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Department of Housing and Urban Development: Better Guidance and Performance Measures Would Help Strengthen Enforcement Efforts

GAO-19-38 Published: Oct 30, 2018. Publicly Released: Oct 30, 2018.
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Fast Facts

HUD seeks to help millions of Americans find quality, affordable housing through its rental assistance and other programs.

Recipients of HUD funding, such as private owners of HUD-assisted housing, must meet regulations and may face inspections. If housing does not pass inspection, HUD employees may refer the case to its Departmental Enforcement Center for enforcement.

Our review found ways the Center, which has recovered millions of dollars in inappropriately used funds, can better achieve its mission. Our recommendations include

developing guidance for HUD staff on when to make referrals

better tracking of Center performance.

This is a photo of the Department of Housing and Urban Development.

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Highlights

What GAO Found

The three program offices of the Department of Housing and Urban Development (HUD) that GAO examined have a process in place for referring cases of potential noncompliance to the Departmental Enforcement Center (DEC), but two of the offices do not provide their staff with specific guidance on when to make referrals. The Office of Multifamily Housing makes referrals to DEC based on defined thresholds for noncompliance, such as for properties that do not pass physical inspections. In contrast, the Offices of Public and Indian Housing (PIH) and Community Planning and Development (CPD) have broad guidelines but not specific thresholds for when to refer an entity to DEC. These two offices do not provide field staff with specific guidance to help determine which housing agencies or grantees to refer to DEC for possible enforcement action. As a result, the offices cannot ensure that decisions on whether to make referrals are made on a well-supported and consistent basis, potentially limiting DEC's effectiveness in fulfilling its mission of providing independent oversight of HUD's programs. In addition, PIH and CPD have targets for how many annual referrals the program office will make to DEC, but the targets are not based on program risk. According to federal internal control standards, management should identify, analyze, and respond to risks related to achieving the defined objectives. Without a target number of referrals based on program risk, PIH and CPD cannot be confident that the number of cases referred to DEC is appropriate and that DEC resources are being used efficiently.

DEC tracks some performance measures, but it largely measures outputs, such as number of work assignments completed, rather than outcomes, such as financial performance improvements resulting from its work, that would help assess the impact of its activities. DEC also does not track the status of recommendations it makes to program offices or measure indicators of its timeliness in completing its reviews for the referrals it receives. In addition, GAO found that DEC staff did not consistently record two key data elements (including the corrective action taken) in the spreadsheet used to track referrals. Improving DEC's performance measurement system and data recording would be consistent with federal internal control standards and allow DEC to better assess its effectiveness, ensure accountability, and identify potential improvements.

DEC has experienced various information technology challenges that have affected its ability to carry out its mission. For example, DEC's current system is not designed to allow staff to easily determine the basis for certain referrals or identify and analyze trends in referrals over multiple years. In addition, DEC has experienced continuing outages and breaks in service. HUD has developed plans for a replacement system, but funding constraints have delayed the implementation of the new system. DEC staff also noted that the organizational location of DEC within the Office of General Counsel was a challenge to carrying out its mission because it limited DEC's ability to hold program offices accountable for corrections. HUD disagreed and also stated that the department has no plans to relocate DEC. Based on GAO's review, other factors, such as the lack of guidance for making referrals (discussed above), may better explain why DEC may not be utilized more effectively.

Why GAO Did This Study

HUD established DEC in 1998 to consolidate enforcement functions. In fiscal year 2017, DEC received about 2,800 referrals from program offices for oversight of and enforcement actions against property owners, public housing agencies, and state and local grantees that do not comply with requirements.

The Joint Explanatory Statement accompanying the Consolidated Appropriations Act, 2017, included a provision for GAO to assess DEC's effectiveness addressing noncompliance. GAO examined (1) the processes selected program offices have in place to make referrals, (2) how DEC assesses its performance, and (3) challenges that may affect the ability of DEC to achieve its mission. GAO reviewed agreements and referral data between DEC and three of the nine HUD program offices that made referrals to DEC from fiscal years 2014 to 2017 (accounting for 73 percent of the total referrals during that period), and interviewed HUD staff in headquarters and field offices.

Recommendations

GAO is making eight recommendations to HUD related to DEC, including for staff guidance on when to make referrals; targets for the number of DEC referrals based on program risk; outcome measures to track performance; and controls to ensure consistent data recording. HUD agreed with five of the eight recommendations, noting that setting referral targets was inconsistent with basing them on program risk. GAO maintains that setting referral targets can help ensure that program offices make referrals to DEC.

