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Testimony:

Before the Committee on Small Business and Entrepreneurship, U.S. 
Senate:

United States General Accounting Office:

GAO:

For Release on Delivery Expected at 9:30 a.m. EDT Thursday, May 1, 
2003:

Small Business Administration:

Observations on the Disaster Loan Program:

Statement of Davi M. D'Agostino 
Director, Financial Markets and Community Investment:

GAO-03-721T:

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Madam Chair and Members of the Committee:

I am pleased to be with you today at this roundtable to discuss the 
role of the Small Business Administration's (SBA) Disaster Loan Program 
in responding to the September 11, 2001, terrorist attacks, general 
performance measures for the program, and the effects of SBA's program 
to sell loans to private investors on disaster loans and their 
borrowers. As you know, the effects of the September 11 attacks were 
felt not only in New York but also around our country, with the 
economic damage occurring in states as far west as California. The 
unique nature of the attacks and the government's response required SBA 
to make unprecedented efforts to expand its disaster lending coverage 
and to be flexible in its efforts to serve those needing assistance. 
Notwithstanding SBA's extraordinary performance in responding to the 
September 11 attacks, our work showed that the Disaster Loan Program's 
performance measures do not fully or adequately reflect SBA's actual 
performance. In reviewing SBA's loan sales program, which includes 
disaster loans, we identified three areas needing improvement: tracking 
borrower inquiries and complaints; sales budgeting and accounting, 
which affect the reliability of SBA financial statements and budget 
information; and reporting on the operational benefits of the loan 
sales.

My remarks today will focus on SBA's (1) response to the September 11 
terrorist attacks; (2) performance plans and measures for its Disaster 
Loan Program; and (3) loan asset sales program, which involves selling 
disaster and other loans.[Footnote 1] My comments are based on our 
recent reports on SBA's Disaster Loan Program (Small Business 
Administration: Response to September 11 Victims and Performance 
Measure for Disaster Lending, GAO-03-385, Jan. 29, 2003) and loan asset 
sales program (Small Business Administration: Accounting Anomalies and 
Limited Operational Data Make Results of Loan Sales Uncertain, GAO-03-
87, Jan. 3, 2003).[Footnote 2] Both are available on our Web site: 
www.gao.gov.

Summary:

The nature of the September 11 attacks and subsequent government 
actions presented SBA's Disaster Loan Program with new and difficult 
challenges. Specifically, small businesses in both the declared 
disaster areas and around the nation suffered economic injury. SBA 
sought to respond to the concerns of small businesses in the months 
following September 11 by extending eligibility for economic injury 
loans nationwide--a marked change from earlier disasters that affected 
primarily businesses in one geographic location. In addition, SBA 
modified both the terms and lending practices of its Disaster Loan 
Program--for example, by reducing the amount of documentation some 
borrowers needed to provide. Congress supported these efforts with 
supplemental appropriations that allowed SBA to offer larger loans to a 
relatively broad population of victims. By the end of fiscal year 2002, 
the agency had worked with individuals and businesses in all 50 states, 
the District of Columbia, and the U.S. territories, approving 9,700 
loans totaling $966 million.

We found that SBA had adapted its Disaster Loan Program to respond to 
the needs of September 11 victims but that SBA's performance measures 
did not provide congressional decision makers with an accurate 
description of the program's performance. For example, two of SBA's six 
performance measures assessed only one discrete step in the loan 
application and disbursement processes--the application process. In 
addition, some output measures[Footnote 3] had not kept up with SBA's 
actual progress in assisting disaster victims. Further, we identified 
features in SBA's description of its Disaster Loan Program in the 2002 
and 2003 performance plans that made assessing the agency's progress in 
attaining its strategic goals difficult. For example, although SBA 
guidance recommended that program goals be outcome oriented, SBA's 2003 
performance goal was output oriented.

Our review of SBA's five loan sales from August 1999 to January 2002 
revealed that 85 percent of the $4.4 billion in loans sold were 
disaster assistance home and business loans. SBA established some 
policies to protect borrowers whose loans were sold. For example, 
disaster loans less than 2 years old were not sold because they 
typically required more servicing and sometimes had to be increased to 
cover exigencies, such as revised physical damage estimates. In trying 
to determine how borrowers reacted to having their loans sold, we found 
that SBA relied on borrower inquiries and complaints to determine 
whether purchasers of the loans were using prudent loan servicing 
practices. However, information on borrowers' reactions was incomplete 
because SBA did not have a comprehensive process to capture the 
inquiries and complaints it receives. Moreover, we found serious issues 
in SBA's budgeting and accounting for the loans sold, as well as the 
remainder of the portfolio. For example, SBA incorrectly calculated the 
accounting losses on the loan sales and lacked reliable financial data 
to determine the overall financial impact of the sales. In addition, 
there were significant unexplained declines in the subsidy allowance 
for the disaster program. We discussed these issues with SBA's auditor 
who subsequently withdrew its "clean" financial statement audit 
opinions for fiscal years 2000 and 2001 and disclaimed an opinion for 
2002. SBA is continuing to work on resolving its accounting and 
financial reporting problems. Finally, our analysis of the operational 
benefits from loan sales suggested that some benefits that SBA 
reported, such as reductions in servicing and workload volume, either 
had not yet materialized or were overstated.

