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    Results:

    Subject Term: "IT investment"

    4 publications with a total of 7 open recommendations
    Director: Powner, David A
    Phone: (202)512-9286

    1 open recommendations
    Recommendation: The Secretaries of Agriculture and Commerce should address the weaknesses in agency- and bureau-led TechStat processes and management outlined in this report.

    Agency: Department of Agriculture
    Status: Open

    Comments: The agency partially agreed with our assessment of the agency's TechStat process, but has not yet implemented our recommendation. At the time of our review, we identified several weaknesses in the agency's TechStat processes and management, including holding bureau-led TechStats, incorporating TechStats in its capital planning and governance structure, providing training on TechStats, and consistently capturing action steps, deadlines, and responsibilities in its TechStat memorandums. In an April 2017 update, the agency stated that it had not held any TechStats in 2016, but had identified several candidates for TechStats within the next 6 months. In addition, the agency plans to update its capital planning documents to include the TechStat program in late summer 2017. In addition, it has not finalized its TechStat training documentation, but plans to complete the documentation in late summer 2017. We will continue to monitor the implementation of this recommendation.
    Director: Powner, David A
    Phone: (202)512-9286

    3 open recommendations
    Recommendation: To improve the reliability of reported cost and schedule variance information for the seven major investments we reviewed, the Acting Commissioner of IRS should direct the Chief Technology Officer to improve the reliability of cost estimates by addressing the weaknesses we identified in this report so that each investment at least substantially meets each of the characteristics of a reliable cost estimate.

    Agency: Department of the Treasury: Internal Revenue Service
    Status: Open

    Comments: We followed up on the status of IRS's actions to address this recommendation for the Customer Account Data Engine (CADE) 2, the Return Review Program (RRP), and IRS.gov, the three investments with significant planned expenditures for development in fiscal year 2017, according to data reported on the Federal IT dashboard (the remaining four investments in our 2013 review are primarily in operations and maintenance based on the same IT dashboard data). We selected CADE 2, RRP, and IRS.gov because they would benefit most from improvements to cost estimates given their life cycle stage. In the Summer of 2017, IRS provided documentation to demonstrate actions taken to address the weaknesses we had identified with the CADE 2, and RRP cost estimates. We are currently analyzing this information. For IRS.gov, IRS told us the investment had been in operations and maintenance for several years and was therefore not producing the cost documentation that is typically associated with development efforts. We requested documentation supporting this claim and as of September 2017 were waiting to receive it.
    Recommendation: To improve the reliability of reported cost and schedule variance information for the seven major investments we reviewed, the Acting Commissioner of IRS should direct the Chief Technology Officer to improve the extent to which schedules are well-constructed and controlled by addressing the weaknesses we identified in this report so that each investment at least substantially meets each of these characteristics.

    Agency: Department of the Treasury: Internal Revenue Service
    Status: Open

    Comments: We followed up on the status of IRS's actions to address this recommendation for the Customer Account Data Engine (CADE) 2, the Return Review Program (RRP), and IRS.gov, the three investments with significant expenditures planned for development in fiscal year 2017, according to data reported on the Federal IT dashboard (the remaining four investments in our 2013 review are primarily in operations and maintenance based on the same IT dashboard data). We selected CADE 2, RRP, and IRS.gov because they would benefit most from improvements to schedule estimates given their life cycle stage. In the Summer of 2017, IRS provided documentation to demonstrate actions taken to address the weaknesses we had identified with the CADE 2, and RRP schedule estimates. We are currently analyzing this documentation. For IRS.gov, IRS told us the investment had been in operations and maintenance for several years and was therefore not producing the schedule estimates that are typically associated with development efforts. We requested documentation supporting this claim and as of September 2017 were waiting to receive it.
    Recommendation: To improve the reliability of reported cost and schedule variance information for the seven major investments we reviewed, the Acting Commissioner of IRS should direct the Chief Technology Officer to develop and implement guidance that specifies best practices--such as including evaluating critical path (for projected schedule), using earned value management data, evaluating the performance of completed work and comparing it to the remaining budget, assessing commitment values for material needed to complete remaining work, and estimating future conditions--to consider when determining projected cost and schedule amounts.