Recommendations for Executive Action

Agency Affected Recommendation Status
Department of Housing and Urban Development The Director of the Departmental Enforcement Center and the Assistant Secretary for Community Planning and Development should develop written guidance for CPD's field offices to use when determining whether to make a referral to the Departmental Enforcement Center. (Recommendation 1)
Closed – Implemented
In May 2022, HUD stated that the Departmental Enforcement Center (DEC) and Community Planning and Development (CPD) had developed written protocols for referrals. HUD provided documentation of the protocols, which identify the selection criteria and process CPD will follow when making a referral of a grantee to DEC.
Department of Housing and Urban Development The Director of the Departmental Enforcement Center and the Assistant Secretary for Public and Indian Housing should develop written guidance for PIH's field offices to use when determining whether to make a referral to the Departmental Enforcement Center. (Recommendation 2)
Closed – Implemented
In May 2022, HUD stated that the Departmental Enforcement Center (DEC) and Public and Indian Housing (PIH) had developed written protocols. HUD provided documentation of the protocols, which identify the process field offices will follow when making a referral of a public housing agency to DEC.
Department of Housing and Urban Development The Director of the Departmental Enforcement Center and the Assistant Secretary for Community Planning and Development should develop targets for the number of referrals that CPD should make to DEC that are based on program risk. (Recommendation 3)
Closed – Implemented
In May 2022, HUD stated that the Departmental Enforcement Center (DEC) worked with Community Planning and Development (CPD) leadership to set targets for the number of automatic referrals CPD would make to DEC, as outlined in the written protocols CPD and DEC agreed to in July 2019. HUD provided documentation of the protocols, which state that CPD would make up to 16 automatic referrals per fiscal year related to remote disaster grant vouchers and up to 12 for non-disaster related competitive and formula grantees.
Department of Housing and Urban Development The Director of the Departmental Enforcement Center and the Assistant Secretary for Public and Indian Housing should develop targets for the number of referrals that PIH should make to DEC that are based on program risk. (Recommendation 4)
Closed – Implemented
In May 2022, HUD stated that the Departmental Enforcement Center (DEC) worked with Public and Indian Housing (PIH) leadership to set targets for the number of automatic referrals PIH would make to DEC, as outlined in the written protocols PIH and DEC agreed to in October 2019. HUD provided documentation of the protocols, which state that 15-20 public housing agencies would be referred to DEC each fiscal year in target compliance areas such as procurement, conflict of interest and program cost allocation.
Department of Housing and Urban Development The Director of the Departmental Enforcement Center should develop and implement performance measures that assess the outcomes, or desired results, of its enforcement activities. (Recommendation 5)
Closed – Implemented
In May 2023, HUD stated that it planned to track metrics related to (1) corrective actions imposed by the Departmental Enforcement Center (DEC) due to program noncompliance identified based on referrals made by program offices and (2) misused funds and recommendations identified by DEC during oversight reviews. HUD also stated that it planned to report these metrics in DEC's annual report. HUD provided documentation of DEC's Annual Report for Fiscal Year 2022, which provides information on these metrics. For example, the report states that DEC imposed corrective actions (civil monetary penalties, recoveries, and directed payments) totaling about $5.2 million in fiscal year 2022 based on DEC reviews of referrals for program compliance. In addition, the report states that DEC identified $34.9 million in misused funds (unsupported, ineligible, unreasonable, unallowed, and questioned) and made 162 recommendations to remedy noncompliance in fiscal year 2022 based on referrals for oversight reviews.
Department of Housing and Urban Development The Director of the Departmental Enforcement Center should develop and implement performance measures of its timeliness in completing oversight reviews. (Recommendation 6)
Closed – Implemented
In May 2023, HUD stated that the Departmental Enforcement Center (DEC) revised the performance standards for its managers and financial analysts to include descriptors related to the timeliness of oversight reviews. HUD provided documentation of the revised standards, which describe expected staff performance at various levels for the timely completion of oversight reviews.
Department of Housing and Urban Development The Director of the Departmental Enforcement Center should track the implementation of the recommendations that it makes to program offices as a result of its oversight reviews. (Recommendation 7)
Closed – Implemented
In May 2022, HUD provided documentation of an internal web page that the Departmental Enforcement Center (DEC) had developed to track its oversight reviews. The web page allows DEC to review the status of its recommendations and any actions the program offices have taken to implement them.
Department of Housing and Urban Development The Director of the Departmental Enforcement Center should develop controls to ensure that analysts consistently and reliably record dates related to referral activity, corrective action taken, and other key information used to determine DEC's impact. (Recommendation 8)
Closed – Implemented
In June 2022, HUD provided documentation of a February 2019 memo from the Director of the Departmental Enforcement Center (DEC) to all staff that reinforced the need for the DEC to have accurate and timely records of transactions to achieve its objectives and manage risk. The memo required analysts to make certain entries in its tracking system within two days of the applicable action (e.g., date referral was received, date analyst was assigned, and date referral was closed). The memo also required analysts to record any corrections made by the program offices within two days of the action.

Full Report

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Topics

Affordable housingCommunity developmentCompliance oversightEqual opportunityFair housingHousing assistanceInformation technologyInternal controlsMultifamily housingPerformance measurementPublic housingRegulatory noncomplianceUrban development