Background:

When disasters such as floods, tornadoes, or earthquakes strike, 
federal, state, and local government agencies coordinate to provide 
assistance to disaster victims. SBA, through its Disaster Loan Program, 
is part of this effort. SBA provides loans to households and businesses 
without credit available elsewhere at a maximum rate of 4 percent and 
up to a 30-year term. For households or businesses with credit 
available elsewhere, SBA provides loans at a maximum rate of 8 percent 
and, for businesses, up to a 3-year term. Business loans are available 
up to $1.5 mill[Footnote 4]ion, loans for physical damage to homes are 
available up to $200,000, and loans for the repair or replacement of 
personal property are available up to $40,000.

Like other federal programs, SBA's Disaster Loan Program follows 
performance measurement guidelines under the Government Performance and 
Results Act (GPRA) of 1993.[Footnote 5] GPRA requires agencies to set 
multiyear strategic goals in their strategic plans and corresponding 
annual goals in their performance plans, measure performance toward the 
achievement of those goals, and report on their progress in their 
annual performance reports.[Footnote 6] Annual performance plans are 
sent to Congress soon after the transmittal of the President's budget 
and provide a direct linkage between an agency's long-term goals and 
mission and day-to-day activities. Related annual performance reports 
describe the degree to which performance goals have been met. Guidance 
from the Office of Management and Budget (OMB) indicates that 
performance plans should include measures of outcomes--intended 
results--when the outcomes can be achieved during the fiscal year 
covered by the plan. Otherwise, the guidance recognizes that the 
performance plans will predominantly include measures of outputs 
(program activities) rather than outcomes.

In 1999, SBA began a loan asset sales program, at the direction of OMB, 
to reduce the amount of debt the agency owned and serviced. OMB is 
interested in increasing loan asset sales in order to improve the 
management of loan assets and to transfer loan servicing 
responsibilities to the private sector. Our review focused on SBA's 
first five loan sales through January 2002 in which 110,000 loans with 
an outstanding balance of $4.4 billion were sold. Approximately 85 
percent of the dollar volume of loans SBA sold were disaster assistance 
loans made directly by SBA, most of which have below-market borrower 
interest rates. The remaining 15 percent were mostly defaulted 7(a) 
loans, made by SBA's lending partners (primarily banks).

SBA Expanded and Changed the Terms of Its Disaster Loan Program in 
Response to the September 11 Attacks:

In the weeks and months following the terrorist attacks, SBA and 
Congress faced the challenge of responding to the lingering effects of 
the attacks and subsequent federal actions on small businesses 
throughout the country. SBA responded first in Lower Manhattan, then 
expanded its response as additional parts of the New York City and 
Pentagon areas were designated disaster areas. Ultimately, SBA helped 
small businesses around the country with disaster lending. In response 
to the concerns expressed by small businesses, SBA and Congress 
modified the program, expanding eligibility for economic injury loans 
to small businesses around the country, providing translators for 
applicants, modifying the size standards for small businesses, 
expediting the loan approval and disbursement processes, and providing 
larger loans.

SBA's Response Covered Small Businesses Nationwide:

SBA's response to the terrorist attacks began on September 11, when SBA 
officials arrived in Lower Manhattan to begin coordinating the agency's 
efforts. The initial disaster area in New York City and New Jersey 
eventually expanded to include additional counties in Connecticut, 
Massachusetts, New Jersey, New York, and Pennsylvania. Maryland, 
Virginia, and parts of the District of Columbia were also declared 
disaster areas for SBA purposes. As the United States began to deploy 
military personnel in response to the terrorist attacks, small 
businesses nationwide affected by the loss of employees called up as 
military reservists were eligible to apply for a disaster loan under 
the Military Reservist Economic Injury Disaster Loan (EIDL) 
program.[Footnote 7] Small businesses across the nation that were 
adversely affected by the lingering effects of the attacks and 
subsequent government action, such as airport closings and the 
precipitous drop in tourism, were also eligible to receive disaster 
loans under SBA's Expanded EIDL program. In essence, the entire country 
was deemed a disaster area.

