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    Results:

    Subject Term: "Freedom of information"

    4 publications with a total of 14 open recommendations
    Director: Valerie Melvin
    Phone: (202) 512-6304

    2 open recommendations
    Recommendation: To provide greater transparency in the reporting of FOIA litigation costs, Congress could consider requiring Justice to provide a cost estimate for collecting and reporting information on costs incurred when defending lawsuits in which the plaintiffs prevailed.

    Agency: Congress
    Status: Open

    Comments: Congress has not yet considered if it plans to amend FOIA regarding the reporting of costs for defending lawsuits in which the plaintiffs prevailed.
    Recommendation: Congress could consider amending the act to require Justice to reflect in its Litigation and Compliance reports, changes in the award of attorneys' fees and costs resulting from the appeals process and settlement agreements between agencies and plaintiffs, if deemed to be cost-effective.

    Agency: Congress
    Status: Open

    Comments: Congress has not yet considered if it plans to amend FOIA to require Justice to make changes to its Litigation and Compliance reports.
    Director: Malenich, J Lawrence
    Phone: (202) 512-3406

    5 open recommendations
    Recommendation: To provide reasonable assurance that the property, equipment, and software transactions are properly tracked and capitalized or expensed as appropriate, the Director of CFPB should direct the program offices to require vendors to provide detailed invoices with costs broken out by project.

    Agency: Consumer Financial Protection Bureau
    Status: Open

    Comments: During our fiscal year 2016 audit, we continued to find control deficiencies over CFPB's accounting for its property, equipment, and software. CFPB was still in the process of working with its Office of Procurement and program offices to require more detailed invoices with costs broken out by project. We will continue to evaluate CFPB's actions to address this recommendation during our fiscal year 2017 financial statement audit.
    Recommendation: To provide reasonable assurance that the property, equipment, and software transactions are properly tracked and capitalized or expensed as appropriate, the Director of CFPB should direct the Chief Financial Officer to update OCFO's financial records to include costs by project.

    Agency: Consumer Financial Protection Bureau
    Status: Open

    Comments: Although CFPB took actions to attempt to address this recommendation, as of September 30, 2016, there were still some unidentified costs in the OCFO's financial records. In addition, our fiscal year 2016 audit continued to identify deficiencies over the recording of property, equipment, and software costs. We will continue to evaluate CFPB's actions to address this recommendation during our fiscal year 2017 financial statement audit.
    Recommendation: The Director of CFPB should direct the Office of Technology and Innovation's Chief Information Officer to develop and document training materials that are consistent with CFPB's policies and procedures and provide training to employees, on a recurring basis, on how to conduct inventory of electronic equipment and how to update and maintain accurate inventory records.

    Agency: Consumer Financial Protection Bureau
    Status: Open

    Comments: During our fiscal year 2016 audit, we continued to find incomplete and inaccurate information in CFPB's inventory records. We will continue to evaluate CFPB's actions to address this recommendation during our fiscal year 2017 financial statement audit.
    Recommendation: The Director of CFPB should direct the Chief Financial Officer and Chief Information Officer to develop and implement procedures that require coordination between the OCFO and the Office of Technology and Innovation to provide reasonable assurance that the records maintained by both divisions are accurate, consistent, complete, and comparable for inventory and accounting purposes.

    Agency: Consumer Financial Protection Bureau
    Status: Open

    Comments: During our fiscal year 2016 audit, we continued to find incomplete and inaccurate information in CFPB's inventory records. We will continue to evaluate CFPB's actions to address this recommendation during our fiscal year 2017 financial statement audit.
    Recommendation: The Director of CFPB should direct the Chief Financial Officer to design and implement effective procedures over the preparation of CFPB financial statements and note disclosures, including procedures such as completing the FAM 2010 and 2020 checklists at fiscal year-end, to provide reasonable assurance that the financial statements as of fiscal year-end are prepared in accordance with GAAP and note disclosures are adequate.

    Agency: Consumer Financial Protection Bureau
    Status: Open

    Comments: During our fiscal year 2016 audit, we continued to find errors and inconsistent disclosures in CFPB's financial statements, some of which resulted in post-closing adjusting entries. We will continue to evaluate CFPB's actions to address this recommendation during our fiscal year 2017 financial statement audit.
    Director: Valerie C. Melvin
    Phone: (202) 512-6304

    4 open recommendations
    Recommendation: To improve DOL's management of FOIA requests, the Secretary of Labor should direct the Chief FOIA Officer to establish a time frame for implementing, and take actions to implement, section 508 requirements in the department's FOIA system and online portal.

