Reports & Testimonies
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: "Technological innovations"
GAO-19-409, May 23, 2019
Phone: (202) 512-6888
Agency: Department of Commerce
Status: Open
Comments: Commerce partially concurred with this recommendation according to its response to our report. Commerce stated that it lacks the legal authority to compel action by other federal agencies, and that legal constraints aside, it believes it is bad management practice to ask institutes to respond to performance goals issued by different bodies. As of March 2020, Commerce stated that it plans to report on performance goals for Commerce-sponsored institutes effective with the 2019 annual report, which it expects to issue by September 2020. Commerce also agreed to continue working closely with other sponsoring federal agencies on program and network goals for the Manufacturing USA institutes, but did not commit to working with sponsoring federal agencies to develop and implement network-wide performance goals with measurable targets and time frames. We recognize that Commerce does not have management authority over other the institutes sponsored by other agencies. We believe our report sufficiently characterizes the development of network-wide performance goals, targets, and time frames as a collaborative effort between Commerce and sponsoring agencies that is in keeping with Commerce's network-wide coordination functions under the RAMI Act. Moreover, our recommendation specifically pertained to developing performance goals for the Manufacturing USA program, not individual institutes. As we stated in our report, this would not necessarily entail new performance measures but, rather, could consist of measurable near-term performance goals corresponding to program performance measures already in place. Further, as stated in our report, GAO's prior work has shown that systems of performance measures benefit from certain key practices, such as creating a hierarchy that breaks down broad, long-term goals and objectives into more specific, near-term performance goals with measurable targets and time frames. Our recommendation was designed to ensure that the Manufacturing USA program performance measurement structure that Commerce has already worked with the other sponsoring agencies to develop more fully aligns with these key practices. We continue to believe that by working with other sponsoring federal agencies to develop and implement network-wide performance goals with targets and time frames, Commerce would be better able to observe and report on progress toward long-term Manufacturing USA program goals and objectives.
Agency: Department of Commerce
Status: Open
Comments: Commerce partially concurred with this recommendation according to its response to our report. In March 2020, Commerce stated that it supports the alignment of performance measures with performance goals only for Commerce-sponsored institutes. Commerce stated that it is unable to commit to this recommendation as 13 of the 14 existing institutes were authorized under authorities other than the RAMI Act and are sponsored by agencies other than Commerce. Commerce also stated that, until additional institutes authorized by the RAMI Act are in place, it does not support additional performance measures for the single Commerce-sponsored institute beyond the RAMI Act requirements, as doing so would impose an unfair level of scrutiny. Commerce agreed to report on performance metrics for department-sponsored institutes effective with the current annual report, which is expected by September 2020. We recognize that Commerce does not have management authority over other the institutes sponsored by other agencies. We believe our report sufficiently characterizes the effort to align the network-wide performance measures with network-wide performance goals and Manufacturing USA program goals as a collaborative effort between Commerce and sponsoring agencies that is in keeping with Commerce's coordination functions under the RAMI Act. Our recommendation does not ask Commerce to compel actions by other agencies, nor to develop any additional performance measures. As noted in our report, the Manufacturing USA program's performance measurement structure aligns near-term performance measures directly to the program's long-term goals. This structure bypasses connecting the performance measures with the program's objectives that have been developed to break down the long-term goals more specifically. GAO's prior work has shown that systems of performance measures benefit from certain key practices, such as creating a hierarchy that breaks down broad, long-term goals and objectives into more specific, near-term performance goals with measurable targets and time frames. Our recommendation was designed to ensure that the Manufacturing USA program performance measurement structure that Commerce has already worked with the other sponsoring agencies to develop more fully aligns with these key practices. We continue to believe that by working with other sponsoring federal agencies to ensure that the Manufacturing USA network-wide performance measures are directly aligned with the Manufacturing USA strategic program goals and objectives and the statutory purposes of the RAMI Act, Commerce would be better able to observe and report on progress made toward achieving the statutory purposes of the Manufacturing USA program.