More than half the loans went to small businesses outside the area of 
the attack sites in New York City and at the Pentagon, with businesses 
in Florida and California receiving the second and third largest share 
of loans (see fig. 1). Loans ranged from $300 to $1.5 million, with 
$50,000 as the most frequently disbursed amount (11 percent of all 
loans). Businesses outside the immediate sites of the attacks generally 
received slightly more than those close by, in part because they did 
not have access to the resources available in New York City. The loans 
were spread among industries, with no single type of business 
accounting for most of the funds (see fig. 2). The manufacturing sector 
received the most funds, followed by professional, scientific, and 
technical services; transportation and warehousing; wholesale trade; 
and accommodation and food services.

Figure 1: Geographic Distribution of SBA September 11 Loan 
Disbursements:

[See PDF for image]

[End of figure]

Figure 2: SBA September 11 Business Loan Disbursements, By Industry:

[See PDF for image]

[End of figure]

SBA and Congress Modified the Disaster Loan Program in Response to 
Complaints from Small Businesses:

In the months after the terrorist attacks, small business owners 
affected by the terrorist attacks presented a number of concerns to 
Congress about SBA's Disaster Loan Program. SBA officials regarded 
these comments as valuable feedback and worked with Congress to make 
several modifications to the program for September 11 victims:

* First, in October 2001, SBA issued regulations to make economic 
injury disaster loans available to small businesses nationwide, an 
unprecedented change to the Disaster Loan Program, according to SBA 
officials. SBA's Expanded EIDL program enabled businesses outside the 
declared disaster areas to apply for loans to cover "ordinary and 
necessary" operating expenses that could not be met because of the 
attacks or related actions of the federal government between September 
11 and October 22, 2001.

* Second, SBA printed informational packets in languages such as 
Spanish and Chinese; provided multilingual staff at its offices who 
could speak Mandarin Chinese, Croatian, Arabic, and Spanish; and was 
prepared to send employees with additional language capabilities to New 
York City.

* Third, in February 2002, SBA modified the size standards for all 
September 11 loan applicants, allowing borrowers to take advantage of 
recent inflation-based adjustments.[Footnote 8] In addition, in March 
2002, SBA increased the size threshold for travel agencies adversely 
affected by the attacks from $1 million in annual revenues to $3 
million.

* Fourth, to expedite loan processing, loan officers streamlined their 
needs analysis, calculating economic injury loans using the applicant's 
annual sales and gross margin. By the end of fiscal year 2002, SBA was 
processing September 11 business loans, on average, in 13 days compared 
with 16 days for disaster assistance business loans processed in fiscal 
year 2001. To further expedite disbursement to those in the World Trade 
Center and Pentagon disaster areas, SBA decreased the amount of 
documentation needed to disburse up to $50,000.

* Fifth, in January 2002, Congress approved supplemental appropriations 
for SBA of $150 million, raised the maximum loan amount from $1.5 
million to $10 million, and deferred payments and interest for 2 
years.[Footnote 9] Congress also created the Supplemental Terrorist 
Activity Relief (STAR) program to provide assistance to small 
businesses affected by the terrorist attacks through SBA's 7(a) loan 
guaranty program, which is not part of the Disaster Loan Program. Under 
the STAR program, SBA reduced the fee charged to lenders on new 7(a) 
loans from 0.50 percent of the outstanding balance of the guaranteed 
portion of the loan to 0.25 percent. As of the end of fiscal year 2002, 
SBA had guaranteed about 4,700 STAR loans for $1.8 billion.

Some small businesses affected by the terrorist attacks maintained that 
SBA's underwriting criteria--for example, collateral requirements--
were too restrictive. They testified that SBA had withdrawn their 
applications because they would not use their homes as collateral. They 
argued that it was too risky to use their homes as collateral, 
especially since the survival of their businesses was uncertain. SBA, 
however, did not change its underwriting criteria for September 11 
victims. SBA officials said that the agency makes every effort to 
approve each application by applying more lenient credit standards than 
private lenders. However, the officials said that they adhered to their 
credit standards to minimize losses and program costs.

SBA data indicate that the 52 percent rate for withdrawing and 
declining September 11-related loan applications was not out of line 
when compared with other disasters or with private lenders. The primary 
reasons SBA identified for withdrawing September 11 loan applications 
was a lack of Internal Revenue Service (IRS) records to corroborate 
applicants' income, and applicants' failure to provide additional 
information SBA had requested. SBA officials said that the most common 
reasons for declining September 11 loan applications were inability to 
repay the loan and unsatisfactory credit. According to SBA, these were 
also the primary reasons for withdrawing or declining nearly two-thirds 
of all SBA disaster loan applications in fiscal year 2001.

