole in managing its resources
in the most efficient and effective manner possible. The current approach to the EPM account
2 We did not evaluate the FTE that were allocated to ESPs because they were indirectly charged to
Brownfields. As part of the Agency's five-goal structure implemented in FY 2004, support programs (e.g., Office of
General Counsel and Office of Acquisition and Resources Management, among others) no longer have their own
goals, but instead are allocated to EPA's five goals. ESP charges are spread across EPA's five goals and
periodically are allocated back (e.g., to Brownfields) for financial statement purposes.
28
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accords with Congressional intent in constructing that account. Because of the initial lag in
funding the startup of the program and the fact that the EPM account is a two-year appropriation,
there will inevitably be some carryover funds. OSWER looks at the EPM account throughout
each fiscal year and performs reprogrammings as necessary. Because EPM funds may be used
for both programmatic and administrative related costs, OBCR is constantly evaluating the EPM
account and working with Regional budget contacts to ensure proper funds control.
1. Page 10, footnote states that "OBCR was unable to provide detailed information for all
the contracts it managed in FY 2003 and FY 2004" and page 13, 3rd paragraph states
"EPA offices have conflicting data on the costs associated with Brownfields Program
contracts." OBCR has reviewed the OCFO report provided to the OIG and concurs with
the FY 2004 obligated amount of $4.8 million. OBCR has reviewed the reports generated
by OCFO and concluded that the amounts for FY 2003 and 2004 programmatic contracts
($4.8 million) are correct. The reports that OBCR previously submitted to OIG were
derived from MARS which reflect on-going IFMS changes. Thus, the information
submitted to OIG may vary from an OCFO report depending on the date that report was
generated. It has been determined that the OCFO report is based upon the end of the year
data for FY 2003 and 2004, while the MARS report generated by OBCR provides data
with changes throughout FY2005. The differences between the data used by OIG and
OBCR can be significant depending on the date reports are generated and should be given
consideration in the OIG report.
2. Page 13,3rd paragraph states, "EPA does not have a firm understanding of the
administrative costs and needs of the Brownfields program and does not have a system to
measure costs. EPA does not have an agreed-upon definition of administrative costs for
the Brownfields program, or an accounting system to measure them." OSWER follows
agency-wide practice and adheres to the Agency's definition for administrative cost
Further, the statement should not be taken to mean that personnel do not perform
programmatic functions related to brownfields assessment and cleanup.
3. Page 13, 3rd paragraph states "hi FY 2003 and 2004 EPA, respectively, has $5.4 and $6.4
million in unused administrative resources that carried over into the following fiscal
year." OSWER believes the draft OIG report does not acknowledge a key contributing
factor to the amount of carryover funds. At the start of FY 2003, the year in which the
Brownfields program first received the EPA appropriation, the Agency was operating
under a Continuing Resolution (CR). Under the requirements of a CR, existing programs
must maintain funding at the previous fiscal year level with no funding for new
programs. Therefore, the Brownfields Program remained at its FY 2002 Superfiind
funding and FTE level. The Brownfields Program did not receive the increase in EPM
funding and FTE as a new program until May 2003. The constraints of operating a new
program under a CR created an inevitable delay in funding leading to the $5.4 million
and $6.4 million in FY 2003 and FY 2004 EPM carryover.
OSWER also questions the use of the FY 2003 and FY 2004 enacted budget
against the respective budget fiscal years obligations to determine the amount of EPM
29
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cany over. Use of the enacted budget does not include Agency reprogrammings
completed throughout the fiscal year.
4. Page 14,1st paragraph states "The Agency's accounting system does not allow personnel
costs to be broken down or analyzed by administrative or programmatic function." This
is not an accurate statement. Systems are available to track such information. In addition,
OSWER believes the Agency financial systems provide sufficient definition of costs, and
that the need to separate programmatic functions out of the payroll system is not effective
but rather would hamper the agency as a whole in managing its resources in the most
efficient and effective manner possible.
5. Page 14, 4th paragraph. Again, OBCR questions the use of the FY 2003 enacted budget
against the obligated amounts to determine the unused FY 2003 Brownfields EPM funds.
