This is the accessible text file for GAO report number GAO-04-857T 
entitled 'Veterans Health Administration: Inadequate Controls over the 
Purchase Card Program Resulted in Improper and Questionable Purchases' 
which was released on June 17, 2004.

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.

Testimony:

Before the Committee on Veterans' Affairs, House of Representatives:

For Release on Delivery Expected at 10:00 a.m. EDT Thursday, June 17, 
2004:

Veterans Health Administration:

Inadequate Controls over the Purchase Card Program Resulted in Improper 
and Questionable Purchases:

Statement of McCoy Williams, Director, Financial Management and 
Assurance:

[Hyperlink, http://www.gao.gov/cgi-bin/getrpt?GAO-04-857T]:

GAO Highlights:

Highlights of GAO-04-857T, a testimony before the Committee on 
Veterans’ Affairs, House of Representatives 

Why GAO Did This Study:

The Department of Veterans Affairs (VA) Office of Inspector General 
(OIG) has continued to identify significant vulnerabilities in the 
department’s use of government purchase cards. Over the years, the OIG 
has identified internal control weaknesses that resulted in instances 
of fraud and numerous improper and questionable uses of purchase cards. 
The OIG has made a number of recommendations for corrective action. 

Given that VA is the second largest user of the governmentwide 
purchase card program, with reported purchases totaling $1.5 billion 
for fiscal year 2002, and because of the program weaknesses reported by 
the OIG, GAO was asked to determine whether existing controls at the 
Veterans Health Administration (VHA) were designed to provide 
reasonable assurance that improper purchases would be prevented or 
detected in the normal course of business, purchase card and 
convenience check expenditures were made in compliance with applicable 
laws and regulations, and purchases were made for a reasonable cost and 
a valid government need. 

GAO’s report on this issue, released concurrently with this testimony, 
makes 36 recommendations to strengthen internal controls and compliance 
in VHA’s purchase card program to reduce its vulnerability to improper, 
wasteful, and questionable purchases.

What GAO Found:

Weaknesses in VHA’s controls over the use of purchase cards and 
convenience checks resulted in instances of improper, wasteful, and 
questionable purchases. These weaknesses included inadequate 
segregation of duties; lack of key supporting documents; lack of 
timeliness in recording, reconciling, and reviewing transactions; and 
insufficient program monitoring activities. Generally, GAO found that 
internal controls were not operating as intended because cardholders 
and approving officials were not following VA/VHA operating guidance 
governing the program and, in the case of documentation and vendor-
offered discounts, lacked adequate guidance. 

The lack of adequate internal controls resulted in numerous violations 
of applicable laws and regulations and VA/VHA purchase card policies 
that GAO identified as improper purchases. GAO found violations of 
applicable laws and regulations that included purchases for personal 
use such as food or clothing, purchases that were split into two or 
more transactions to circumvent single purchase limits, purchases over 
the $2,500 micro-purchase threshold that were either beyond the scope 
of the cardholder’s authority or lacked evidence of competition, and 
purchases made from an improper source. While the total amount of 
improper purchases GAO identified is relatively small compared to the 
more than $1.4 billion in annual purchase card and convenience check 
transactions, they demonstrate vulnerabilities from weak controls that 
may have been exploited to a much greater extent. 

The ineffectiveness of internal controls was also evident in the number 
of transactions classified as wasteful or questionable. GAO identified 
over $300,000 in wasteful or questionable purchases, including two 
purchases for 3,348 movie gift certificates totaling over $30,000 for 
employee awards for which award letters or justification for the awards 
could not be provided and a purchase for a digital camera totaling $999 
when there were other less costly digital cameras widely available. 
Also, 250 questionable purchases totaling $209,496 from vendors that 
would more likely be selling unauthorized or personal use items lacked 
key purchase documentation. Examples of these types of purchases 
included a purchase from Radio Shack totaling $3,305, a purchase from 
Daddy’s Junky Music totaling $1,041, a purchase from Gap Kids totaling 
$788, and a purchase from Harbor Cruises totaling $357. Missing 
documentation prevented determining the reasonableness and validity of 
these purchases. Because only a small portion of the transactions that 
appeared to have a higher risk of fraud, waste, or abuse were tested, 
there may be other improper, wasteful, and questionable purchases in 
the remaining untested transactions.

www.gao.gov/cgi-bin/getrpt?GAO-04-857T.

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact McCoy Williams at (202) 
512-6906 or williamsm1@gao.gov.

[End of section]

Mr. Chairman and Members of the Committee:

I am pleased to be here today to discuss internal controls over the use 
of purchase cards at the Veterans Health Administration (VHA). At the 
outset, I want to make clear that GAO supports the concept of the 
purchase card program. The benefits of using purchase cards are lower 
costs and less bureaucracy for both the government and the vendor 
community. At the same time, given the nature, scale, and increasing 
use of purchase cards, it is important that agencies have adequate 
internal controls in place to help ensure proper use of purchase cards 
and thus to protect the government from waste, fraud, and abuse.