SBA officials believed that many of the complaints about the disaster 
program resulted from the mismatch between victims' expectations of 
SBA's disaster program and the nature of the program. SBA officials 
told us that they tried to minimize public confusion about the nature 
of the assistance available from SBA by working closely with the media 
and public officials to provide accurate information about the Disaster 
Loan Program.

SBA's Disaster Program Performance Measures Do Not Capture the Scope of 
the Agency's Efforts:

The six performance indicators SBA currently uses to measure the 
Disaster Loan Program are:

* field presence within 3 days of a declaration,[Footnote 10]

* loans processed within 21 days,

* customer satisfaction rate,

* homes restored to predisaster condition,

* businesses restored to predisaster condition, and

* initial loan disbursement within 5 days of receiving closing 
documents.

We identified several problems with these measures. For example, 
several are output measures that did not reflect the actual progress 
being made. Some are proxies that did not accurately represent what was 
being measured. There is a lack of measures for intermediate or end 
outcomes, and features in SBA's description of the Disaster Loan 
Program in its performance plans made assessing the program difficult. 
Several of the limitations we found had been identified in previous GAO 
or SBA Inspector General reports and had not been corrected.[Footnote 
11]

Three Output Measures Do Not Capture Progress:

Officials from SBA's Disaster Area Offices (DAO) questioned whether the 
three output measures--establishing a field presence within 3 days of a 
disaster declaration, processing loan applications within 21 days, and 
disbursing initial loan amounts within 5 days of receiving the closing 
documents--were appropriate indicators of timely service to disaster 
victims since they did not, for example, capture recent program 
improvements. SBA has had a 98 percent success rate in meeting the 
target for establishing a field presence each fiscal year since 1998. 
Officials from the area offices said that improvements in planning, 
interagency coordination, and technology enabled them to have staff on 
site within 1 day of a disaster declaration. According to DAO staff, 
delays in establishing a field presence generally occurred because SBA 
was waiting for decisions from state officials.

SBA data and comments from DAO officials suggested that the second 
output measure--processing loan applications within 21 days of receipt-
-did not reflect improvements in past performance. For example, SBA 
aimed for an 80 percent success rate for fiscal year 2001, but the 
actual time required for processing averaged 13 days in fiscal year 
2001 and fell to 12 days in fiscal year 2002. The average time required 
to process the September 11 business loans was also about 13 days. DAO 
officials attributed their faster processing times to several 
agencywide improvements.

DAO staff also suggested that another measure--the 5-day target for 
making initial disbursements once closing documents are received--did 
not reflect past performance and was a low threshold. Before 2002, SBA 
had an internal goal of ordering disbursements within 3 days of 
receiving closing documents. When SBA included this measure in the 
performance plan, the disbursement target was increased to 5 days to 
accommodate weekends and holidays, because SBA's system for tracking 
disaster loan processing could not distinguish between workdays and 
other days. Accustomed to the stricter 3-day standard, staff were able 
to meet the 5-day standard with ease.

In commenting on a draft of our report, SBA indicated that the output 
measures were established based on what was determined to be a 
reasonable level of service in an average year, taking into account the 
amount of resources required. Because disasters cannot be predicted, 
officials did not think it would be feasible to adjust production 
levels based on a single year's performance. Even with some program 
improvements, they believed it would be very difficult and costly to 
maintain such levels during periods of multiple major disasters. 
Although SBA acknowledged that a basis for modifying some output 
measures might exist, the officials believed that the modifications 
should be based on an average level of projected activity that takes 
into consideration some permanent improvements that have been made to 
the program.

Two "Outcome" Measures Actually Assessed Outputs:

SBA officials indicated that three measures--number of homes restored 
to predisaster condition, number of businesses restored to predisaster 
condition, and customer satisfaction--were used to assess the effect, 
or outcomes of lending to disaster victims. But these "outcome" 
measures also had limitations. First, while the restoration of homes 
and businesses was a stated outcome in SBA's strategic and performance 
plans, SBA did not actually measure the number of homes and businesses 
restored. Instead, SBA reported on the number of home loans approved as 
a proxy measure for the number of homes restored to predisaster 
condition. However, these measures assessed what are actually program 
outputs (loans approved) rather than stated outcomes (homes and 
businesses restored). Such proxy measures, then, were likely to have 
overestimated the number of homes and businesses restored because 
borrowers might cancel the loan. According to SBA, about 10 percent of 
the loans approved for September 11 victims were cancelled by 
borrowers. Third, these indicators used annual figures that were 
affected by factors outside of SBA's control, such as the number of 
disasters that occurred during a given fiscal year. A more useful 
indicator would be the percentage of homes and businesses receiving 
loans that were restored each year to pre-disaster conditions.