6. Page 15,1st paragraph. OSWER is concerned by the inference in the report that funding
levels decreased in FY 2004. The cited FY 2003 enacted budget includes funding later
allocated in the FY 2004 enacted budget to the Agency's Enabling Support Programs.
OIG Response:
OSWER did not clearly agree or disagree with this recommendation. OSWER misstated our
recommendation from the draft report. We recommended "the Deputy Assistant Administrator
for OSWER, with assistance from other accountable Assistant Administrators, as appropriate:
"evaluate unused Brownfields administrative resources on an annual basis and redirect or
reprogram them for obligation on an appropriate Brownfields activity, or reduce the
Brownfields administrative budget (based on the amount not used each fiscal year)."
Based on OSWER's statement that it currently examines the EPM account and performs
reprogrammings as necessary throughout each fiscal year, and the nature of EPM funding as
two-year funding (which allows funds from one year to carryover for use in the second year), we
dropped this recommendation. However, we recommend OSWER provide supporting data and
documentation that clearly shows that the $3J0,030 in FY 2003 administrative resources was
used on Brownfields activities by the end ofFY 2004.
The following points address OSWER's numbered points above:
I. In our two previous requests to OBCR for information on the $4.8 million obligated on
program contracts in FY2004, we stated that we were using information from OCFO
pulled from IFMS (which is data that was provided to OBCR staff at the same time it was
provided to us). We did not request or specify that OBCR use data it pulled from EPA 's
Management and Accounting Reporting System (MARS). Also, it was not until the
written response to our draft report that OSWER agreed with OCFO's data showing
approximately $4.8 million obligated in FY 2004. Even after the formal response, we
had to request again that OBCR provide a general description of the contracts, which
then was provided to us. We eliminated the reference to program contracts in
recommendation #2.
30
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2. Because some EPA offices have different definitions of Brownfields administrative costs,
the Agency is challenged in being able to accurately identify and account for its
administrative costs. As we stated in the report, OCFO, which manages the Agency's
accounting system, defines administrative costs differently than OBCR. OCFO's
definition of administrative costs includes all payroll costs, regardless of whether the
payroll activity is purely administrative or not. OBCR stated it follows Agency-wide
practice and adheres to the Agency's definition of administrative costs, but it considers
Brownfields regional staff costs to be programmatic costs. Therefore, OBCR does not
follow Agency policy regarding administrative costs. As a first step to effectively
managing administrative costs, EPA needs to define and track administrative and
programmatic payroll costs.
3. We acknowledge OSWER 's position regarding the delay in funding EPA experienced and
revised the report where appropriate. OSWER questioned our analysis and stated that
this analysis did not include reprogrammings that occurred throughout the years. We
gave EPA several opportunities to clarify and provide data to support their position, but
clear and sufficient evidence was not provided to us. Therefore, we did not modify our
budget analysis or make changes to the budget tables in the Supplementary Report and
we recommend that OSWER clarify how $310,030 in FY 2003 administrative resources
were used.
4. We have revised the report to accurately reflect the capabilities of the Agency's systems.
However, since EPA does not track Brownfields administrative and programmatic
payroll costs separately, it cannot identify these costs and effectively manage them. As we
stated earlier, as a first step to effectively managing administrative costs, EPA needs to
define and track administrative and programmatic payroll costs.
5. As we stated earlier, OSWER questioned our analysis and stated that this analysis did not
include reprogrammings that occurred throughout the years. We gave EPA several
opportunities to clarify and provide data, but clear and sufficient evidence was not
provided to us.
6. Our draft report did not state that "funding levels " decreased from FY 2003 to FY 2004;
rather, we stated that the amounts in the "administrative budget" decreased. Based on
information OSWER provided about Enabling Support Programs, we revised the report
as appropriate.
31
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Recommendation #4
OIG recommended that EPA evaluate the sufficiency of staffing regional, headquarters,
and other EPA offices andFTE levels, and develop and communicate a clear and consistent
schedule for regularly evaluating a new workload model.
