This is the accessible text file for GAO report number GAO-02-552T 
entitled 'Environmental Protection: Observations on Elevating the 
Environmental Protection Agency to Cabinet Status' which was released 
on March 21, 2002. 

This text file was formatted by the U.S. General Accounting Office 
(GAO) to be accessible to users with visual impairments, as part of a 
longer term project to improve GAO products' accessibility. Every 
attempt has been made to maintain the structural and data integrity of 
the original printed product. Accessibility features, such as text 
descriptions of tables, consecutively numbered footnotes placed at the 
end of the file, and the text of agency comment letters, are provided 
but may not exactly duplicate the presentation or format of the 
printed version. The portable document format (PDF) file is an exact 
electronic replica of the printed version. We welcome your feedback. 
Please E-mail your comments regarding the contents or accessibility 
features of this document to Webmaster@gao.gov. 

This is a work of the U.S. government and is not subject to copyright 
protection in the United States. It may be reproduced and distributed 
in its entirety without further permission from GAO. Because this work 
may contain copyrighted images or other material, permission from the 
copyright holder may be necessary if you wish to reproduce this 
material separately. 

United States General Accounting Office: 
GAO: 

Testimony: 

Before the Subcommittee on Energy Policy, Natural Resources and 
Regulatory Affairs, Committee on Government Reform, House of 
Representatives: 

For Release on Delivery: 
Expected at 9:30 a.m. 
Thursday, March 21, 2002: 

Environmental Protection: 

Observations on Elevating the Environmental Protection Agency to
Cabinet Status: 

Statement of John B. Stephenson: 
Director, Natural Resources and Environment: 

GAO-02-552T: 

Mr. Chairman and Members of the Subcommittee: 

We appreciate the opportunity to appear before you today in the 
Subcommittee's hearing on legislation to elevate the Environmental 
Protection Agency (EPA) to Cabinet status. As requested, my testimony 
discusses (1) our views on providing EPA with Cabinet status and (2) 
the major management challenges that the agency faces in meeting its 
mission, regardless of whether it becomes a Cabinet department or 
remains an agency. 

My testimony today is based on a body of our reports on EPA's 
organizational structure, human capital activities, information 
requirements, and relationships with its state partners. We also have 
testified on elevating EPA before—as early as 1988, when we discussed 
EPA's increasing environmental policy role in shaping other domestic 
and foreign policies. 

While the decision to alter EPA's organizational status is a policy 
matter for the Congress and the President to decide, we believe that 
there is merit to considering elevating EPA to a Cabinet department. 
Since EPA was created in 1970, its responsibilities have grown 
enormously, along with greater understanding of the environmental 
problems facing the nation. Today, EPA's mission, size, and scope of 
responsibilities place it on a par with many Cabinet departments. As a 
result, it is important to consider that (1) environmental policy be 
given appropriate weight as it cuts across the domestic and foreign 
policies that other Cabinet departments implement and enforce and (2) 
the head of the agency is able to deal as an equal with his or her 
counterparts within the federal government and within the 
international community as well. Providing Cabinet status would also 
clarify the organization's direct access to the President on 
environmental matters. 

Regardless of its status as a department or agency, EPA must respond 
more effectively to the fundamental performance and accountability 
management challenges it faces if it is to achieve its mission. These 
challenges include (1) placing the right people with the appropriate 
skills where they are needed and (2) gaining access to high-quality
environmental, natural, and social data on which to base environmental 
decisions. Also, EPA must have the flexibility to use innovative 
approaches to address the most complex and intractable environmental 
problems. Meeting these challenges will require the sustained 
attention of the agency's senior leaders. 

Issues to Weigh in Considering Cabinet Status for EPA: 

Organizational changes are common within the federal government, 
occurring when federal missions change, when certain activities are to 
be emphasized or de-emphasized, and when a new organizational 
structure is needed to improve the effectiveness of federal programs. 
In effect, the types of federal organizations and their activities 
reflect shifting perceptions of national problems and how the 
government can best deal with them. 

Conferring Cabinet status on EPA would not in itself change the 
federal environmental role or policies, but it would clearly have an 
important symbolic effect. The United States is the only major 
industrial power without a Cabinet-level environmental organization. 
The additional visibility and prestige that comes with Cabinet status 
would send the symbolic, but important, message to other federal 
departments and foreign nations that the United States is fully 
committed to solving the most serious and complex domestic and global 
environmental problems. 