As you know, the Department of Veterans Affairs (VA) Office of 
Inspector General (OIG) has continued to identify significant 
vulnerabilities in the department's use of government purchase 
cards.[Footnote 1] In its most recent report, the OIG identified 
internal control weaknesses that resulted in instances of fraud and 
numerous improper and questionable uses of purchase cards. The OIG made 
a number of recommendations for corrective action.

Given that VA is the second largest user of the governmentwide purchase 
card program, with reported purchases totaling $1.5 billion for fiscal 
year 2002, and because of the program weaknesses reported by the OIG, 
you asked that we review VHA's purchase card program for fiscal year 
2002 to determine if control problems still existed. Our report on this 
issue is being released today at this hearing.

You also asked that we review internal control activities (1) over 
third-party billings and collections at selected VHA medical centers to 
assess whether those controls were designed and implemented effectively 
and (2) in three areas of operation at selected VHA medical centers--
accountability over personal property, drugs returned for credit, and 
part-time physician time and attendance. These two reports will be 
issued later this month.

In my testimony today, I will discuss the inadequacy of internal 
controls over VHA's purchase card program. The scope of our work, which 
was performed from April 2003 through April 2004 in accordance with 
generally accepted government auditing standards, is detailed in the 
report being released today.

Heads of agencies are required to establish systems of internal control 
consistent with our Standards for Internal Control in the Federal 
Government.[Footnote 2] Effective internal controls are the first line 
of defense in safeguarding assets and in preventing and detecting 
fraud. In addition, they help to ensure that actions are taken to 
address risks and are an integral part of an entity's accountability 
for the stewardship of government resources.

As I will discuss in my testimony, we found that (1) existing controls 
at VHA were not designed to provide reasonable assurance that improper 
purchases would be prevented or detected in the normal course of 
business, (2) lack of compliance with applicable laws and regulations 
in VHA's purchase card and convenience check programs led to improper 
purchases, and (3) poor controls resulted in some wasteful and 
questionable purchases. We focused on the approximately $1.4 billion of 
disbursements that VHA made during fiscal year 2002, the most recent 
fiscal year for which complete data were available when we began our 
review.

I will first address the inadequacy of VHA's internal controls.

Critical Internal Controls Were Ineffective:

Our review found that VHA's internal controls were not designed to 
provide reasonable assurance that improper purchase card and 
convenience check purchases would not occur or would be detected in the 
normal course of business. We found that (1) VHA lacked adequate 
segregation of duties between those purchasing and receiving goods; (2) 
payments for purchase card and convenience check transactions often did 
not have key supporting documents; (3) timeliness standards for 
recording, reconciling, and reviewing transactions were not met; and 
(4) cardholders did not consistently take advantage of vendor-offered 
purchase discounts. Generally, we found that internal controls were not 
operating as intended because cardholders and approving officials were 
not following operating guidance governing the program, and in the case 
of documentation and vendor-offered discounts, they lacked guidance. We 
also noted that monitoring activities could be strengthened, for 
example, as in instances where (1) accounts remained active long after 
the cardholder had left service at VA, (2) credit limits on accounts 
were significantly higher than actual usage, and (3) human capital 
resources were insufficient to enable adequate monitoring of the 
purchase card program.

Our Standards for Internal Control in the Federal Government requires 
that (1) key duties and responsibilities be divided or segregated among 
different people to reduce the risk of error or fraud; (2) all 
transactions and other significant events be clearly documented and 
readily available for examination, and other significant events be 
authorized and executed only by persons acting within the scope of 
their authority; (3) transactions be promptly recorded to maintain 
their relevance and value to management in controlling operations and 
decisions; and (4) internal control monitoring be performed to assess 
the quality of performance over time and ensure that audit findings are 
promptly resolved. Similarly, internal control activities help ensure 
that management's directives are carried out. They should be effective 
and efficient in accomplishing the agency's objectives and should occur 
at all levels and functions of the entity.

We found that VHA lacked adequate segregation of duties regarding 
independent receiving of goods and separation of responsibilities 
within the purchasing process. Independent receiving, which means 
someone other than the cardholder receives the goods or services, 
provides additional assurance that items are not acquired for personal 
use and that they come into the possession of the government. This 
reduces the risk of error or fraud. From our purchase card internal 
control testing, we estimate that $75 million[Footnote 3] in 
transactions did not have evidence that independent receiving of goods 
had occurred. In addition, our data mining of the purchase card and 
convenience check activity identified 15 agency or organization program 
coordinators (A/OPC) who were also cardholders and collectively made 
9,411 purchases totaling $5.5 million during fiscal year 2002. Because 
A/OPCs are responsible for monitoring cardholders' and approving 
officials' activities for indications of fraud, waste, and abuse, these 
A/OPCs were essentially monitoring their own activities.

We also found instances where purchase card and convenience check 
transactions lacked key supporting documentation. This would include 
internal written authorization for convenience check disbursements and 
vendor invoices that support the description, quantity, and price of 
what was purchased. VHA's purchase card guidance does not address the 
types of documentation that cardholders should maintain to support 
their purchases. It only addresses documentation requirements in its 
audit guide, which is an appendix to the purchase card guidance that 
provides instructions to internal reviewers for performing their 
monitoring functions. Furthermore, we noted that VA's operating 
guidance for convenience checks has no requirement that vendor 
documentation be provided before checks are issued. The guidance only 
provides that sufficient documentation, such as a VA-created purchase 
order, must be evident before checks are issued.