EPA Response. EPA has revised the regional FTE workload model in past years to
reflect the changes in brownfields workload. OBCR, however, is committed to conducting
periodic reevaluations to determine whether current FTE distributions are effective. In
developing the OSWER Brownfields Priorities Memorandum, the OSWER will require EPA
regions to look closely at their organizations and to determine whether their current structures are
the most efficient to address the goals of the Brownfields program.
Page 12, 2nd paragraph states that "Since FY 2000, the needs of the Brownfields program
have changed; however, the FY 2003 staffing mode parameter have not been
substantially revised to support current workload." As noted on page 23 of the
Supplemental Report, cleanup grants are a new type of grant and are included in the
workload model factors. OBCR feels that the conclusion drawn by OIG did not reflect
the changes made by OBCR.
Further, EPA will include guidance regarding the Brownfields Program Priorities to
address regional resources and workload allocations. OBCR will encourage regional
Division Directors to consider, as part of the priority setting for FY06, the structure of
regional brownfields program management and its effectiveness.
OIG Response:
OSWER did not clearly agree or disagree with our recommendation, and did not address staffing
and FTE at headquarters and other EPA support offices. We asked the Agency on several
occasions to clarijy the regional staffing model We have revised the final report to reflect that
the regional staffing model was updated to include revolving loan fund grants and cleanup
grants. However, as indicated in the report, the core activities, including the 30 associated
tasks, have not been updated to accurately reflect the level of effort associated with current
workload.
Recommendation #5
OIG recommended that EPA evaluate whether the use of other EPA staff as Brownfields
Project Officers is appropriate, and evaluate the junction ofbrownfleldstaffin the regions to
determine if additional Brownfields staff should become certified Project Officers.
EPA Response: The draft OIG report states that OCFO (page 17) could not identify
where several brownfields project officers in the EPA regions charged their time in FY 2003 and
FY 2004. OCFO would note that this is based on very limited information (often including a
listing of employee by 'nickname') provided by the OIG to OCFO. Analysis was incomplete
because of this approach.
32
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In addition, OSWER sees overlap in a wide variety of areas of Superfund and
brownfields statutory authorities. We believe that it is entirely appropriate that staff from other
program areas may be addressing issues related to brownfields. OSWER does agree with the
OIG recommendation that all brownfields grant project officers should be certified POs.
OSWER has included guidance relevant to this issue in Brownfields Program Priorities
Memorandum that is under development. Regional Brownfields teams, in particular, face
an ever increasing workload, primarily due to the management of new and existing grants
awarded through the annual competition process and through the state and tribal
allocation process. New agency policies require project officers to play a significant role
in on-going grant management activities. It is through post-award, technical assistance
that project officers can ensure grantees have the tools they need to accomplish tasks and
report on their accomplishments.
OBCR will continue to streamline the national grant competition to reduce time spent on
the annual review process. In addition, the program will continue to look for ways to
clarify the competition guidelines to ensure applicants understand the program's
expectations, especially related to applicants ability to manage grants.
* OSWER intends to focus support on existing grantees to ensure they have the technical
support needed to complete the work under their cooperative agreements in a timely and
protective manner. Annual, Regional grantee workshops continue to be a proven way to
communicate this information.
OIG Response:
OSWER did not clearly agree or disagree with this recommendation, misstated part of the
recommendation, did not address all the recommendation issues, but "agreed" with a
recommendation we did not make.
We recommended "the Deputy Assistant Administrator for OSWER, with assistance from other
accountable Assistant Administrators, as appropriate: evaluate whether the use of other EPA
staff as Brownfields Project Officers is appropriate, and evaluate the Junction of Brownfields
staff'in the regions to determine if additional Brownfields staff should become certified Project
Officers. Take corrective action as needed and appropriate. " OSWER stated "OSWER does
agree with the OIG recommendation that all Brownfields grant project officers should be
certified POs." However, this is a mischaracterization of our recommendation. OSWER did not
address the part of our recommendation that stated OSWER should "evaluate the function of
Brownfields staff in the regions to determine if additional Brownfields staff should become
certified Project Officers."