Agency: Department of Commerce
Status: Open
Comments: Commerce partially concurred with this recommendation according to its response to our report. In March 2020, Commerce stated that it will develop criteria to evaluate the sufficiency of the Commerce-sponsored institute's sustainability plan based on the anticipated operating costs of the institute at fully operational steady state, and the likelihood of sustaining those operations through the specific efforts outlined in the sustainability plan. Commerce stated that it plans to develop the evaluation criteria by April 2020. We will update this recommendation after we learn more about these efforts.
Agency: Department of Defense
Status: Open
Comments: DOD partially concurred with this recommendation. According to information DOD provided in March 2020, DOD developed criteria to evaluate whether each DOD-sponsored institute is effectively executing its mission, providing value to the department, and transitioning advanced manufacturing to U.S. manufacturers, while demonstrating progress toward business viability (diversified revenue, controlled costs, etc.). As of March 2020, DOD plans to incorporate these criteria into a strategic management plan, under which the department will review institutes' progress at the end of their agreements to determine the type and level of DOD's continued participation. DOD expects to complete work on the strategic management plan by the end of September 2020.
Agency: Department of Energy
Status: Open
Comments: DOE concurred with this recommendation according to its response to our report. In September 2019, DOE stated that it will direct the Directors of DOE-sponsored institutes to collectively work toward updating institute sustainability plans and activities and collaboratively develop criteria and metrics to assess the institutes' progress toward financial sustainability. After development of the metrics, DOE will track as appropriate. As of March 2020, DOE reported agreement with its institutes on an initial set of criteria and metrics to assess progress toward financial sustainability. We will update this recommendation as we collect more information about these efforts.
GAO-19-431T, Apr 30, 2019
Phone: (202) 512-2757
including 2 priority recommendations
Agency: Department of Commerce
Status: Open
Priority recommendation
Comments: Commerce agreed with our recommendation. It provided an action plan in August 2019. We will review the Bureau's progress in addressing this recommendation as part of our ongoing work on the 2020 Census.
Agency: Department of Commerce
Status: Open
Priority recommendation
Comments: Commerce agreed with our recommendation. In August 2019, the Bureau stated that it is developing a process for tracking and executing corrective actions identified by governing bodies and external entities. We will review the Bureau's progress in addressing this recommendation as part of our ongoing work on the 2020 Census.
GAO-19-54, Nov 13, 2018
Phone: (202) 512-4841
Agency: Department of Defense
Status: Open
Comments: DOD agreed with this recommendation and issued supplemental guidance in September 2019. The guidance does not clarify what goods qualify as being predominantly expendable in nature, nontechnical, or have a short life expectancy or shelf life. It states contracting officers should check with the requiring activity to make this determination. However, since there is no clear definition of these terms, requiring activities will not have any better insight how to apply this criterion than contracting officers. We maintain that DOD needs to clarify how these terms should apply to goods..
Agency: Department of Defense
Status: Open
Comments: DOD agreed with this recommendation and issued supplemental guidance in September 2019. This guidance states it is up to the requiring activity to document that the lowest price reflects the full life cycle costs. However, through our work it was unclear to those we interviewed how to determine a full life cycle costs for services. The guidance cites DoD Instruction 4140.01, DoD Supply Chain Material Management Policy for further guidance on how to determine life cycle costs for services. This policy does not clarify how life cycle costs should be applied to services. We maintain that DOD needs to clarify how this requirement should be implemented by contracting officers as the guidance issued does not do this.
GAO-17-320, Apr 6, 2017
Phone: (202) 512-3841
Agency: Department of Commerce
Status: Open
Comments: In October 2019, the National Institute of Standards and Technology (NIST) reported that, working through the Manufacturing USA interagency team and the National Science and Technology Subcommittee on Advanced Manufacturing, it had revised the Manufacturing USA governance document to include a section defining roles related to facilitating information sharing for agencies who are not sponsoring Manufacturing USA institutes. We are seeking clarification from NIST on which non-sponsoring agencies are covered by the new section. We will revisit the status of this recommendation once we receive clarification.