To measure customer satisfaction, SBA used the results of its survey of 
successful loan applicants. (SBA also used this survey to evaluate the 
impact of the program.) But the survey methodology had significant 
limitations. For example, it measured the satisfaction of only a 
portion of the customers that the disaster loan program serves. Every 
DAO director we interviewed indicated that all disaster victims were 
SBA customers and that a broader population should be surveyed. In 
2001, we and the SBA Inspector General made the same suggestion to SBA. 
As we indicated then, the survey method SBA had been using was likely 
to produce positively skewed responses. SBA headquarters officials 
indicated that they were resistant to surveying those who were denied 
loans because they presumed that the applicants' responses would be 
negative.

Some Measures Did Not Assess Intermediate or End Outcomes:

Recommendations from SBA's Inspector General, and guidance from us and 
within SBA, have encouraged the use of outcome measures for this 
program. But we found that only one of the performance measures SBA was 
using--customer satisfaction--had the potential to assess a stated 
outcome of the Disaster Loan Program. The other intended outcomes, 
which could have been measured annually or biannually, such as jobs 
retained or housing restored, were not measured.

In addition, SBA had stopped using intermediate outcome measures it had 
used in the past--loan currency and delinquency rates--to assess the 
quality of disaster loans. It also had not measured another potential 
intermediate outcome from the underwriting process--having appropriate 
insurance. As one DAO official suggested, having coverage such as flood 
insurance potentially reduces the number of loans required in some 
disaster-prone areas. As we have reported previously, such insurance 
can reduce disaster assistance costs and could reduce the effect of a 
disaster on its victims.[Footnote 12]

SBA headquarters staff said that while they recognized some of these 
shortcomings, they had limited ability to develop and use better 
outcome measures. The staff indicated that the very nature of disaster 
lending was unpredictable, making it difficult to set performance 
targets for intermediate or end outcomes. One SBA official said that 
the agency is reluctant to measure and report intermediate or end 
outcomes that are outside its control. Other DAO officials indicated 
that conducting some end outcome measurement methodologies would be 
expensive--for instance, on-site inspections of a sample of homes and 
businesses to assess restoration.

We made two recommendations designed to help SBA improve its 
performance measures for disaster lending. First, we recommended that 
SBA revise the performance measures to include more outcome measures; 
assess more significant outputs, such as service to applicants or loan 
underwriting; report achievements that can be compared over several 
years, such as percentages; and include performance targets that 
encourage process improvement rather than maintaining past levels of 
performance. Second, we recommended that SBA revise and expand its 
current research to improve its measures and evaluate program impact. 
To improve its current measures, we suggested that SBA conduct 
research, such as surveying DAO staff and reviewing relevant literature 
to identify new outcome measures that could be tested. To evaluate its 
program impact, SBA needs to ensure that its survey covers all disaster 
loan applicants and to employ other methods, such as periodic analyses 
of regional statistics, to assess the economic impact of the program on 
local communities. SBA generally agreed with our recommendations and 
said it is addressing our concerns. As of this month, SBA had 
distributed a customer service survey to help evaluate the Disaster 
Loan Program's impact and was developing a broader survey. We will 
follow up with SBA regarding the status of their efforts.

SBA's Performance Plans Had Limitations:

We identified several features of the description of the Disaster Loan 
Program in the 2002 and 2003 performance plans that make it difficult 
to assess whether SBA is making progress in attaining its strategic 
goal. First, between 2002 and 2003, the program's performance goal 
changed from an outcome-oriented goal (helping families recover from 
disasters) to an output-oriented goal (streamlining disaster lending) 
without the required explanation. GPRA requires agencies to explain why 
they change performance goals, and OMB generally recommends that 
agencies use goals that are outcome-oriented.

Second, the 2002 and 2003 performance plans do not define the linkages 
between each program output and each intermediate or end outcome. The 
plans do not explain how the outputs (disaster loans) are related to 
the performance indicators (field presence, customer satisfaction, and 
application processing time frames). Third, the plans do not explain 
how the performance measures or indicators are related to either 
program outcomes or outputs. Fourth, performance indicators are added 
to or dropped from the plans without explanation, making it difficult 
to understand how and if SBA expects to improve or sustain its loan 
processing performance.