OSWER believes there is an overlap between Superfund and Brownfields in a wide variety of
areas and that "it is entirely appropriate thai staff from other program areas may be addressing
issues related to Brownfields. " We question the appropriateness of other EPA staff functioning
as project officers and OSWER's characterization of our finding, "that staff from other program
areas may be addressing issues related to Brownfields." As we stated in our report, 24 percent
of Brownfields Project Officers are not Brownfields staff and these Project Officers manage
33
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30 per cent of all active Brownfields grants. These staff are not merely "addressing issues
related to Brownfields " but rather are performing a major program function. In every region
where non-Brownfields staff are functioning as Project Officers there are Brownfields staff that
are not certified Project Officers. In addition, since the program work performed by non-
Brawnfields staff is not accounted for (staff do not charge Brownfields), EPA management is
unable to accurately determine the overall level of effort applied to the program and identify
staffing needs. We revised our recommendation for OSWER to evaluate the function of all
regional Brownfields FTE that are not certified Project Officers and determine how many should
become certified Project Officers and to complete the appropriate certifications.
It is incorrect for the Agency to state that we provided "very limited information " to OCFO
regarding the identification of several Brownfields Project Officers. The list of staff names we
provided to OCFO came directly from EPA's Integrated Grant Management System (IGMS),
which is the extent of information available to identify staff working on grants. We used the
Agency's only available data.
Recommendation #6
OIG recommended that EPA hold the sponsored Brownfields conference only once every
2 years rather than annually.
EPA Response; In response to the recommendation, OSWER will conduct a thorough
cost-benefit analysis of holding the Brownfields Conference every 11-15 months. The
recommendation to hold the Brownfields conference only once every 2 years rather than
annually appears to stem from your premise (page 18 paragraph 3) that "the Brownfields
conference primarily meets the second goal [of the four Brownfields Program goals]." We
disagree with this premise, and believe that the Conference promotes the attainment of all four of
the Brownfields Program goals. We are examining a number of options and believe a cost-
benefit analysis will aid us in making an appropriate decision on the future of the conference.
Although the Brownfields Conference is the Program's largest single expense each year,
and is therefore an obvious target for cost cutting, holding the Brownfields conference
every two years (or less) may not result in savings to equate with the benefits which
would be forfeited. A thorough cost-benefit analysis is required to more systematically
assess this recommendation.
Successful Brownfields assessment, cleanup and redevelopment encompasses
enormously complex tasks which require a vast variety of stakeholders with extensive
knowledge and experience in many areas (public policy, law/regulations, financing,
cleanup technology, community involvement/environmental justice, sustainable
development/green building design, real estate, public health, economic
development/planning, among others) to work together in a collaborative manner. The
Brownfields Conference empowers such a wide array of stakeholders (who typically
attend the Conference) with this requisite knowledge and experience and supporting the
four goals of the program.
34
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The cooperative agreement recipient who leads the planning and implementation of the
Brownfields Conference has each year generated a comprehensive evaluation/feedback
document. This evaluation/feedback document is generated directly from a significant
portion of conference participants. This document has in the past, overwhelmingly
indicated a very productive and useful conference for participants. This, coupled with the
fact that the Brownfields Conference has grown each year in the number of participants
(starting with 700 back in 1996 to over 4500 in 2004) has generated the policy decision to
continue holding the Conference ever}' 11-15 months to date.
QIC Response:
OSWER did not clearly agree or disagree with this recommendation and mischaracterized our
findings. OSWER stated that it would conduct a thorough cost benefit analysis of holding the
Brownfields conference every 11 to 15 months, and use the cost benefit analysis to aid them in
making an appropriate decision on the future of the conference. OSWER incorrectly stated that
our recommendation was based on our findings that the conference meets one of the four goals
of the Brownfields program. However, we identified other reasons, including that planning the
conference takes staff time from doing program work and the number of grant applications
received since the program's authorization demonstrates good and continuing progress on
successful outreach - the primary goal of the Annual Conference. OSWER stated that the
Brownfields Annual Conference meets all four of the program's goals, but did not provide
sufficient evidence in support of this.
Recommendation #1
OIG recommended that EPA develop a process to evaluate each conference and meeting
and determine for which Brownfields staff attendance or participation is necessary to implement
the Brownfields Program.