The invoice is a key document in purchase card internal control 
activities. Without an invoice, independent evidence of the description 
and quantity of what was purchased and the price charged is not 
available. In addition, the invoice is the basic document that should 
be forwarded to the approving official or supervisor so that he or she 
can perform an adequate review of the cardholder's purchases. Of the 
283 purchase card sample transactions we tested, 74 transactions 
totaling $2.1 million lacked an invoice, credit card slip, or other 
adequate vendor documentation to support the purchase. Based on these 
results, we estimate that $312.8 million[Footnote 4] of the fiscal year 
2002 purchase card transactions lacked key supporting documentation. 
For the convenience check sample, we found 35 of 255 transactions 
totaling $43,669 lacked the same key documentation. Based on these 
results, we estimate that $3.8 million[Footnote 5] of the fiscal year 
2002 convenience check transactions lacked key supporting 
documentation.

We also noted that VA's operating guidance over convenience checks does 
not provide detailed procedures regarding appropriate written 
documentation or authorization that must be forwarded to the 
authorizing employee before funds are disbursed to a third party. VA's 
operating guidance only provides that the required documentation be the 
same as that for paying with cash, such as a purchase order. The 
guidance makes no mention of independent vendor documentation and that 
this type of documentation be required prior to issuing checks to 
vendors. In addition, VA's guidance only requires that the authorizing 
employees issuing convenience checks retain copies for 1 year. This 
documentation requirement is inconsistent with the Federal Acquisition 
Regulation (FAR) and VHA's Records, Control Schedule 10-1, dated 
February 14, 2002, which requires that such records be retained for 6 
years and 3 months after final payment for procurements exceeding the 
simplified acquisition threshold and for 3 years after final payment 
for procurements below the simplified acquisition threshold.[Footnote 
6]

We found that of 255 convenience check transactions, 17, totaling 
$8,890, lacked written authorization needed for issuance. Based on 
these results, we estimate that $1.7 million[Footnote 7] of the fiscal 
year 2002 convenience check transactions lacked written authorization. 
In addition, we noted that 19 of the 255 convenience check transactions 
lacked a copy of the check or carbon copy. Based on these results, we 
estimate that $2.3 million[Footnote 8] of the fiscal year 2002 
convenience check transactions lacked this supporting documentation. 
Although VA only requires copies of convenience checks to be retained 
for 1 year, retaining the copies and the supporting documentation for 
the longer retention period mandated by the FAR and incorporated in 
VHA's Records, Control Schedule 10-1, would facilitate subsequent 
internal and external reviews in assessing whether a transaction was 
proper and in compliance with acquisition policies and procedures.

At the time of our work, VHA had also established several timeliness 
standards for cardholders and approving officials to ensure prompt 
recording, reconciliation, and review of purchases. Specifically, 
within 1 workday of making a purchase, cardholders are required to 
input or record the purchase information in VA's purchase card order 
system. Within 10 calendar days of electronically receiving the 
transaction charge information from Citibank,[Footnote 9] the 
cardholder must reconcile 75 percent of these Citibank charges to the 
purchase information in the system. Within 17 calendar days, 95 percent 
of the Citibank charges must be reconciled. As evidence of 
reconciliation, the purchase card order system assigns the date the 
cardholder reconciled the purchase in the system. For testing the 
timeliness of cardholder reconciliations, we used the 17 calendar day 
criteria. In addition, VHA requires that within 14 calendar days of 
electronically receiving the cardholder's reconciled purchases, the 
approving official, through an electronic signature, certify in the 
purchase card order system that all procurements are legal and proper 
and have been received.[Footnote 10]

Our review found untimely recording, reconciliation, and approving 
official review. Table 1 summarizes the statistical results of VHA's 
timeliness standards that cardholders and approving officials must meet 
to ensure prompt recording, reconciliation, and review of purchases. 
Our work shows that the internal controls were not operating as 
intended to ensure prompt recording of transactions and events.

Table 1: Summarization of VHA Timeliness Standards Exceptions:

VHA timeliness tests of purchase card order system: Purchase card 
orders were entered within 1 day; 
Number of sample transactions in error: 36; 
Estimated total number of transactions in error: 289,352; 
Confidence interval at a 95 percent confidence level: 164,100 - 
458,414; 
Estimated dollar value of amount in error: (in millions): $152.5; 
Confidence interval at a 95 percent confidence level: (in millions): 
$99.9 - $205.1.

VHA timeliness tests of purchase card order system: Cardholder 
reconciliation within 17 days; 
Number of sample transactions in error: 53; 
Estimated total number of transactions in error: 351,256; 
Confidence interval at a 95 percent confidence level: 216,683 - 
522,909; 
Estimated dollar value of amount in error: (in millions): $252.7; 
Confidence interval at a 95 percent confidence level: (in millions): 
$184.4 - $321.0.