The performance plans also contain incomplete or inaccurate information 
on some performance indicators. For example, despite OMB and SBA 
guidance, validation and verification information on field presence and 
loan processing measures is omitted, making it difficult to assess the 
quality of performance data. In addition, the 2003 performance plan 
indicates that data on the number of homes restored to predisaster 
condition are based on on-site inspections of homes. However, SBA 
officials indicated that they use a proxy measure--the number of 
original home loans approved--as the actual source of data for homes 
restored to predisaster condition.

We recommended revising the section of the performance plan that covers 
the Disaster Loan Program to establish direct linkages between each 
output and outcome and the associated performance measure; accurately 
describe proxy measures as either outcome or output measures; 
accurately describe the validation and verification of performance 
measures; and explain additions, deletions, or changes from the 
previous year's goals and measures. SBA also agreed with this 
recommendation. SBA informed us this month that it has undertaken a 
long-term review of the strategic plan with the aim of revising the 
performance goals and measures and linking performance to the new plans 
and goals. We will monitor SBA's progress in implementing this 
initiative.

Loan Assets Sales Affect Disaster Loan Borrowers and the Loan Program:

A large portion--85 percent in the first 5 sales--of the loans sold are 
disaster loans previously serviced by SBA. SBA's program to sell 
disaster loans that it makes directly to borrowers and subsequently 
services results in private investors owning and servicing the loans 
over their remaining terms. It was difficult for us to determine the 
reaction of borrowers whose loans were sold because of incomplete 
records at SBA. We identified numerous errors in SBA's accounting for 
the loan sales, including unexplained declines in SBA's loss allowance 
account for disaster loans. Until corrected, these errors mean that 
SBA's subsidy estimates and reestimates for the disaster loan program 
cannot be relied upon. The operational benefits from selling loans that 
SBA has claimed may be overstated.

Information on How Selling Disaster Loans Affects Borrowers Is 
Incomplete:

SBA built in some safeguards to protect borrowers when their loans are 
sold. But, because SBA's process for documenting and tracking borrower 
inquiries and complaints has weaknesses, we could not determine how 
many borrowers had actually contacted SBA with complaints or concerns 
about the loan sales.

Borrowers have little control over what happens to their loans if SBA 
decides to sell them. However, SBA has some policies intended to 
protect the integrity of the programs that provided the loans. SBA's 
programs, including servicing disaster loans after they are made, are 
designed to help the borrower recover from a disaster. To protect this 
public policy goal, SBA's loan sales agreements with purchasers require 
certification that the investors are qualified to purchase and service 
the loans and will follow prudent loan servicing practices. The loan 
sales agreement also prevents purchasers from unilaterally changing the 
terms and conditions of the loans. In addition, SBA does not sell some 
disaster loans, including those issued to borrowers currently residing 
in a federally declared disaster area and those that are less than 2 
years old. According to SBA, more servicing is typically required in 
the first 2 years of a disaster loan--such as changes due to revised 
physical damage estimates.

Nevertheless, we were not able to validate the way in which borrowers 
reacted to the loan sales because SBA could not provide a reliable 
estimate or information on the number of borrowers who had contacted 
them about their sold loans. Complete and reliable information on 
borrower complaints is important because SBA officials told us that 
when a borrower complained about a servicing action they contacted 
purchasers to collect additional information and determine whether a 
purchaser was breaching the borrower protections. One reason why SBA's 
tracking system is ineffective is that borrowers with questions or 
complaints can call or write to several different SBA offices, or to a 
representative of Congress. Some SBA field office officials told us 
that SBA does not provide them with clear guidance on how to respond to 
or document such complaints. Officials from seven district offices, 
three servicing centers, and two disaster area offices told us that 
they had received calls and letters from borrowers who had concerns 
about loans that had been sold. But the methods for documenting 
inquiries and complaints varied across offices, except for 
congressional letters, which were consistently forwarded to SBA 
headquarters. In August 2001, SBA began providing a toll-free number 
for borrowers to call with questions or complaints about loan sales. 
Borrowers were informed about the toll-free number in a letter telling 
them how to contact the new owner of their loan. However, field office 
staff did not receive any guidance regarding the purpose and use of the 
toll-free number.

Though we were unable to determine how many borrowers have contacted 
SBA about their sold loans, we reviewed 133 of the 155 written 
inquiries and complaints documented at headquarters, along with SBA's 
written responses, to identify the types of questions and problems 
borrowers may have when their loans are sold. Our analysis showed that 
almost half (65) were inquiries and concerns about their loans being 
sold, requests to buy their own loans, or pleas not to have their loans 
sold. However, 47 of the borrowers complained about a purchaser's 
servicing action. For example, some letters involved disagreements or 
frustration with servicing decisions, such as refusing to subordinate 
or release collateral,[Footnote 13] or imposing a fee to complete a 
servicing action such as subordination. Another 18 letters were from 
borrowers who wanted to defer payments or change the amount of their 
monthly payments because of financial problems, and felt they were not 
getting appropriate treatment from the purchasers of their loans.

