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Recommendations Database
GAO’s recommendations database contains report recommendations that still need to be addressed. GAO’s priority recommendations are those that we believe warrant priority attention. We sent letters to the heads of key departments and agencies, urging them to continue focusing on these issues. Below you can search only priority recommendations, or search all recommendations.
Our recommendations help congressional and agency leaders prepare for appropriations and oversight activities, as well as help improve government operations. Moreover, when implemented, some of our priority recommendations can save large amounts of money, help Congress make decisions on major issues, and substantially improve or transform major government programs or agencies, among other benefits.
As of October 25, 2020, there are 4812 open recommendations, of which 473 are priority recommendations. Recommendations remain open until they are designated as Closed-implemented or Closed-not implemented.
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Results:
Subject Term: "Gas leases"
GAO-17-307, Apr 25, 2017
Phone: (202) 512-3841
Agency: Department of the Interior: Bureau of Land Management
Status: Open
Comments: In June 2019, BLM issued a memo called "Documentation and Tracking Requirements for Waiver, Exceptions, and Modifications for Fluid Mineral Exploration and Development Activities." The memo states that BLM is updating its guidance for tracking waivers, exceptions, and modifications of fluid minerals stipulations and Conditions of Approval (COA) to ensure that these requests are consistently processed and documented until BLM completes database enhancements to its Automated Fluid Minerals Support System 2 to perform this function. To ensure consistent documentation, BLM has developed an "Exceptions Tracking Sheet" that BLM staff are to use when making decisions. Information captured on the tracking sheet include: field office, state, U.S. well number, exception decision date, COA or lease stipulation (LS) , category of COA or LS (e.g. air, community, wildlife), and the specific COA or LS involved. Additionally, the associated environmental analyses, documents, and authorized officer's decision must be consistent with guidance found in Chapter IV of BLM's Planning for Fluid Mineral Resources Handbook (H-1624-1). In August 2019, GAO requested additional information to support the implementation of the recommendation. In December 2019, Interior officials stated that it would implement the recommendation by August 2020.
Agency: Department of the Interior: Bureau of Land Management
Status: Open
Comments: In June 2019, BLM issued a memo called "Documentation and Tracking Requirements for Waiver, Exceptions, and Modifications for Fluid Mineral Exploration and Development Activities." The memo states that BLM is updating its guidance for tracking waivers, exceptions, and modifications of fluid minerals stipulations and Conditions of Approval (COA) to ensure that these requests are consistently processed and documented until BLM completes database enhancements to its Automated Fluid Minerals Support System 2 to perform this function. To ensure consistent documentation, BLM has developed an "Exceptions Tracking Sheet" that BLM staff are to use when making decisions. Information captured on the tracking sheet include: field office, state, U.S. well number, exception decision date, COA or lease stipulation (LS) , category of COA or LS (e.g. air, community, wildlife), and the specific COA or LS involved. Additionally, the associated environmental analyses, documents, and authorized officer's decision must be consistent with guidance found in Chapter IV of BLM's Planning for Fluid Mineral Resources Handbook (H-1624-1). In August 2019, GAO requested additional information to support the implementation of the recommendation. In December 2019, Interior officials stated that it would implement the recommendation by August 2020.
Agency: Department of the Interior: Bureau of Land Management
Status: Open
Comments: In July 2019, Interior officials stated that the BLM does not intend to make an exception tracking spreadsheet available to the public. According to Interior officials, the regulations at 43 CFR 3101.1-4 do not require it, and public posting is only applicable to waivers and modifications, not exceptions. Interior's position has been that the public can ask for this information in a Freedom of Information Act (FOIA) request. Interior officials explained that the main concern in making an exception tracking spreadsheet available to the public is that a single consolidated tracking spreadsheet would require constant updates and posting to Interior's website. Since the numbers can change daily, any posted updates would only provide a brief snap shot which will not be meaningful. Interior officials stated that the BLM will aim to address this item in future database design enhancements in order to obtain a permanent tracking solution. We will update this recommendation when we have additional information from BLM.
Agency: Department of the Interior: Bureau of Land Management
Status: Open
Comments: In August 2016, Interior officials stated that three of six corrective actions are substantially complete and that efforts are ongoing to clarify guidance related to documentation of environmental inspections with a target date for implementation of December 31, 2018. In May 2020, Interior officials stated the revised target date for implementation is September 30, 2020, at which time BLM will issue updated policies and procedures.
Agency: Department of the Interior: Bureau of Land Management
Status: Open
Comments: In August 2018, Interior officials stated that efforts to provide guidance to field offices on how to collect and use date are ongoing with correction actions 10 percent complete. In May 2020, officials stated that they have a target date for implementation of December 31, 2020.