VHA timeliness tests of purchase card order system: Approving official 
certification within 14 days; 
Number of sample transactions in error: 44; 
Estimated total number of transactions in error: 308,448; 
Confidence interval at a 95 percent confidence level: 181,930 - 
475,207; 
Estimated dollar value of amount in error: (in millions): $212.4; 
Confidence interval at a 95 percent confidence level: (in millions): 
$149.2 - $275.7. 

Source: GAO.

Note: GAO's estimate of the audit results for 283 sampled transactions 
selected to test VHA timeliness standards for fiscal year 2002. The 
population total of transactions from which this stratified random 
sample was selected was 1,884,695.

[End of table]

The following examples illustrate the extent of untimely recording, 
reconciliation, and review of the purchase card transactions. For 
instance, one cardholder made a purchase on July 9, 2002, of $994, but 
did not record the information in VA's purchase card order system until 
August 29, 2002--51 days later and 50 days after VHA policy required 
that the information be entered. Another cardholder made a purchase of 
$100 on August 24, 2002. Citibank sent charge information for this 
purchase to VHA on October 8, 2002. According to VHA policy, the 
cardholder should have reconciled this charge within 17 days. Instead, 
we found that the account was not reconciled until September 8, 2003, 
or 335 days after receiving the charge information. In another 
instance, a cardholder reconciled a purchase card transaction totaling 
more than $3,000, which should have been reviewed and certified by an 
approving official within 14 calendar days. We found no evidence that 
the approving official reviewed this cardholder's reconciliation until 
227 days later. It is critical that cardholders and approving officials 
promptly record, reconcile, and review purchase card transactions so 
that erroneous charges can be quickly disputed with the vendor and any 
fraudulent, improper, or wasteful purchases can be quickly detected and 
acted upon.

We also found instances where cardholders did not consistently take 
advantage of vendor-offered purchase discounts. Our review identified 
69 invoices containing vendor-offered discounts totaling $15,785 that 
were not taken at the time of purchase or subsequently credited for the 
discount amount. When purchases are made, vendors may offer purchase 
discounts if buyers make early payments of their invoices. Typically, 
the vendor specifies a period during which the discount is offered, but 
expects the full invoice amount for payments made after that period. 
When cardholders use the purchase card, payment to vendors, via 
Citibank, generally occurs at the time of purchase. In turn, Citibank 
bills VA for the purchases through a daily electronic file. Therefore, 
it is critical that cardholders ask about any vendor-offered discounts 
at the time of purchase and make efforts to obtain a credit upon 
receipt and review of the invoice. Our detailed testing indicated that 
VHA did not always take advantage of vendor-offered discounts and that 
it lacked purchase card guidance to ensure cardholders ask about vendor 
payment terms to determine whether discounts were being offered.

For example, one vendor offered VHA a discount of 2.9 percent, or $896, 
for an invoice amount of $30,888 if it was paid within 15 days. 
Citibank, on behalf of VA, made payment to the vendor within the 15-day 
time frame, yet the vendor charged the cardholder's account for the 
full invoice amount. We found no evidence that the cardholder attempted 
to obtain a credit for the available discount offered. In another 
example, we found that a cardholder had taken advantage of the vendor-
offered discount.

A factor that may contribute to cardholder inconsistencies in taking 
advantage of vendor discounts is the lack of established policies and 
procedures that address this issue. We found that VHA's purchase card 
guidance did not include procedures to ensure that cardholders take 
advantage of available vendor discounts before making payments or 
require that approving officials identify instances when cardholders 
did not take advantage of vendor discounts in order to determine the 
frequency of these occurrences. Without such guidance, VHA will not be 
able to determine the frequency of these occurrences and actual dollars 
lost by the government.

While VHA's purchase card guidance includes prescribed monitoring 
procedures to help ensure purchases are legal and proper, we found no 
monitoring procedures to identify active accounts of cardholders who 
had separated from VA nor any provisions to assess cardholder credit 
limits. We also noted insufficient human capital resources at the A/OPC 
level for executing the prescribed monitoring activities. For instance, 
we identified 18 instances in which purchase card accounts remained 
active after the cardholders left VA and all related outstanding 
purchase orders had been reconciled. Of the 18 purchase card accounts 
that remained active after the cardholders had left VA, we determined 
that 14 accounts remained active 6 or more days after the cardholders' 
outstanding purchase orders had been reconciled, which we deemed too 
long. The remaining 4 purchase cards had been promptly canceled after 
all outstanding purchase orders were reconciled.

Of the 14 accounts that were untimely cancelled, 11 accounts remained 
open between 6 and 150 days and 3 accounts remained open between 151 
and 339 days. For example, one cardholder separated from VA on April 3, 
2002, with five outstanding purchase card orders made prior to 
separation. The last purchase transaction was reconciled on May 21, 
2002, but the account was not canceled until April 25, 2003, or 339 
days after reconciliation. Requiring monitoring procedures to identify 
active accounts of departed cardholders and to ensure prompt closure 
once outstanding purchase orders have been reconciled would assist in 
reducing the risk of fraud, waste, and abuse that could occur when 
accounts remain open beyond the necessary time frame.