Determining which federal activities should receive emphasis at the 
highest levels of government is not a straightforward task. That is, 
the criteria are not clear-cut for determining the type of 
organizational structure that would be most suitable for establishing 
and carrying out federal policy and programs for the activities.
Several factors, however, should be considered when deliberating the 
structure and role of federal organizations. For example, budgetary 
and staffing levels provide some measure of whether an organization's 
programs warrant Cabinet-level emphasis. With an annual budget 
exceeding $7 billion and a staffing level of 18,000 employees, EPA is 
larger than several existing Cabinet-level departments. 

Other factors, although less quantifiable than budgetary and staffing 
levels, should also be considered in determining the most appropriate 
organizational structure for formulating and implementing federal 
polices and objectives. They include the (1) significance of the 
problems to be addressed, (2) the extent and level of interaction and 
coordination necessary with other federal departments, and (3) the 
need for international cooperation in formulating long-term policies. 
Such factors are clearly applicable to EPA's role and responsibilities 
in managing the nation's response to domestic and foreign 
environmental problems. In this regard: 

* Environmental problems are often long-term, complex, and enormously 
expensive, and pose significant threats to human health and natural 
ecosystems. As one measure of economic impact, in 1990, EPA estimated 
that total pollution control expenditures in the United States by 
industry, government, and households in the late 1980s were between 
$100 billion and $120 billion annually in 1990 dollars. These 
estimated expenditures were for air and radiation, water, solid waste, 
hazardous waste, leaking underground storage tanks, Superfund sites, 
and pesticides and toxic substances. The agency projected that total 
expenditures would rise from 1.9 percent of the U.S. Gross Domestic 
Product (GDP) in 1987 to between 2.6 and 2.8 percent of the GDP by the 
year 2000. Even as our government tries to solve old environmental 
problems, new ones, such as global warming and the depletion of 
stratospheric ozone, demand increasing attention. It is likely that 
these issues will be even more difficult and expensive to solve. 

* As the agency responsible for establishing environmental policy, EPA 
must interact regularly with the departments of Agriculture, Defense, 
Energy, the Interior, State, Transportation, and others. These 
agencies spend billions of dollars annually to comply with 
environmental laws and clean up past contamination. However, years of 
experience have demonstrated that these agencies do not always provide 
the support and cooperation necessary to further environmental goals. 
In this regard, environmental consequences were largely ignored at 
sites of the Department of Defense (e.g., in testing mustard gas at 
Spring Valley in Washington, D.C.); Department of Energy, (e.g., in 
using nuclear materials at Rocky Flats, Colorado); and Department of 
the Interior (e.g., in dealing with thousands of abandoned mines on 
federal lands). Such sites now are likely to cost the nation hundreds 
of billions of dollars to correct polluted conditions. Furthermore, 
jurisdictional conflicts have created roadblocks that are not 
conducive to cooperating with EPA and that have sometimes resulted in 
placing a low priority on environmental protection. Such conflicts 
could be addressed more effectively in the future by placing the head 
of the federal environmental organization on an equal footing with the 
heads of other federal departments. This would enable environmental 
issues to better compete with other national issues in policy, 
budgetary, and programmatic decisions as they are being made. 

* International environmental problems involving climate change, 
stratospheric ozone depletion, and acid rain will require greater 
attention in the 21st century. On these and other issues, EPA's key 
international functions include providing technical expertise to the 
State Department in integrating environmental policies into 
environmental treaties and foreign trade agreements. For example, 
under the Clean Air Act, EPA played a major role in implementing the 
Montreal Protocol by issuing administrative changes to the final rule 
to phase out ozone-depleting substances in 1995, and provides data and 
funding that support the protocol. Cabinet status for EPA could 
enhance the ability of the United States to provide leadership and 
assistance to the rest of the world by conveying that the nation 
recognizes the seriousness of domestic and global environmental 
problems, and that the problems are receiving adequate attention. 

EPA Faces Major Management Challenges That Hinder Its Efforts to Meet 
Its Mission: 

Whether or not EPA becomes a Cabinet-level department, the challenges 
that await it are formidable. Department or agency, it must, first of 
all, pay greater attention to strategic human capital management to 
improve its performance and accountability in accomplishing its 
mission of protecting human health and the environment. It must also 
develop high-quality information to support its regulatory programs 
and measure environmental results. Finally, it must find alternatives 
to traditional regulatory approaches in order to streamline 
environmental requirements while encouraging more effective risk-based 
means of protecting the environment. 

Implementing an Effective Workforce Strategy Would Help EPA to Achieve 
Its Mission: 

In the past, EPA, like most federal agencies, has not made strategic 
human capital management an integral part of its strategic and 
programmatic approaches to accomplishing its mission. To emphasize our 
concern about and the importance of this area, in January 2001, we 
included human capital management as a newly designated governmentwide 
high-risk area.[Footnote 1] In addition, at the beginning of this 
month, we released to federal agencies our "Model of Strategic Human 
Capital Management",[Footnote 2] to help agency leaders effectively 
lead and manage their people and integrate human capital 
considerations into daily decision-making and the program results they 
seek to achieve. 