    Agency: Department of Labor
    Status: Open

    Comments: As of May 2017, the Department of Labor had provided a response regarding its actions to address our recommendation. We have not yet verified if the actions meet the intent of our recommendation. When we confirm what actions the agency has taken we will provide updated information.
    Recommendation: To improve DOL's management of FOIA requests, the Secretary of Labor should direct the Chief FOIA Officer to establish a time frame for implementing, and take actions to fully implement, recommended best practice capabilities for enhanced processing of requests in the department's FOIA system and online portal.

    Agency: Department of Labor
    Status: Open

    Comments: As of May 2017, the Department of Labor had provided a response regarding its actions to address our recommendation. We have not yet verified if the actions taken meet the intent of our recommendations. When we confirm what actions the agency has taken we will provide updated information.
    Recommendation: To improve DOL's management of FOIA requests, the Secretary of Labor should direct the Chief FOIA Officer to require components to document in the Secretary's Information Management System for FOIA the rationales for delays in responding to FOIA requests, and to notify requesters of the delayed responses when processing requests.

    Agency: Department of Labor
    Status: Open

    Comments: As of May 2017, the Department of Labor had provided a response regarding its actions to address our recommendation. We have not yet verified if the actions taken meet the intent of our recommendations. When we confirm what actions the agency has taken we will provide updated information.
    Recommendation: To improve DOL's management of FOIA requests, the Secretary of Labor should direct the Chief FOIA Officer to establish a time frame for consulting with the Department of Justice's Office of Information Policy on including language in DOL's response letters to administrative appeals notifying requesters of the National Archives and Records Administration's Office of Government Information Services' mediation services as an alternative to litigation, and then ensure that the department includes the language in the letters.

    Agency: Department of Labor
    Status: Open

    Comments: As of May 2017, the Department of Labor had provided a response regarding its actions to address our recommendation. We have not yet verified if the actions taken meet the intent of our recommendations. When we confirm what actions the agency has taken we will provide updated information.
    Director: Melvin, Valerie C
    Phone: (202) 512-6304

    3 open recommendations
    Recommendation: To improve the management of DHS FOIA requests, the Secretary of DHS should direct the Chief FOIA Officer to improve reporting of FOIA costs by including salaries, employee benefits, non-personnel direct costs, indirect costs, and costs for other offices.

    Agency: Department of Homeland Security
    Status: Open

    Comments: In responding to our recommendation, DHS said it has developed a spreadsheet that is to be used by its components to track FOIA costs. However, as of September 2017, DHS has not yet provided information containing such details as when its components will be required to use the spreadsheet and if the spreadsheet is to track all the categories of costs discussed in our report. We plan to update the status of this recommendation when DHS provides documentation that further explains, and confirms the department's use of, the spreadsheet.
    Recommendation: To improve the management of DHS FOIA requests, the Secretary of DHS should direct the Chief FOIA Officer to direct USCIS and Coast Guard to fully implement the recommended FOIA processing system capabilities and the section 508 requirement.

    Agency: Department of Homeland Security
    Status: Open

    Comments: In response to our recommendation, DHS issued a memo to all of the department's FOIA officers in March 2015 which focused on ensuring that each component's FOIA processing systems are 508 compliant. However, as of September 2017, DHS has not yet provided us with evidence that the U.S. Citizenship and Immigration Services and the Coast Guard have implemented system capabilities that are 508 compliant. When DHS provides information concerning its actions taken to make the systems compliant, we will update the status of the recommendation.
    Recommendation: To improve the management of DHS FOIA requests, the Secretary of DHS should direct the Chief FOIA Officer to determine the viability of re-establishing the service-level agreement between the U.S. Citizenship and Immigration Services (USCIS) and U.S. Immigration and Customs Enforcement to eliminate duplication in the processing of immigration files. If the benefits of doing so would exceed the costs, re-establish the agreement.

    Agency: Department of Homeland Security
    Status: Open

    Comments: DHS has stated that it is taking steps to determine if the U.S. Immigration and Customs Enforcement and the U.S. Citizenship and Immigration Services will re-establish the service-level agreement to process FOIA requests related to immigration files. In addition, the department has stated that duplication no longer exists in the processing of these type of requests. However, DHS has not yet provided evidence, such as a cost-benefit analysis, that could demonstrate the steps it is taking regarding the service-level agreement. Further, GAO has not yet received evidence from the department to support its assertion that duplication no longer exists in the processing of immigration files. We will update the status of this recommendation when DHS provides documentation.