In addition to accounts left open, our analysis of purchases VHA 
cardholders made in 2002 showed that cumulatively they bought $112 
million of goods and services per month on average, but they had credit 
limits of $1.2 billion, or about 11 times their actual spending. 
According to VHA's purchase card guidance, the approving official, in 
conjunction with the A/OPC, billing officer, and head of contracting 
activity, recommends cardholder single purchase and monthly credit 
limits. However, we found no guidance on what factors to consider when 
recommending the dollar amounts to be assigned to each cardholder. 
Further, we found no monitoring procedures that require the A/OPC or 
approving official to determine periodically whether cardholder limits 
should be changed based on existing and expected future use.

Periodic monitoring and analysis of cardholders' actual monthly and 
average charges, in conjunction with existing credit limits would help 
VHA management make reasonable determinations of cardholder spending 
limits. Without adequate monitoring, the financial exposure in VHA's 
purchase card program can become excessive when its management does not 
exercise judgment in determining single purchase and monthly credit 
limits. During our review, for instance, the difference between the 
monlthly cumulative credit limits of $1.2 billion and actual spending 
of $112 million represents a $1.1 billion financial exposure. Limiting 
credit available to cardholders is a key factor in managing the VHA 
purchase card program, minimizing the government's financial exposure, 
and enhancing operational efficiency.

Furthermore, VHA has not provided sufficient human capital resources to 
enable monitoring of the purchase card program. One key position for 
monitoring purchases and overseeing the program is the A/OPC. While the 
A/OPC position is a specifically designated responsibility, we found in 
many instances that the A/OPC also functioned in another capacity or 
performed other assigned duties, for example, as a systems analyst, 
budget analyst, and contract specialist. Of the 90 A/OPCs who responded 
to a GAO question regarding other duties assigned, 55 A/OPCs, or 61 
percent, reported that they spend 50 percent or less of their time 
performing A/OPC duties. For example, at the extreme low end of the 
scale, one A/OPC responded that he was also the budget analyst and that 
he spends 100 percent of his time on budget analyst duties, leaving no 
time for A/OPC duties on an ongoing basis. Given that VHA makes 
millions of purchase card and convenience check transactions annually, 
which in fiscal year 2002 exceeded $1.4 billion, it is essential that 
VHA management devote adequate attention to monitoring its purchase 
card program to ensure that it is properly managed to reduce the risk 
of fraud, waste, and abuse.

Noncompliance with Purchasing Requirements Resulted in Instances of 
Improper Purchases:

The lack of adequate internal controls resulted in numerous violations 
of applicable laws and regulations and VA/VHA purchase card policies. 
We classified purchases made in violation of applicable laws and 
regulations or VA/VHA purchase card policies as improper purchases. We 
found violations that included purchases for personal use such as food 
or clothing, purchases that were split into two or more transactions to 
circumvent single purchase limits, purchases over the $2,500 micro-
purchase threshold that were either beyond the scope of the 
cardholder's authority or lacked evidence of competition, and purchases 
made from an improper source. We also found violations of VA/VHA policy 
that included using convenience checks to pay for purchases even though 
the vendor accepted the government purchase card, convenience check 
payments that exceeded established limits, and purchases for which 
procurement procedures were not followed. While the total amount of 
improper purchases we identified, based on limited scale audit work, is 
relatively small compared to the more than $1.4 billion in annual 
purchase card and convenience check transactions, we believe our 
results demonstrate vulnerabilities from weak controls that could have 
been exploited to a much greater extent.

For instance, from the nonstatistical sample, we identified 17 
purchases, totaling $14,054, for clothing, food, and other items that 
cardholders purchased for personal use. Items that are classified as 
personal expenses may not be purchased with appropriated funds without 
specific statutory authority. The FAR emphasizes that the 
governmentwide commercial purchase card may be used only for purchases 
that are otherwise authorized by law or regulation.[Footnote 11]

We identified eight purchases totaling $7,510, in the nonstatistical 
sample that were subject to procurement from a mandatory source of 
supply but were obtained from other sources. Various federal laws and 
regulations, such as the Javits-Wagner-O'Day Act (JWOD), require 
government cardholders to acquire certain products from designated 
sources. The JWOD program generates jobs and training for Americans who 
are blind or have severe disabilities by requiring that federal 
agencies purchase supplies and services furnished by nonprofit 
agencies, such as the National Industries for the Blind and the 
National Institute for the Severely Handicapped.

We noted that cardholders did not consistently purchase items from JWOD 
suppliers when they should have. For example, a cardholder purchased 
day planner starter kits and refills for employees, totaling $1,591, 
from Franklin Covey, a high-end office supply store. These items 
provide essentially the same features as the JWOD items, which would 
have cost $1,126, or $465 less. During our data mining, we noted that 
VHA made 652 purchases totaling $76,350 from Franklin Covey during 
2002. While we did not review all of the individual purchases, based on 
our detailed testing of similar transactions, it is likely that many of 
them should have been procured from a mandatory source at a much lower 
cost.

Using data mining techniques, we identified purchases that appeared to 
have been split into two or more transactions by cardholders to 
circumvent their single purchase limit. We requested documentation for 
a statistically determined sample of 280 potential split transactions 
totaling $4 million. Of these 280 transactions, we determined that 49 
were actual splits. Based on these results, we estimate that $17.1 
million[Footnote 12] of the total fiscal year 2002 purchase card 
transactions were split transactions.