We also note that the administration is giving increased attention to 
strategic human capital management. The President has placed human 
capital at the top of his management agenda and the Office of 
Management and Budget has assessed agencies' progress in addressing 
their individual human capital challenges as part of its management 
scorecard. Agencies have also prepared workforce analyses as an 
initial phase of implementing the President's initiative to have 
agencies restructure their workforces to streamline organizations. 

To its credit, EPA is one of the agencies that recently has recognized 
the importance of human capital and made substantial progress in 
developing a strategy to more effectively manage its workforce. The 
agency is now in a good position to move forward during the next few 
years toward implementing the human capital activities that are 
associated with high-performing organizations. Nonetheless, several 
key actions will be necessary to ensure that EPA's efforts to better 
manage its workforce become an integral part of the way it does 
business, and not just another paper exercise. In this regard, EPA 
must improve its strategic planning process to specifically address 
how human capital activities will help the agency achieve its goals, 
identify the specific milestones for completing actions to implement 
its human capital objectives, and establish results-oriented 
performance measures. 

In addition, EPA must more aggressively manage its workforce to obtain 
the economies, efficiencies, and effectiveness associated with 
determining the appropriate size of its workforce, the deployment of 
its staff geographically and organizationally, and the skills needed 
to support its mission. For example, in October 2001, we reported that 
without workforce planning and analysis, EPA was not able to determine 
the (1) appropriate workforce size, (2) balance between staff carrying 
out enforcement functions and staff providing technical and compliance 
assistance, and (3) location of regional staff needed to ensure that 
regulated industries receive consistent, fair, and equitable treatment 
throughout the nation. We also noted that the number of enforcement 
staff available to oversee state enforcement programs varied 
significantly among EPA's 10 regions, raising questions about some 
regions' ability to provide consistent levels of oversight to the 
states. 

As a result of our work, we recommended that the EPA Administrator 
collect and review complete and reliable information on regional 
workforce requirements and capabilities before transferring $25 
million of EPA's fiscal year 2002 budget for a new state enforcement 
grant program and eliminating 270 of EPA's enforcement staff 
positions. (Citing our report, the Congress did not provide EPA with 
authority to carry out this transfer.) We also recommended that the 
EPA Administrator take agencywide actions to (1) develop a system for 
allocating and deploying EPA's workforce, (2) target recruitment and 
hiring practices to fill critical needs for skills such as those for 
environmental engineering, toxicology, and ecology, and (3) implement 
training practices that provide a link between developmental 
opportunities and the competencies needed to accomplish EPA's mission. 
EPA concurred with these recommendations and is in the process of 
implementing them. 

EPA Needs Better Environmental and Scientific Information to Manage 
Risks and Measure Results: 

More Complete and Accurate Data Are Needed to Characterize Risk
To ensure that it is meeting its mission effectively, EPA needs high-
quality scientific and environmental information to establish 
priorities that reflect risks to human health and the environment, and 
that compare risk reduction strategies across programs and pollution 
problems. Such information is also needed to identify and respond to 
emerging problems before significant damage is done to the 
environment. While EPA has collected a vast amount of scientific and 
environmental data, much of the data is not complete and accurate 
enough to credibly assess risks and establish corresponding risk 
reduction strategies. 

Likewise, primarily because of inadequacies in its scientific and 
environmental data, EPA has not been successful in identifying, 
developing, and reaching agreement with its stakeholders on a 
comprehensive set of measures to link EPA's activities to changes in 
human health and the environment. Spurred by the Government 
Performance and Results Act of 1993, (GPRA), EPA has made some 
progress in measuring the results (outcomes) of its programs but doing 
so has proved to be a difficult task for the agency, and relatively 
few outcome measures have been developed to date. 

We note that the Subcommittee is considering a bill that would, among 
other things, create a Bureau of Environmental Statistics with broad 
authority to collect, compile, analyze, and publish a comprehensive 
set of environmental quality and related measures of public health. As 
a focal point for information collection within a new department, such 
a bureau, if managed properly, could not only inform the department 
and the public about the state of the environment, but it could also 
provide measures that can be linked to actions to protect the 
environment. 