EPA Response; OBCR is concerned that the list of conferences and meetings may not
accurately capture the type of meeting/conference attended and the number of EPA attendees
based upon the compiled submissions. It appears that the list of conferences and meetings
provided by OBCR and the regions had duplicate entries, resulting in an inaccurate count of the
number of conferences and meetings attended and the number of attendees for particular
meetings. We undertook a limited review of the data supplied and have identified more than 50
duplicate entries; for example, the Western Regional Brownfields Workshop was a combined
meeting by Regions 8, 9 and 10 with brownfields grantees and is listed separately for each
Region. As another example, the list includes at least 13 meetings of the All Appropriate Inquiry
(AAI) federal advisory committee; however, the committee met only 6 times leading to the
conclusion that many of the listings are redundant. (We believe this error resulted from the fact
that 2 OBCR employees participated in the AAI FACA.
The Brownfields Law increased grant funds, expanded eligibility and provided new
liability protections. Implementing the new Brownfields Law pushed EPA to increase outreach
and technical assistance efforts in FY 2003 and 2004. As a result, reaching out to affected .
communities and key stakeholders was a critical part of implementing the program. The
Brownfields Law significantly increased the need for EPA to interact with stakeholders to
35
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explain newly developed policies for implementation. This led to an increase in meetings at the
national, regional, state and local level. The Brownfields Program Priorities Memorandum,
under development, requires each region to evaluate and determine the best methods of outreach
in that region. We feel the regions and other offices (including OSWER/OBCR) have already
made great strides in this regard by sending a single representative to many state or outside
stakeholder meetings rather than multiple attendees. We will nevertheless, continue to stress the
need for EPA offices to look for strategies and cost effective opportunities with respect to
brownfields staff attendance or participation in conferences and meetings.
Page 10, Paragraph 3. We disagree with the statement "Nearly all of the conferences and
meetings has less than 15 people attending." The statement may be misconstrued to
imply that fewer than 15 attendees were at some of the meetings. To the contrary, the
report should clearly state that generally only a single EPA staff member has been in
attendance to represent the entire program and that is in fact an effective use of limited
resources to reach a breadth of brownfields stakeholders.
OIG Response:
OSWER did not clearly agree or disagree with this recommendation. OSWER stated that a
Brownfields Program Priorities Memorandum is under development that will require each
region to evaluate and determine the best methods of outreach in that region. OSWER stated
that it will continue to stress the need for EPA offices to look for strategies and cost effective
opportunities with respect to Brownfields staff attendance or participation in conferences and
meetings,
OSWER disagreed with the statement that "Nearly all of the conferences and meetings have less
than IS people attending." They were concerned that the statement may be misconstrued to
imply that fewer than 15 total attendees were at some meetings. We have clarified the report to
indicate that attendance at nearly all the conferences and meetings had less than 10 Agency
personnel.
OSWER expressed concern that the list of conferences and meetings may not accurately capture
the type of meeting/conference attended and the number of attendees due to duplicate entries and
a limited timeframefor compilation. However, our notification memo sent at the beginning of
our evaluation stated one of our questions was "What are the number and type of annual
Brownfields conferences and meetings held, including FTE usage, attendance, and
responsibilities? " We obtained the data directly from the Agency to answer this question. We
have reviewed the data, looking separately at the conferences and meetings identified as
Brownflelds-sponsored, and Other with this in mind, and have modified the report where needed.
The total number of conferences and meeting identified went from over 510 to over 480.
OSWER was also concerned that meetings attended by more than one office were listed
separately. We reviewed the data with this in mind and identified 9 conferences and meetings
identified as EPA Brownfield-sponsored conferences and meetings, and 5 Other conferences and
meetings in which more than one office attended, but were listed separately. We made changes
to the report where needed.
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Miscellaneous Issues
Page 16 Table 3-2
The draft OIG report separates the discussion of FTE utilization between OSWER and
other offices. Since the reasons for utilization rates are similar for all offices with staff resources
supporting the Brownfields Program, it would appear that combining these sections and
information into Table 3-2 might make the issue clearer.
OIG Response:
While we recognize the reasons for various utilization rates, distinguishing between offices serves the
purpose of clearly isolating the utilization of the subject offices. Combining these would obscure the data
and distort the facts.