For example, a cardholder with a single purchase limit of $2,500 
purchased accommodations in 110 hotel rooms totaling $4,950. When 
performing follow-up, the cardholder stated that VA provides lodging 
accommodations for veterans receiving medical services such as 
radiation therapy, chemotherapy, and day surgery who live at least 150 
miles from the medical facility. The cardholder created two separate 
purchase orders and had the vendor create two separate charges, one for 
$2,500 and the other for $2,450, so that the purchase could be made. On 
the documentation provided, the cardholder stated the "purchase was 
split per the direction of the previous purchase card program 
administrator." The cardholder also stated that currently, her purchase 
card at that facility is no longer used to pay hotel lodging for 
veterans. Hotel payments are now disbursed electronically via VA's 
Financial Service Center. The purpose of the single purchase limit is 
to require that purchases above established limits be subject to 
additional controls to ensure that they are properly reviewed and 
approved before the agency obligates funds. By allowing these limits to 
be circumvented, VA had less control over the obligation and 
expenditure of its resources.

The FAR provides that the purchase card may be used by contracting 
officers or individuals who have been delegated micro-purchase 
authority in accordance with agency procedures.[Footnote 13] Only 
warranted contracting officers, who must promote competition to the 
maximum extent practical, may make purchases above the micro-purchase 
threshold using the purchase card. Contracting officers must consider 
solicitation of quotations from at least three sources,[Footnote 14] 
and they must minimally document the use of competition or provide a 
written justification for the use of other than competitive 
procedures.[Footnote 15] When cardholders circumvent these laws and 
regulations, VHA has no assurance that purchases comply with certain 
simplified acquisition procedures and that cardholders are making 
contractual commitments on behalf of VHA within the limits of their 
delegated purchasing authority.

From the statistical sample of purchases over $2,500, we found that for 
19 of the 76 transactions, cardholders lacked warrant authority needed 
to make these types of purchases. Based on these results, we estimate 
that cardholders with only micro-purchase authority, made $111.9 
million[Footnote 16] of the total fiscal year 2002 purchases that 
exceeded $2,500. In addition, we found that 12 of the 76 transactions 
lacked evidence of competition. Based on these results, we estimate 
that $60 million[Footnote 17] of the total fiscal year 2002 purchases 
totaling more than $2,500 lacked evidence of competition.

We identified 23 purchase card transactions totaling $112,924 in the 
nonstatistical sample related to the rental of conference room 
facilities used for internal VA meetings, conferences, and training. 
For these purchases, the cardholders could not provide documentation to 
show that efforts had been made to secure free conference space. VA's 
acquisition regulations state that rental conference space may be paid 
for only in the event that free space is not available, and require 
that complete documentation of efforts to secure free conference space 
be maintained in the purchase order file.[Footnote 18] For one 
purchase, VHA paid $31,610 for conference room facilities and related 
services for 3 days at the Flamingo Hilton Hotel in Las Vegas. The 
cardholder provided no evidence that attempts to secure free facilities 
had been made. In addition, of the 23 purchase card transactions cited, 
12 purchases totaling $103,662 occurred at one VHA facility. This 
included one transaction totaling $12,000 for a 3-day training course 
on Prevention and Management of Disruptive Behavior at the MGM Grand 
Hotel in Las Vegas. Again, we were not provided evidence that efforts 
had been made to secure free conference space.

We identified improper use of convenience checks related to purchases 
that exceeded VA's established limits of $2,500 and $10,000 and 
payments to vendors who accept the purchase card payments. VA's 
convenience check guidance requires that a single draft transaction be 
limited to $2,500 or in some cases $10,000 unless a waiver has been 
obtained from the Department of the Treasury, restricting convenience 
check use to instances when vendors do not accept purchase cards. From 
the statistical testing of convenience check limits, we found that 91 
of 105 convenience check purchases were paid using multiple checks 
because the total purchase amount exceeded the established convenience 
check limit. Based on these results, we estimate that $13.8 
million[Footnote 19] of the total fiscal year 2002 convenience check 
transactions were improperly used to pay for purchases exceeding the 
established limits. In April 2003, VA issued new purchase card guidance 
providing that for micro-purchases, convenience checks may be used in 
lieu of purchase cards only when it is advantageous to the government 
and it has been documented as the most cost-effective and practical 
procurement and disbursement method. However, we found no established 
criteria for determining the most cost-effective and practical 
procurement and disbursement method.

Poor Controls Resulted in Some Wasteful and Questionable Purchases:

The ineffectiveness of internal controls was also evident in the number 
of transactions that we classified as (1) wasteful, that is, excessive 
in cost compared to other available alternatives or for questionable 
government need, or (2) questionable because there was insufficient 
documentation to determine what was purchased. Of the 982 
nonstatistical sample transactions we reviewed, 250 transactions, 
totaling $209,496, lacked key purchase documentation. As a result, we 
could not determine what was actually purchased, how many items were 
purchased, the cost of each of the items purchased, and whether there 
was a legitimate government need for such items. Because we tested only 
a small portion of the transactions that appeared to have a higher risk 
of fraud, waste, or abuse, there may be other improper, wasteful, and 
questionable purchases in the remaining untested transactions.