More Complete and Accurate Data Are Needed to Characterize Risk: 

Establishing risk-based priorities for EPA's programs requires high-
quality data on the use and disposal of chemicals. To assess human 
exposure to a chemical, the agency needs to know how many people are 
exposed; how the exposure occurs; and the amount and duration of the 
exposure. To assess environmental exposure, EPA needs to know whether 
the chemical is released to the air, water, or land; how much is being 
released; and how wide an area is being affected. 

Historically, EPA's ability to assess risks and establish risk-based 
priorities has been hampered by data quality problems, including 
critical data gaps, databases that are not compatible with one 
another, and persistent concerns about the accuracy of the data in 
many of EPA's data systems. Thus, while EPA's priorities should 
reflect an understanding of the relative risk that a chemical poses to 
the environment and human health and values, good data often do not 
exist to fully characterize risk. For example: 

* Substantial gaps exist in EPA's Integrated Risk Information System, 
a database of the agency's consensus on the potential health effects 
of chronic exposure to various substances found in the environment. 
This database lacks basic data on the toxicity of about two-thirds of 
the known hazardous air pollutants. 

* EPA developed many program-specific databases over the years that 
contain enormous amounts of data that cannot be integrated with one 
another because they were developed and maintained to support specific 
programs and activities and lack common data standards (definitions 
and formats). 

* EPA extensively relies on data provided by the states, but much of 
the data have not been verified, and EPA does not know the quality of 
the data. 

We have made numerous recommendations over the years to help EPA 
improve its data, including a recommendation that EPA develop a 
comprehensive information management strategy to ensure the 
completeness, compatibility, and accuracy of its data While concurring 
with the thrust of our recommendations, EPA has made slow and 
uncertain progress in addressing its long-standing information 
challenges and will require a much more focused approach and top 
management attention to meet its information needs. 

Success in Developing Environmental Measures Will Depend on Data 
Improvements: 

Better data are also needed to measure the results of EPA's efforts 
and determine its effectiveness in meeting its mission. Well-chosen 
environmental measures inform policymakers, the public, and EPA 
managers about the condition of the environment and provide for 
assessing the potential danger posed by pollution and contamination. 
They are also indispensable to sound decisions on EPA's future 
priority-setting and budgeting. 

GPRA requires EPA and other federal agencies to prepare performance 
plans containing annual performance goals and measures to help move 
them toward managing for results. Performance measures are the 
yardsticks to determine success in meeting a level of performance 
expressed as a tangible, measurable objective against which actual 
achievement can be compared. Although EPA has made progress under the 
act, our analysis of its fiscal year 2000 performance plan showed that 
over 80 percent of the agency's performance measures were program 
outputs, such as the number of regulations issued, rather than 
reductions in pollutants or their adverse effects on the ecology or 
human health.[Footnote 3] 

The EPA Administrator recently announced a major initiative aimed at 
developing measures of future environmental performance. The new 
"Environmental Indicators Initiative" is intended to collect measures 
of environmental quality and integrate them into a single agencywide 
information system for reporting measures of both activities and 
outcomes that reflect EPA's ability to show environmental progress. 
Significantly, the effort also involves an advisory group led by the 
Council on Environmental Quality (CEQ) that will collect environmental 
indicators tracked by federal agencies. This effort should help EPA to 
report health and environmental conditions beyond the agency's purview. 

While this step is in the right direction, EPA will face an enormous 
challenge in getting the scientific and environmental data that it 
needs to develop outcome-oriented performance measures. Such data on 
exposure to pollution and its effects is often difficult and costly to 
obtain because of the monitoring equipment and staff resources 
required. Consequently, EPA estimates the types and amounts of 
exposure on the basis of a chemical's physical properties, how it is 
used, the industrial processes for producing and processing it, 
production volumes, and the type and amount of releases to the 
environment. However, much of the basic data that EPA needs to develop 
its estimates are not available, and the agency must rely on models or 
other analytical techniques. Moreover, EPA rarely has sufficient data 
to permit full analysis of a chemical, and the agency has little 
assurance that its exposure assessments are accurate and complete. 

Creating a Bureau of Environmental Statistics would place an emphasis 
on obtaining high-quality data and could considerably strengthen the 
agency's ability to manage its programs to obtain environmental 
improvements, provided that the bureau is given sufficient authority, 
resources, and staff expertise to accomplish its complex job. 
Aggressive actions to find out more about what aspects of the 
environment are most improved or most degraded should enable EPA to 
better link its knowledge of these conditions with its programs and 
activities. EPA could then determine which activities are successful 
in correcting problems and which are not. 