To address these weaknesses in the loan sales program, we recommended 
that SBA develop procedures for documenting and processing inquiries 
and complaints from borrowers, and then provide guidance to the field 
offices about implementing them. SBA reported to Congress in March 2003 
that it would soon issue a procedural notice to its field offices 
providing a uniform process for handling borrower inquiries and 
complaints. SBA stated that it also intends to establish an e-mail 
account for use by all employees to record and forward borrower 
comments to the asset sales team at headquarters, establish a database 
to track borrower comments, and enhance a tracking system used for 
residential borrower inquiries at a servicing center. We will follow up 
with SBA to monitor its implementation of our recommendations.

SBA's Accounting for Loan Sales and the Remaining Portfolio Was Flawed:

During our review, we found errors that we believe could have 
significantly affected the reported results in the budget and financial 
statements for fiscal years 2000 and 2001. Because of errors we 
identified, SBA's auditor withdrew its clean audit opinions for those 
years and issued disclaimers of opinion. Moreover, because of these and 
other financial management issues, the auditor has disclaimed an 
opinion on SBA's financial statements for 2002. Although this 
roundtable is not intended to explore the intricacies of accounting, I 
will briefly comment on our findings, which are fully discussed in the 
report and testimony cited previously.[Footnote 14]

SBA incorrectly calculated the accounting losses on the loan sales and 
lacked reliable financial data to determine the overall financial 
impact of the sales. Further, because SBA did not analyze the effect of 
loan sales on its remaining portfolio, its reestimates of loan program 
costs for the budget and financial statements cannot be relied upon. In 
addition, SBA could not explain significant declines in its loss 
allowance account for disaster loans. Until SBA corrects these errors 
and determines the cause of the precipitous decline in the loss 
allowance account, the subsidy estimates and reestimates for the 
disaster loan program cannot be relied on. These errors and the lack of 
key analyses also mean that congressional decision makers are not 
receiving accurate financial data to make informed decisions about 
SBA's budget and the level of appropriations the agency should receive.

We recommended that, before doing more loan asset sales, SBA correct 
the accounting and budgeting errors and misstatements. And that SBA's 
Inspector General, with SBA's independent auditors, should assess the 
impact of the identified errors and determine if the prior audit 
opinions need to be revised. SBA is working to respond to these 
recommendations and, as we noted above, the auditor has withdrawn the 
previously issued clean audit opinions because they could not be relied 
upon. We will be monitoring SBA's continuing efforts to resolve these 
issues.

Loan Sales Have Reduced SBA's Loan Servicing Volume, but Other 
Operational Benefits May Be Overstated:

SBA reported that loan asset sales had benefited the agency's 
operations by reducing loan servicing, and that this reduction in loan 
servicing volume should help allocate resources to other areas 
necessary to achieving SBA's mission and help the agency to manage its 
loan portfolio more effectively. Though we found that loan servicing 
volume had declined for SBA disaster home loan centers, the effect on 
regular business loans was less clear. Furthermore, despite these 
reductions in loan servicing volumes, SBA had not yet redeployed staff 
to more mission-critical activities, such as lender oversight and 
business outreach. We found that loan sales have mostly reduced the 
servicing workloads for disaster assistance loans. They have had less 
impact on servicing workloads for 7(a) business loans, because lenders 
did not always consent to sell these loans. Because the reduction in 
loan servicing has involved disaster assistance loans, it was unclear 
to what extent loan sales would help the agency realign its workforce 
in the district offices that primarily serve small businesses.

SBA has also reported that the loan sales have prompted borrowers to 
pay their loans in full, revealed inconsistencies in the application of 
the agency's servicing procedures, and highlighted weaknesses in its 
information system. We found some support to show that the loan sales 
had produced portfolio management efficiencies. But we also found that 
some of the benefits SBA had reported began before the loan sales 
program, or could have been caused by other factors. For example, 
borrowers of disaster loans who refinanced their homes while lower 
interest rates were available often paid off their disaster loans, even 
though their disaster loans had low interest rates.

To provide Congress and SBA with a better understanding of the impact 
of loan sales on SBA's operations, we recommended that SBA conduct a 
more comprehensive evaluation of the loan sales' impact on the agency 
and the cost savings from the sales. SBA recently stated that it will 
conduct such an evaluation.[Footnote 15] We will follow up with SBA as 
it addresses our recommendation.