We identified 20 purchases totaling $56,655 that we determined to be 
wasteful because they were excessive in cost relative to available 
alternatives or were of questionable government need. The limited 
number of wasteful purchases found in the nonstatistical sample 
demonstrates that cardholders are generally prudent in determining that 
prices of goods and services are reasonable before they make credit 
card purchases. We considered items wasteful if they were excessive in 
cost when compared to available alternatives, and questionable if they 
appeared to be items that were a matter of personal preference or 
convenience, were not reasonably required as part of the usual and 
necessary equipment for the work the employees were engaged in, or did 
not appear to be for the principal benefit of the government. We 
identified 18 purchases, totaling $55,156, for which we questioned the 
government need and 2 purchases, totaling $1,499, that we considered 
excessive in cost. A majority of the purchases were related to 
officewide and organizational awards.

Many award purchases were for gift certificates and gift cards. 
Although VA policy gives managers great latitude in determining the 
nature and extent of awards, we identified 10 purchases, totaling 
$51,117, for award gifts for which VHA was unable to provide 
information on either the recipients of the awards or the purposes for 
which the recipients were being recognized. Therefore, we categorized 
these purchases as of questionable government need. For example, we 
identified two transactions for 3,348 movie gift certificates, totaling 
over $30,000. For these purchases, the cardholders and A/OPCs could 
provide neither the award letters nor justification for the awards. 
Consequently, VHA could provide no evidence that these purchases were 
actually used for awards.

We also identified two purchases that we considered wasteful because of 
excessive cost. We identified a cardholder who purchased a $999 digital 
camera when there were other less costly digital cameras widely 
available. For example, during the same 6-month period from February 
2002 through July 2002, two other cardholders purchased digital cameras 
for $526 and $550. No documentation was available to show why the more 
expensive model was necessary. In the second example, we identified a 
purchase for a 20-minute magic show, totaling $500, that was performed 
during a VA volunteer luncheon. Although VA policies allow for funds 
for volunteer events, this expenditure, at roughly $25 per minute, 
seemed excessive.

We also found questionable purchases. As I discussed earlier, we 
identified numerous transactions from the statistical samples that were 
missing adequate supporting documentation on what was actually 
purchased, how many items were purchased, and the cost of the items 
purchased. We requested supporting documentation for a nonstatistical 
sample of 982 transactions, totaling $1.2 million. Of these, we 
identified 315 transactions, totaling $246,596, that appeared to be 
improper or wasteful, for which VHA either provided insufficient or no 
documentation to support the propriety of the transactions.

We classified 250 of these 315 transactions, totaling $209,496, as 
missing invoices because the cardholders either provided VHA internal 
documentation but no vendor documentation to support the purchase or 
provided no documentation at all to support the purchase. VHA internal 
documentation includes purchase orders, reconciliation documents, and 
receiving reports. Vendor documentation includes invoices, sales 
receipts, and packing slips. For 184 of these transactions, totaling 
$155,429, internal documentation was available but no vendor 
documentation was available. No documentation at all was available for 
the remaining 66 transactions, totaling $54,068. These purchases were 
from vendors that would more likely be selling unauthorized or personal 
use items. Examples of these types of purchases included a purchase 
form Radio Shack totaling $3,305, a purchase from Daddy's Junky Music 
totaling $1,041, a purchase from Gap Kids totaling $788, and a purchase 
from Harbor Cruises totaling $357.

An example of a transaction with internal documentation but no vendor 
documentation included a purchase from Circuit City where the 
cardholder stated that the purchase was for three $650 television sets 
and three $100 television stands, totaling $2,300 (including $50 
shipping), that were needed to replace the existing ones in the VA 
facility's waiting area. In another transaction, no vendor 
documentation was available for a transaction from Black & Gold Beer 
where the cardholder stated that the purchase of beer was for a 
patient. The purchase order shows that three cases were purchased at 
$12.50 each, totaling $37.50. The cardholder stated that the purchase 
was at the request of the pharmacy for a specific patient; however, no 
documentation was provided to support this claim. We believe that at 
least some of the items we identified may have been determined to be 
potentially fraudulent, improper, or wasteful had the documentation 
been provided or available. In addition, we noted that of the 66 
transactions for which VHA cardholders provided no documentation to 
support the purchase, 32 transactions (49 percent) represented 2 or 
more transactions by the same cardholder. For example, one cardholder 
did not provide documentation for 5 transactions, totaling $5,799, from 
various types of merchants, including two restaurants, a movie theater, 
a country club, and an airport café.

For 65 transactions, totaling $37,100, that we characterized as 
questionable but appeared to be either improper or wasteful, the 
documentation we received either was not correct or was inadequate, and 
we were unable to determine the propriety of the transactions. For 
example, one transaction was for $1,350 to Hollywood Entertainment; 
however, the purchase order and invoice listed Hear, Inc., as the 
vendor for closed captioning services. The cardholder stated that she 
believed Hollywood Entertainment is an associate company name for Hear, 
Inc.; however, the company could not provide any documentation to 
support this statement. Additionally, from our Internet searches of 
both Hollywood Entertainment and Hear, Inc. we found no information to 
indicate that these two companies were associated in any way.

