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Nuclear Regulatory Commission: Fee-Setting, Billing, and Budgeting Processes Have Improved, but Additional Actions Could Enhance Efforts

GAO-20-362 Published: Feb 28, 2020. Publicly Released: Mar 04, 2020.
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Fast Facts

The Nuclear Regulatory Commission licenses, inspects, and enforces regulations for the nuclear industry, including reactors and waste operations. NRC recovers about 90% of its budget by assessing fees for work done at NRC-licensed companies.

Since 2017, NRC has altered some of its fee-setting, billing, and budgeting processes in response to previous audits. For example, NRC implemented an electronic billing system and shared more information about how it sets fees.

But, NRC’s processes still need to be more transparent to help licensees plan and budget. Our recommendations are for NRC to improve communications and cost information for licensees.

NRC’s Service and Annual Fee Collections

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Highlights

What GAO Found

Since 2017, the Nuclear Regulatory Commission (NRC) has implemented changes to its fee-setting, billing, and budgeting processes in response to GAO, the NRC Office of Inspector General (OIG), and internal agency findings and recommendations:

Fee-Setting . NRC has improved the clarity, consistency, and transparency of its fee-setting process by, among other things, defining key terms used in the calculation of its hourly-fee rate and by developing and meeting performance measures for the transparency and timeliness of the fee-setting process.

Billing . NRC has improved the timeliness and accuracy of its billing process by, for example, implementing an electronic billing system and a standardized process to validate licensee charges. However, the billing information the agency provides licensees is not fully transparent in two areas.

First, multiple licensees that GAO interviewed stated that NRC's project managers do not always communicate about that status of regulatory actions, which can cause the licensees' bills for NRC's oversight to be higher than expected. One of NRC's program offices has a policy regarding when to communicate information on the progress of work performed on ongoing regulatory actions, but the remaining NRC program offices GAO spoke with do not, nor is there agencywide policy or guidance. NRC's Principles of Good Regulation, which includes guidance on transparency, lists openness as a key principle, including communicating with licensees. By developing guidance about when NRC staff are to communicate information to licensees on the progress of work performed on ongoing regulatory actions, NRC could facilitate planning and budgeting for licensees.

Second, NRC did not clearly define what costs are included across all its public cost estimates for common regulatory actions. NRC created the estimates as a transparency measure to assist stakeholders—including licensees and potential applicants—with planning for the costs of future NRC oversight activities. However, NRC did not specify what costs are included across these cost estimates, such as those related to project management. According to GAO's analysis of NRC documents, such costs for some NRC actions can account for about two thirds of total hours billed. By clearly defining the costs in its public cost estimates, NRC could enhance transparency and increase the value of the estimates as a budgeting and planning tool for stakeholders, in accordance with NRC's Principles of Good Regulation.

Budgeting . NRC has made some changes to its budgeting process to better enable stakeholders to determine how it spent its appropriation. For example, starting in fiscal year 2018, NRC began presenting actual obligation data and more detailed information on the status of funds it carried over from prior fiscal years in its annual budget justification.

Why GAO Did This Study

NRC regulates the commercial nuclear industry. In that role, the agency provides services for regulated entities that hold licenses—that is, licensees. NRC recovers the majority of costs for these services by setting fee rates and using those rates to bill licensees. In 2017 and 2018, GAO recommended actions to improve NRC's fee-setting, billing, and budgeting processes, and NRC OIG and internal agency initiatives recommended additional actions. However, industry stakeholders continue to identify challenges with these processes.

GAO was asked to review NRC's (1) fee-setting, (2) billing, and (3) budgeting processes. This report examines NRC's progress since 2017 implementing changes to those processes in response to GAO, NRC OIG, and internal agency findings and recommendations.

GAO identified relevant GAO, NRC OIG, and internal agency recommendations and evaluated NRC's progress implementing those using evidence such as NRC's fee rules and budget documentation. GAO also spoke with NRC officials and interviewed a non-generalizable sample of NRC licensees, who were selected based on the amount of fees NRC charged them from fiscal years 2014 through 2018.





Recommendations

GAO recommends that NRC (1) develop guidance on when to communicate work progress information to licensees, and (2) ensure costs are clearly defined in its public cost estimates. NRC neither agreed nor disagreed but plans to review these processes. GAO believes its report supports implementation of these recommendations.

Recommendations for Executive Action

Agency Affected Recommendation Status
Directorate for Operations The Executive Director for Operations of NRC should ensure relevant NRC program offices develop policy and guidance for when to communicate information on work progress to licensees, such as through communications to licensees at specified timeframes or thresholds. (Recommendation 1)
Closed – Implemented
In providing comments on this report, NRC neither agreed nor disagreed with our recommendation but did describe actions that it intends to take in response to our recommendation. In 2021 and 2022, relevant divisions within NRC program offices updated procedures to establish policy and guidance for when to communicate information on work progress to licensees. For example, in January 2022, the Office of Nuclear Reactor Regulation updated its office instructions for topical reports (LIC-500, Revision 9) and formalized that NRC will communicate with sponsors about any significant changes-defined as greater than 25 percent-in the review schedule or resource estimates. Additionally, in May 2022, the Office of Nuclear Material Safety and Safeguards, Division of Fuel Management issued office procedures (LIC-FM-1) that established a consistent process for certain reviewing licensing and certification actions. As a part of these procedures, NRC officials are to periodically communicate with the applicant regarding any changes in schedule, cost, and/or number of hours provided in the acceptance letter. These actions meet the intent of our recommendation.
Office of the Chief Financial Officer The Chief Financial Officer of NRC should, in consultation with NRC program offices, develop guidance to ensure NRC staff clearly define what costs—such as project management—are included in its public cost estimates. (Recommendation 2)
Closed – Implemented
In providing comments on this report, NRC neither agreed nor disagreed with our recommendation but did describe actions that it intended to take in response to our recommendation. Based on direction from the NRC Budget Director, NRC program office staff completed updates to the agency's public cost estimates in 2020. NRC created guidance and clearly defined what costs are included in the public cost estimates. For example, NRC's cost estimates now state that the hours shown in the estimates include NRC staff hours associated with project management.

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Topics

Nuclear reactorsCost estimatesBudgetingProgram transparencyBudget justificationBudgetsNuclear materialsBudget formulationPerformance goalsBudget executionNuclear energy