The creation of a Bureau of Environmental Statistics could be 
particularly helpful with regard to obtaining the environmental, 
health, and economic impact information collected by other federal 
agencies but not currently integrated with EPA's data. The agency's 
Science Advisory Board has recommended that EPA do more to link the 
agency's databases with federal and other external databases, noting, 
"answering many health-related questions frequently requires linking 
environmental data to census, cancer or birth registry data, or other 
data systems (such as water distribution maps) to determine whether 
there is a relationship between the environmental measures and 
health." While EPA officials recognize the importance of linking EPA's 
databases with those of other agencies, neither EPA nor the other 
agencies have made significant progress because data linkage is not 
specifically required and the agencies have higher priority funding 
demands. 

Obstacles to Innovative Regulatory Programs: 

In the current federal approach to environmental protection, EPA, 
under various environmental statutes, prescribes regulations with 
which states, localities, and private companies must comply. This 
approach, commonly referred to as command and control, has achieved 
some important benefits, but the additional improvements to address 
some of the nation's most pressing environmental problems warrant new 
and more cost-effective approaches. EPA responded during the 1990s 
with a variety of initiatives intended to encourage its state partners 
and others to propose innovative regulatory strategies that could 
streamline environmental requirements while encouraging more effective 
means of protecting the environment. 

As we and other organizations have reported in past years, however, 
EPA's effectiveness in promoting regulatory innovation has been 
limited. Most recently, we evaluated the particular problems facing 
states in their own efforts to pursue innovative regulatory programs. 
We found their most significant obstacles to be the detailed 
requirements of prescriptive federal environmental regulations, along 
with a cultural resistance among many EPA staff toward alternative 
approaches—often manifested in lengthy and costly reviews of state 
proposals.[Footnote 4] In some cases, the cultural resistance was 
traced back to the belief of EPA staff that strict interpretations 
must be applied to detailed regulations if they are to be legally 
defensible. This belief, in turn, has significantly hindered the 
efforts of states in their efforts to test innovative proposals to 
determine whether they could achieve greater environmental benefits at 
lower costs. 

Acting on a recommendation of the EPA Task Force on Improving EPA 
Regulations, the agency plans to involve states early in the process 
used to develop regulations in order to help ensure that the 
regulations will be developed in a manner that encourages, rather than 
inhibits, innovation. This approach, however, is a limited response 
because it will not address prescriptive regulations that already 
exist. To overcome the constraints on innovation imposed by a strict 
interpretation of the existing prescriptive regulations, EPA would 
need legislative changes providing the agency with broad statutory 
authority, or a "safe legal harbor," for allowing states and others to 
use innovative approaches in carrying out federal environmental 
statutes. In the absence of such authority, the effectiveness of 
future innovative efforts will require close monitoring by EPA and its 
stakeholders and the continued attention of the Congress. In addition,
EPA needs to make a strong commitment to improving its performance 
measures to ensure that the new approaches are more effective than the 
traditional approaches they replace. 

We recently initiated a comprehensive management review of EPA that 
will include many of the areas being considered by the Subcommittee as 
it deliberates the legislation before it to elevate EPA to Cabinet 
status. Our review will assess the agency's management, analyze 
problems, determine their underlying causes, and recommend actions to 
improve the management of environmental programs. As we complete our 
work over the coming months, we would be pleased to share our results 
with the Subcommittee. 

Mr. Chairman, this concludes my prepared testimony. I would be pleased 
to respond to any questions that you or other Members of the 
Subcommittee might have. 

Contacts and Acknowledgments: 

For information about this testimony, please contact John B. Stephenson
at (202) 512-6225 or stephensonj@gao.gov. This statement is available 
on GAO's home page at http://www.gao.gov. Individuals making key
contributions to this testimony were Ed Kratzer and Ralph Lowry. 

[End of section] 

Footnotes: 

[1] U.S. General Accounting Office, High Risk Series: An Update, 
[hyperlink, http://www.gao.gov/products/GAO-01-263] (Washington, D.C.: 
January 2001). 

[2] U.S. General Accounting Office, A Model of Strategic Human Capital 
Management Exposure Draft, [hyperlink, 
http://www.gao.gov/products/GAO-02-373SP] (Washington, D.C.: March 
2002.)	 

[3] U.S. General Accounting Office, Managing for Results: EPA Faces 
Challenges in Developing Results-Oriented Performance Goals and 
Measure: [hyperlink, http://www.gao.gov/products/GAO/RCED-00-77] 
(Washington, D. C., April 28, 2000). 

[4] U.S. General Accounting Office, Environmental Protection: 
Overcoming Obstacles to Innovative State Regulatory Programs, 
[hyperlink, http://www.gao.gov/products/GAO-02-268] (Washington, 
D.C.:March 4, 2002.) 

[End of section]