We also identified 68 transactions, totaling $31,772, involving the 
purchase of tickets for sporting events, plays, movies, amusement or 
theme parks, and other recreation activities for veterans and VA 
volunteers. The documentation provided for these transactions was 
inadequate or missing vendor invoices; therefore, we could not 
determine whether these tickets were used in support of the volunteers 
or veterans. As a result, we categorized these purchases as 
questionable. Various programs under VHA, such as Recreation Therapy, 
Voluntary Services, and Blind Rehabilitation Service, sponsor assorted 
activities for veterans and VA volunteers. From our review of these 
types of purchases, we found that VHA does not have procedures in place 
to ensure that the purchased items were used by the intended recipients 
and accounted for properly. In most cases, there was inadequate or no 
documentation to account for how the tickets were distributed and who 
participated in the events. For example, we found a purchase of 46 
tickets, totaling $812, for veterans to attend a Pittsburgh Pirates 
baseball game. However, we were provided no documentation that 
identified who received the tickets or who attended the baseball game. 
Proper accountability over the distribution and receipt of tickets for 
such events is needed to help ensure that tickets are not improperly 
used for personal use.

In closing, Mr. Chairman, I want to emphasize that without improvements 
in its internal controls to strengthen segregation of duties; 
documentation of purchase transactions; timely recording, review, and 
reconciliation of transactions; and program monitoring, VHA will 
continue to be at risk for noncompliance with applicable laws and 
regulations and its own policies and remain vulnerable to improper, 
wasteful, and questionable purchases. Our report, which is being 
released at this hearing, makes 36 recommendations to strengthen 
internal controls and compliance in VHA's purchase card program to 
reduce its vulnerability to improper, wasteful, and questionable 
purchases.

This concludes my statement. I would be happy to answer any questions 
you or other members of the committee may have.

Contact and Acknowledgments:

For information about this statement, please contact McCoy Williams, 
Director, Financial Management and Assurance, at (202) 512-6906, or 
Alana Stanfield, Assistant Director, at (202) 512-3197. You may also 
reach them by e-mail at [Hyperlink, williamsm1@gao.gov] or [Hyperlink, 
stanfielda@gao.gov]. Individuals who made key contributions to this 
testimony include Lisa Crye, Carla Lewis, and Gloria Medina.

(195041):

FOOTNOTES

[1] U.S. Department of Veterans Affairs, Office of Inspector General, 
Evaluation of the Department of Veterans Affairs Government Purchase 
Card Program, Report Number 02-01481-135 (Washington, D.C.: Apr. 26, 
2004). 

[2] U.S. General Accounting Office, Standards for Internal Control in 
the Federal Government, GAO/AIMD-00-21.3.1 (Washington, D.C.: November 
1999).

[3] We are 95 percent confident that the total dollar value of purchase 
card transactions that lacked independent receiving was between $37.4 
million and $112.6 million. 

[4] We are 95 percent confident that the total dollar value of purchase 
card transactions that lacked key supporting documentation was between 
$243.2 million and $382.4 million. 

[5] We are 95 percent confident that the total dollar value of 
convenience check transactions that lacked key supporting documentation 
was between $2.4 million and $5.3 million. 

[6] 48 C.F.R. § 4.805. See also General Records Schedule 3, Transmittal 
No. 8 (December 1998).

[7] We are 95 percent confident that the total dollar value of 
convenience check transactions that lacked written authorization was 
between $.8 million and $2.7 million. 

[8] We are 95 percent confident that the total dollar value of 
convenience check transactions that lacked a copy of the check or 
carbon copy was between $1.2 million and $3.4 million.

[9] Citibank issues purchase cards to VA operating administrations, 
including VHA.

[10] VA revised its timeliness standards in the agencywide government 
purchase card procedures issued April 4, 2003. Specifically, 
cardholders are now required to reconcile all of their purchases within 
5 working days instead of 10 calendar days. VA has removed the 
incremental reconciliation goals of 75 percent of the purchases within 
10 calendar days and 95 percent within 17 calendar days. Also, VA 
converted the 14 calendar days formerly allotted to approving officials 
for review and certification to 10 working days.

[11] 48 C.F.R. § 13.301 (a). 

[12] We are 95 percent confident that the total dollar value for actual 
split purchase card transactions was between $12.4 million and $21.9 
million.

[13] 48 C.F.R. § 13.301 (a).

[14] 48 C.F.R. § 13.104.

[15] 48 C.F.R. § 13.106-3(b).

[16] We are 95 percent confident that the total dollar value for 
purchases over $2,500 made by nonwarranted cardholders was between 
$52.8 million and $170.9 million.

[17] We are 95 percent confident that the total dollar value for 
purchases over $2,500 that lacked evidence of competition was between 
$26.3 million and $93.7 million. 

[18] We are 95 percent confident that the total dollar value for actual 
split convenience check transactions was between $13.6 million and 
$14.0 million. 

[19] The Department of Veterans Affairs Acquisition Regulation, Part 
870, subpart 113 (VAAR 870.113).