Madam Chair, Members of the Committee, this concludes my prepared 
statement. I would be happy to answer any questions at this time.

Contacts and Acknowledgments:

For information on this statement, please contact Davi D'Agostino, 
Director, Financial Markets and Community Investment, at (202) 512-8678 
or Katie Harris, Assistant Director, at (202) 512-8415. You may also 
reach them by e-mail at dagostinod@gao.gov or harrism@gao.gov. Other 
individuals who made key contributions to this testimony or related 
work include Dan Blair, Kristy Brown, Linda Calbom, Marcia Carlsen, 
Emily Chalmers, Patricia Donahue, Julia Duquette, David Eisenstadt, and 
Kay Kuhlman.

FOOTNOTES

[1] For information on assistance provided to small businesses in the 
Lower Manhattan area after September 11 by SBA and other government 
agencies, please see U.S. General Accounting Office, September 11: 
Small Business Assistance Provided in Lower Manhattan in Response to 
the Terrorist Attacks, GAO-03-88 (Washington, D.C.: Nov. 1, 2002).

[2] Also see April 29, 2003, testimony before the Subcommittee on 
Government Efficiency and Financial Management, Committee on Government 
Reform, U.S. House of Representatives. U.S. General Accounting Office, 
Small Business Administration: Loan Accounting and Other Financial 
Management Issues Impair Accountability, GAO-03-676T (Washington, 
D.C.: Apr. 29, 2003).

[3] According to Office of Management and Budget (OMB) guidance, 
outputs are the level of activity that can be produced or provided over 
a given period of time or by a specific date. Outcomes are the intended 
results, effects, or consequences that occur from carrying out program 
activities. OMB, Preparation and Submission of Strategic Plans, Annual 
Performance Plans, and Program Performance Reports, Circular No. A-11, 
Part 6. (Washington, D.C: June 2002). 

[4] Even if a business receives a loan to cover both physical damage 
and economic injury, the total loan amount generally cannot exceed $1.5 
million. 

[5] P.L. 103-62, GPRA 1993. 

[6] OMB provides guidance on developing these plans in "Preparation and 
Submission of Strategic Plans, Annual Performance Plans, and Annual 
Program Performance Reports," Circular No. A-11, Part 6 (Washington, 
D.C: June 2002).

[7] The Military Reservist EIDL program is available to small 
businesses whenever the government calls military reservists to duty, 
not just during federally declared disasters. 

[8] In January 2002, SBA increased the revenue-based thresholds for 
determining the size of businesses by the rate of inflation. In 
February 2002, SBA retroactively applied the inflation-adjusted size 
standards to all businesses applying for September 11 loans, allowing 
more businesses to seek assistance. 

[9] Emergency Supplemental Appropriations for Recovery and Response to 
Terrorist Attacks on the United States Act, 2002 P.L. 107-117 
(Emergency Supplemental Act of 2002).

[10] Federal assistance, including all types of SBA disaster loans, is 
available once the President declares that a major disaster or 
emergency situation exists. Governors may request a disaster 
declaration from SBA if damage is minor or moderate and a declaration 
from the Department of Agriculture if losses are confined to 
agricultural production. SBA offers only economic injury loans in these 
last two situations. 

[11] See U.S. General Accounting Office, Managing for Results: 
Opportunities for Continued Improvement in Agencies Performance Plans, 
GAO/GGD-99-215 (Washington, D.C.: July 20, 1999); Small Business 
Administration: Status of Achieving Key Outcomes and Addressing Major 
Management Challenges, GAO-01-792 (Washington, D.C.: June 22, 2001); 
and Final Audit Report--Results Act Performance Measurement for the 
Disaster Assistance Program, Small Business Administration, Office of 
the Inspector General, Audit Report 1-06 (Feb. 15, 2001). 

[12] U.S. General Accounting Office, Disaster Assistance: Information 
on Federal Costs and Approaches for Reducing Them, GAO/T-RECD-98-139 
(Washington, D.C.: Mar. 26, 1998).

[13] "Subordination" occurs when a lender allows a new or existing loan 
to take a superior lien to another loan. For example, a borrower with 
an SBA disaster home loan may want SBA or a lender to subordinate the 
disaster loan to a new or refinanced home mortgage.

[14] GAO-03-87 and GAO-03-676T.

[15] Hector V. Barreto, Administrator, Small Business Administration, 
Letter to The Honorable Susan Collins, Chair, Committee on Government 
Affairs, U.S. House of Representatives, March 7, 2003.