In addition, when the Policy Office was merged with the Office of Reinvention in the
Office of the Administrator, management of the Policy Office's FTE and PC&B, including the
Brownfields resources, was centralized in the Office of the Administrator. This change created a
number of problems, including reduced utilization of OPEI's brownfields FTE in FY 03 and FY
04. The problem was a coding issue that was not caught and addressed until recently. The
problem has now been fixed. In FY 05, the Agency is projecting almost full utilization of those
FTE by OPEI: 5.6325. The FY 04 and FY 05 data should not be interpreted as OPEI not valuing
and needing their Brownfields FTE, but rather a coding error that has been addressed.
(Note: Pay Period Range: 200501 to 200513; RPIO = 11; Program = 402M43C )
BFY
20052006
Total
Fund
B
ORG
11
PRC
402M43C
Benf%
28.79
YTDBawPald
$204,449
$204,449
YTDOT
P»td
$91
$91
YTD
Other
Proj.
0
0
YTD
Other
Piiid
0
0
YTD Benefit!
$58,865
$58,865
YTD FTES
2,5917
2,5917
Current PP
FTEs
.2172
.2172
FTEs
projected (a
YE
3.0408
3.0408
Total Proj
YEFTEi
5.6325
5.6325
Base+Ben Proj top YE
$319,562
$319,562
Total Proj Y/E
Base+ben
$582,966
$582,966
Page 16. Table 3-2
The draft report indicates that OECA (OSRE) Headquarters and regional offices
significantly under-utilize the allocated FTE (approx. 60% headquarters and 20% for the
regions). See Report, Chapter 3, page 16, table 3-2. OSRE recognizes the need, and is
developing improvements, to better track and allocate Brownfield resources at headquarters and
in the regions. In this regard, OSRE requests that the report provide some background and
context to the numbers referenced in Table 3-2. OSRE headquarter and regional enforcement
personnel work on a variety of activities related to the implementation of the Brownfields
Amendments (e.g., developing and implementing policy guidance on the liability provisions).
As noted in our response to report recommendations 3-1 and 3-4 above, some of the headquarters
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and regional personnel that work on enforcement and liability related provisions of the
amendments also work on the grants eligibility related provisions. Because of the interrelated
nature of some of these activities, it is a continuing challenge to fully track the enforcement
resources as either "Brownfields" or as traditional "Superfund." However, based on a poll of
regional enforcement personnel working on Brownfields issues, and considering the number of
Headquarters and regional personnel involved, and the percentage of time each spends on
Brownfields (including Brownfields grant eligibility), OSRE and regions not only fully utilize,
but likely exceed the total FTEs allocated. As noted above, OSRE is developing a process to
improve the tracking of our Brownfield resources at headquarters and in the regions.
OIG Response:
We used Agency data to calculate the utilization rates. OSWER indicated in its response that
OSRE and the regions not only fully utilize but likely exceed the total FTEs allocated. However,
OSRE and the regions did not charge the Brownfields account to reflect OSRE and the regions
overall efforts for the Brownfields program. This impacts management's ability to determine the
overall level of effort applied to the Brownfields program.
Page 18, Paragraph 3. We disagree with the following statement "The Brownfields
conference primarily meets the second goal."
The Brownfields Conferences have promoted the attainment of all four of the Brownfields
Program's goal.
Successful Brownfields assessment, cleanup and redevelopment encompasses enormously
complex tasks which require a vast variety of stakeholders with extensive knowledge and
experience in the following areas (among others) to work in a collaborative manner.
Environmental Management
Sustainable Development and Green Building
Public Policy, Law, and Regulation
Financing and Investment
Cleanup Technology Innovations
Community Involvement,
Environmental Justice
Public Health
Real Estate Dealmaking
Economic Development and Planning;
Federal Facilities and Tribal lands.
By providing countless lessons learned and real world examples of collaboration in all
these areas through case studies, hands on exercises, facilitated/interactive discussions, mobile
workshops, and a real estate transaction forum, the Brownfields Conference empowers such a
wide array of stakeholders (who typically attend the Conference) to work collaboratively. In
doing so, the Brownfields Conference clearly promotes:
Protecting the environment by addressing Brownfields to ensure the health and well-being
of America's people and environment; Promoting partnerships by enhancing collaboration and
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communication essential to facilitate Brownfields cleanup and reuse; Strengthening the
marketplace by providing financial and technical assistance to bolster the private market;
Sustaining reuse by redeveloping Brownfields to enhance a community's long-term quality of
life.