GAO-16-607, Jul 7, 2016
Phone: (202) 512-3841
Agency: Department of the Interior
Status: Open
Comments: In November 2018, BLM's "Waste Prevention, Production Subject to Royalties, and Resource Conservation; Rescission or Revision of Certain Requirements" rule (43 C.F.R. 3179.301) took effect, revising the 2016 rule. According to BLM in July 2020, the revision satisfies the intent of the recommendation because the rule specifies the acceptable means of estimation or measurement of vented or flared gas. The rule says the operator may estimate or measure vented gas in accordance with applicable state or tribal regulatory agency rules or regulations, estimate using the gas to oil ratio (GOR) test (which, during GAO's review, some BLM officials said was not accurate), or to "measure" the volume of the flared gas. We do not believe the revised rule provides sufficient additional specificity on how natural gas emissions should be estimated by operators.
Agency: Department of the Interior
Status: Open
Comments: In July 2020, ONRR reported that it developed and implemented two disposition codes--one for the royalty-bearing flaring of gas and another for the royalty-bearing venting of gas volumes. ONRR did not develop additional disposition codes because, according to BLM, other disposition codes would not be required due to BLM's 2018 revision of the methane rule. However, we do not believe the measurement provisions in the revised methane rule contain any specific provisions requiring reporting for combusted and non-combusted lease use gas. Gas could be used on lease in pneumatic valves, which is released into the atmosphere as methane; or combusted to power up generators, where it's released as carbon dioxide. Knowing whether the emissions are in the form of methane or carbon dioxide is critical to helping Interior accurately estimate greenhouse gas emissions.
GAO-16-553, Jun 13, 2016
Phone: (202) 512-3841
Agency: Department of the Interior
Status: Open
Comments: In a meeting in December 2019, the Indian Energy and Minerals Steering Committee (IEMSC) members agreed that BIA should complete the review and approval of Indian communitization agreements (CA) within 120 days. This 120 days includes the requirement that the Bureau of Land Management (BLM) complete its review in 30 days and that this review occurs concurrently. IEMSC is a committee within Interior that includes senior managers from BIA, BLM, and other agencies with a focus on Indian trust energy and mineral policies and issues. To fully implement this recommendation, BIA should formally establish required time frames for the review and approval of CA, such as including the time frames in its Onshore Energy and Mineral Lease Management Interagency Standard Operating Procedures. We will continue to monitor BIA's response to this recommendation.
GAO-15-502, Jun 8, 2015
Phone: (202) 512-3841
including 1 priority recommendation
Agency: Department of the Interior
Status: Open
Priority recommendation
Comments: Interior agreed with this recommendation. The agency has taken initial steps by developing system enhancements to document the submittal date of energy-related documents. According to BIA officials, there is not yet a process for tracking and reporting on timeframes. To fully implement this recommendation, BIA needs to develop plans and procedures for management to gather information on agency response times for monitoring and assessment.
Agency: Department of the Interior
Status: Open
Comments: The Office of Indian Energy and Economic Development's Division of Energy and Mineral Development sent surveys to tribal stakeholders on the effectiveness of TEDC grants. However, as of January 2020, Indian Affairs does not have a documented process for evaluating the effectiveness of TEDC grants.
GAO-15-39, Apr 7, 2015
Phone: (202) 512-3841
Agency: Department of the Interior
Status: Open
Comments: In July 2019, Interior officials stated BLM will not be conducting a separate internal review of the guidance for commingling agreement requests issued in July 2013. However, officials stated they are committed to performing the internal review as part of the internal review on its inspection and enforcement program and believed their pending actions related to implementing the recommendations in the GAO report "Oil and Gas Development: Actions Needed to Improve Oversight of the Inspection and Enforcement Program" (GAO-19-7) would also address this recommendation. Interior officials stated the target date for implementing this recommendation is June 30, 2021.
GAO-13-572, Aug 23, 2013
Phone: (202) 512-3841
Agency: Department of the Interior
Status: Open
Comments: BLM concurred with the recommendation and has initiated action to update its application for permit to drill (APD) permit processing system. This new system will be known as AFMSS II and, when fully implemented, may address GAO's recommendations. Currently, BLM's actions are insufficient to close this recommendation because they have not completed the updates to AFMISS. Specifically, BLM has not completed its update of AFMSS II to cover environmental inspections. We will continue to follow up with BLM as the agency continues to take action to improve its well tracking system. BLM said it intends to update AFMSS II to cover environmental issues and projects that the remaining AFMSS II related tasks ensuring the system's full deployment will be completed by March 2020. In October 2019, we requested an update on BLM's timeframes.
Agency: Department of the Interior
Status: Open
Comments: In August 2018, BLM informed us that the agency has taken several corrective actions to address the implementation of the recommendation, which will be accomplished related to the redesign of its Automated Fluid Minerals Support System (AFMSS). However, the agency reported that this system will not be completed until March 2020. In October 2019, we requested an update on BLM's timeframes.