    Agency: Department of the Treasury: Internal Revenue Service
    Status: Open

    Comments: In June 2016, we reported on IRS's development and implementation of its Investment Performance Tool for tracking cost, schedule and scope metrics for its IT investments. At the time, IRS was using the tool for two investments. As of September 2017, we were reviewing the agency?s use of the tool as part of an ongoing review. We plan to further examine the use of the tool and the supporting guidance to determine the extent to which they address this recommendation.
    Director: Melvin, Valerie C
    Phone: (202) 512-6304

    2 open recommendations
    Recommendation: To help ensure the success of FDA's modernization efforts, the Commissioner of FDA should direct the CIO to, in completing the assessment of Mission Accomplishments and Regulatory Compliance Services (MARCS), develop an integrated master schedule (IMS) that (1) identifies which legacy systems will be replaced and when; (2) identifies all current and future tasks to be performed by contractors and FDA; and (3) defines and incorporates information reflecting resources and critical dependencies.

    Agency: Department of Health and Human Services: Food and Drug Administration
    Status: Open

    Comments: In commenting on our report, the Department of Health and Human Services neither agreed nor disagreed with our recommendations. However, in response to this recommendation, FDA officials developed an integrated master schedule (IMS) for the Mission Accomplishment and Regulatory Compliance System, along with corresponding sub-project schedules. The officials also provided explanations of their approach for updating the schedules and estimating resources that are reflected in the schedules, and evidence that the agency is updating the schedule regularly. However, the IMS did not identify all legacy systems to be replaced, did not trace all tasks and contractor subproject schedules, and did not include information reflecting the use of government resources. In 2016, we requested that FDA provide an update on their efforts to address these limitations. As of September 2017, the agency restructured MARCS into two projects and notified us that it was working to establish an IMS for each. FDA officials expect to complete the schedules by the end of calendar year 2017. Until FDA takes steps to address the noted deficiencies, it will lack key information needed for determining what work remains and for identifying and addressing potential problems, thus increasing risks to the success of the agency's modernization efforts. We will continue to work with the Department to address this recommendation.
    Recommendation: To help ensure the success of FDA's modernization efforts, the Commissioner of FDA should direct the CIO to monitor progress of MARCS against the integrated master schedule IMS.

    Agency: Department of Health and Human Services: Food and Drug Administration
    Status: Open

    Comments: In commenting on the report, the Department of Health and Human Services neither agreed nor disagreed with our recommendations. However, in response to this recommendation, FDA officials provided a baseline schedule, integrated master schedule (IMS), and sub-project schedules intended to be used to monitor progress of the agency's efforts to implement changes to the Mission Accomplishment and Regulatory Compliance System (MARCS). Nonetheless, while the IMS is updated regularly, it contains data anomalies, and FDA has not documented reasons for changes to the schedule. Consequently, the schedule does not include complete and reliable information needed for monitoring progress of the system investment. As of September 2017, the agency restructured MARCS into two projects and notified us that it was working to establish an IMS for each. FDA officials expect to complete the schedules by the end of calendar year 2017, and to use the schedules to continually monitor the status of the projects. Until FDA takes steps to address deficiencies noted in the IMS for MARCS, it will continue to lack key data needed to monitor progress of the implementation of the system, and increase the risks of this key component of the agency's modernization efforts. We will continue to work with the Department to address this recommendation.
    Director: Powner, David A
    Phone: (202)512-9286

    1 open recommendations
    Recommendation: The Commissioner of Internal Revenue should direct the appropriate officials to define and implement a process, including defined criteria, for reselecting ongoing projects.

    Agency: Department of the Treasury: Internal Revenue Service
    Status: Open

    Comments: Since we made the recommendation, IRS has been working to redesign its investment management process. In June 2016, we reported that the agency had defined and implemented a repeatable process for selecting (and reselecting) operations support activities, though it had not fully documented the process, but did not have a similar process for its business systems modernization activities (GAO-16-545). We recommended that IRS document its process for operations support activities and establish, document, and implement policies and procedures for selecting new and reselecting ongoing business systems modernization activities. IRS agreed with our recommendations and, in January 2017, stated it expected to have an internal draft document of the operations support activities process completed by the end of February 2017 with a draft ready to share with GAO a month later. In addition, for the business systems modernization process, IRS noted several improvements underway and stated it would document the process as it improved by December 2017. We will continue to monitor IRS's efforts to define and implement processes, including criteria, for reselecting ongoing projects.