QIC Response:
OSWER disagreed with our premise that the Brownfields Conference primarily meets the second
goal of the four Brownfields program goals, indicating that the Brownfields conferences has
promoted the attainment of all four of the Brownfields program's goals. OSWER did not provide
convincing support for their position.
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The following comment refers to supporting data, not included in this report, which we
developed and provided to EPA as part of our evaluation.
TABLE 19 Region 8, page 17. Administrative Resources FY 2003 and FY 2004
Below is a corrected table submitted by Region 8.
---... . :.-=-..::.. Regions: -- ' '/.. ' .. .- ..;
EPM
Payroll
SEE employees
WCF
Travel:
conferences
other
other
expe nses/co ntracts:
»- '<
STAG
Assessment grants
Cleanup Grants
Revolving Loan
Fund**
Targeted
Brownfields
Assessments
(includes Contract
Laboratory Program
(CLP))
Job Training
K-6, Training,
Research grants
State/Tribal
Response Programs
Interagency
Agreements:
BOR
Indian Health
Service
USGS
Habitat for Humanity
Other - Contracts
t&tlk; -
FY2003 :
Enacted
Operating
Plan :
$628.4
$60.0
$4.8
$33.4
$25.0
:«»*
$10,634.5
««»*.
FY2003
Actuals
(obligations)
$51 1 .8
$60.0
$0.5
$37.4
$35.1
- 4*44*
$1,050.0
$1,600.0
$190.0
$200.0
$6,612.1
$140.0
$120.0
$10.0
*$&),<
FV2003
Carryover
(obBgin
FY04)
/* -
$200.0
$150.0
$362.0
.w.
Pfffefence
$116.6
$0.0
$4.3
-$4.0
-$10.1
V106.8
N :
FY2004
Enacted
Operating
Pteri
$688.9
$72.1
$0.2
$59.2
$26.3
»«r.
$10,549.3
>,^,
FY2Q04
Actuals
(obllgatons)
$714.9
$62.1
$0.7
$46.2
$25.1
**»
$1,200.0
$982.5
$325.0
$7,570.1
$34.5
$90.0
$25.5
$0.0
Difference
. . .
-$26.0
$10.0
-$0.5
$13.0
$1.2
«*
$195.0
$127.0
W
"FY03 Revolving Loan Fund obligations in column 2 include $1,000.0 that was first obligated in FY03, then deobligated, recertified and
obligated in FY04.
40
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1
OIG Response:
OSWER did not provide contextual information regarding Region 8 's data, including what
system the data was pulled from, the date the information was pulled, or the parameters used to
pull the data. In order to provide a consistent view of the Brownfields budget (data provided to
us by OCFO and OBCR during fteldwork), which includes data pulled from IFMSat the same
time for all offices, we did not replace Region 8 's table in our supporting materials.
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Appendix 8
Distribution
Office of the Administrator
Deputy Assistant Administrator, Office of Solid Waste and Emergency Response
National Program Director, Office of Brownfields Cleanup and Redevelopment
Acting Deputy Director, Office of Brownfields Cleanup and Redevelopment
Acting Assistant Administrator for Enforcement and Compliance Assurance
Acting Associate Administrator for Office of Policy, Economics, and Innovation
Assistant Administrator for Office of Environmental Information
Agency Followup Official (the CFO)
Agency Followup Coordinator
Deputy Chief Financial Officer
Associate Administrator for Congressional and Intergovernmental Relations
Associate Administrator for Public Affairs
Audit Followup Coordinator, Office of Solid Waste and Emergency Response
Audit Followup Coordinator, Office of Enforcement and Compliance Assurance
Audit Followup Coordinator, Office of the Administrator
Audit Followup Coordinator, Office of Environmental Information
Audit Followup Coordinator, Office of the Chief Financial Officer
General Counsel
Inspector General
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