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    Subject Term: "Water quality management"

    3 publications with a total of 9 open recommendations
    Director: Alfredo Gómez
    Phone: (202) 512-3841

    4 open recommendations
    Recommendation: The Assistant Administrator for Water of EPA's Office of Water should require states to report available information about lead pipes to EPA's Safe Drinking Water Information System (SDWIS)/Fed (or a future redesign such as SDWIS Prime) database, in its upcoming revision of the LCR. (Recommendation 1)

    Agency: Environmental Protection Agency: Office of Water
    Status: Open

    Comments: When we confirm what actions the agency has taken in response to this recommendation, we will provide updated information.
    Recommendation: The Assistant Administrator for Water of EPA's Office of Water should require states to report all 90th percentile sample results for small water systems to EPA's SDWIS/Fed (or a future redesign such as SDWIS Prime) database, in its upcoming revision of the LCR. (Recommendation 2)

    Agency: Environmental Protection Agency: Office of Water
    Status: Open

    Comments: When we confirm what actions the agency has taken in response to this recommendation, we will provide updated information.
    Recommendation: The Assistant Administrator for Water of EPA's Office of Water and the Assistant Administrator of EPA's Office of Enforcement and Compliance Assurance should develop a statistical analysis that incorporates multiple factors--including those currently in SDWIS/Fed and others such as the presence of lead pipes and the use of corrosion control--to identify water systems that might pose a higher likelihood for violating the LCR once complete violations data are obtained, such as through SDWIS Prime. (Recommendation 3)

    Agency: Environmental Protection Agency: Office of Water
    Status: Open

    Comments: When we confirm what actions the agency has taken in response to this recommendation, we will provide updated information.
    Recommendation: The Assistant Administrator for Water of EPA's Office of Water and the Assistant Administrator of EPA's Office of Enforcement and Compliance Assurance should develop a statistical analysis that incorporates multiple factors--including those currently in SDWIS/Fed and others such as the presence of lead pipes and the use of corrosion control--to identify water systems that might pose a higher likelihood for violating the LCR once complete violations data are obtained, such as through SDWIS Prime. (Recommendation 3)

    Agency: Environmental Protection Agency: Office of Enforcement and Compliance Assurance
    Status: Open

    Comments: When we confirm what actions the agency has taken in response to this recommendation, we will provide updated information.
    Director: Gomez, Jose A
    Phone: (202) 512-3841

    1 open recommendations
    Recommendation: To address challenges the Task Force faces in producing comprehensive and useful assessments of progress and addressing factors that may limit GLRI progress, the EPA Administrator, in coordination with the Task Force, as appropriate, should establish an adaptive management plan that includes all of the key elements of adaptive management and provides details on how these elements will be implemented.

    Agency: Environmental Protection Agency
    Status: Open

    Comments: In July 2017, EPA notified GAO that the final GLRI adaptive management report is due to be released in December 2017. We will review the report after it becomes available.
    Director: Trimble, David C
    Phone: (202)512-9338

    4 open recommendations
    Recommendation: To increase EPA's consistency, transparency, and clarity in implementing the Safe Drinking Water Act in a way that better assures the public of safe drinking water, and to systematically implement the statutory requirement to consider for regulation the contaminants that present the greatest public health concern, the EPA Administrator should require that the Office of Water to develop a coordinated process for obtaining both the occurrence and health effects data that may be needed for the agency to make informed regulatory determinations on these priority contaminants.

    Agency: Environmental Protection Agency
    Status: Open

    Comments: EPA has not demonstrated that it has developed a coordinated process for obtaining both occurrence and health effects data to make informed determinations on priority contaminants. EPA's response to this recommendation is that it will continue the status quo of obtaining occurrence data through UCMRs and work with the Office of Research and Development. As we reported, the approach EPA currently uses does not provide the agency with all of the data it needs in a timely manner to support determinations for some priority contaminants.
    Recommendation: To increase EPA's consistency, transparency, and clarity in implementing the Safe Drinking Water Act in a way that better assures the public of safe drinking water, and to support the development of regulatory determinations that are transparent, clear, and consistent and that follow applicable agency policy, the EPA Administrator should require the Office of Water to expeditiously develop, and make available to the public, policies or guidance that clearly articulates the agency's interpretation of the act's broad statutory criteria for making regulatory determinations and provides a protocol for making such determinations. In particular, the guidance should establish a process to ensure that the presentation of health effects and occurrence information in regulatory determination notices and support documents is comprehensive, consistent, informative, and understandable and that it includes clear explanations of key information, such as any exceptions to existing guidance reflected in the agency's support for its regulatory determinations.

    Agency: Environmental Protection Agency
    Status: Open

    Comments: EPA's Preliminary Regulatory Determinations for Contaminants on the Third Drinking Water Contaminant Candidate List (Reg Det 3) did not appear to include any cases in which EPA made an exception to existing guidance, negating the need for an explanation. EPA has not developed policies or guidance that establishes a process to ensure that the presentation of health effects and occurrence information in regulatory determination notices and support documents is comprehensive, consistent, informative, and understandable, and that it includes clear explanations of key information and the Protocol for Regulatory Determinations 3 does not appear to address this circumstance. Without policies or guidance establishing a process to ensure the comprehensive, consistent, informative, and understandable presentation of its regulatory determinations, there is no guarantee at this time that EPA would include this information in future regulatory determinations.
    Recommendation: To increase EPA's consistency, transparency, and clarity in implementing the Safe Drinking Water Act in a way that better assures the public of safe drinking water, and to support the development of regulatory determinations that are transparent, clear, and consistent and that follow applicable agency policy, the EPA Administrator should require the Office of Water to expeditiously develop, and make available to the public, policies or guidance that clearly articulates the agency's interpretation of the act's broad statutory criteria for making regulatory determinations and provides a protocol for making such determinations. In particular, the guidance should specify that appropriate stakeholders--that is, EPA offices with relevant expertise such as the Office of Children's Health Protection and regional offices that have known or likely occurrence of the contaminants being evaluated in public water systems within their areas of jurisdiction--be encouraged and have the opportunity to participate in the regulatory determination work groups.

    Agency: Environmental Protection Agency
    Status: Open

    Comments: EPA's response to this recommendation reflects the practice that was in place at the time we issued our report including this recommendation. As a result, it does not appear that EPA has taken any additional action to satisfy this recommendation at this time.
    Recommendation: In light of EPA's decisions to issue health advisories in conjunction with determinations to not regulate certain contaminants that have been detected in some public water systems at levels of public health concern, the EPA Administrator should (1) determine whether the Office of Water's use of health advisories provides sufficient information on these unregulated contaminants to support timely and effective actions by states, localities, public water systems, and the public to ensure the safety of public drinking water, and (2) if not, direct the Office of Water to develop a plan to more effectively communicate such information to these entities.

    Agency: Environmental Protection Agency
    Status: Open

    Comments: EPA indicated that it has begun a process of developing concise updates to carry forward into its health advisory table and that the process will be completed gradually over the next year, with updates continuing in the future, but has not yet published any updates for non-microbial contaminants. In addition, EPA has not addressed the call in the recommendation for the documentation of the process to update the advisories. The agency did indicate its plan to update the Drinking Water Standards and Health Advisory table in the fall of 2016, so we will leave this recommendation open and continue to monitor for future actions.