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Statement of Cynthia A. Bascetta
Director, Health Care
Veterans'
Health and Benefits Issues
Mr.
Chairman and Members of the Committee:
Thank
you for inviting me to discuss our past and current work on veterans’
health care and disability benefits—two major program areas at the
Department of Veterans Affairs (VA). As you know, VA’s budget
submission for fiscal year 2004 includes about $64 billion and 214,000
staff. In fiscal year 2002, VA spent about $23 billion to provide
health care to over 4 million veterans and about $26 billion to provide
cash disability benefits to over 3 million veterans, family members, and
survivors.
It is
especially fitting, with the recent deployment of our military forces to
armed conflict, that we reaffirm our commitment to provide high quality
services in a convenient and timely manner to those who serve our nation
in its times of need. Meeting this commitment as efficiently and
effectively as possible is also of paramount importance. In this
regard, my statement focuses on challenges that VA faces to ensure
reasonable access to health care, use its health care resources
efficiently, and manage its disability programs effectively.
My comments today are based on numerous
reports and testimonies issued over the last 7 years, including
significant recommendations we have made and VA’s progress in
implementing them. (See Related GAO Products.) We did our work in over
100 VA health care delivery locations and conducted surveys of all 21
health care networks and reviews of disability management issues
covering all 57 disability claims processing regional offices. We are
also reporting preliminary results of ongoing health care
work that started in November 2002.
This involves visits to delivery locations, document reviews and
interviews with VA officials in headquarters and the networks.
We did our work in accordance with generally accepted government
auditing standards.
In
summary, VA is challenged to meet the acute and
nursing home
care needs of veterans in a timely,
convenient, and equitable manner. Despite VA’s significant
access enhancements over the past several years, too
many veterans continue to travel too
far and wait too long for appointments, especially when they require
hospital admissions or consultations with specialists on an outpatient
basis. When trying to reduce travel times, VA faces difficult decisions
because shifting care closer to where veterans live can have significant
ramifications for stakeholders, such as medical schools, as well as for
the use of VA’s existing resources. In addition, VA’s efforts to reduce
waiting times may be complicated by an anticipated surge in demand for
VA specialty outpatient care over the next 10 years. Also, the
population most in need of nursing homecare—veterans who are 85 years
old or older—is growing. As a result, VA faces difficult decisions
concerning the delivery and sizing of nursing home-term care services to
equitably meet these needs.
VA is
also challenged to find ways to use available health care resources more
efficiently to meet veterans’ demand for health care. For example, VA
operates and maintains a large portfolio of aged health care assets,
primarily buildings, which reflects a business model and technological
environment of the 1950s. This infrastructure is no longer effectively
aligned with VA’s new delivery model that emphasizes outpatient care. As
a result, VA faces difficult realignment decisions involving capital
investments, consolidations, closures, and contracting with local
providers. These may have significant ramifications for stakeholders,
such as medical schools and unions, primarily because realignments
involve a shifting of workload among delivery locations or workforce
reductions. VA also faces challenges in implementing management changes
to improve the efficiency of patient support services, such as food and
laundry services.
In addition, VA is challenged to find ways
to compensate disabled veterans in a more meaningful and timely manner.
For example, VA uses a disability determination process that is based on
economic conditions in 1945 and, as such, does not accurately reflect
current relationships between impairments and the skills and abilities
needed to work in today’s business environment. Moreover, the
consequences of some medical conditions for many individuals have been
reduced through advances in medicine and technology, which allow
individuals to live with greater independence and function more
effectively in work settings. Besides modernizing the economic and
medical underpinnings of the program, VA remains in the midst of
significant challenges to improve the quality, timeliness,
and consistency of disability claims
processing. Despite its recent efforts, too many disabled veterans wait
too long for disability decisions. Significant and sustainable
improvements may not be possible without fundamental program design
changes, including those that require legislative actions to implement.
VA and the Congress could face significant stakeholder resistance to
such changes.
I
would also like to point out that we designated federal real property
and federal disability programs as high-risk areas in January 2003.
We did this to draw attention to the need for broad-based transformation
in these areas, which is critical to improving the government’s
performance and ensuring accountability within expected resource
limits. If this transformation is well implemented, agencies will be
better positioned to achieve mission effectiveness, reduce operating
costs, improve facility conditions, and enhance security and safety.
BACKGROUND
Today,
VA operates over 800 delivery locations nationwide, including over 600
community-based outpatient clinics and 162 hospitals.
VA’s delivery locations are organized into 21
geographic areas, commonly referred to as networks. Each network
includes a management office responsible for making basic budgetary,
planning, and operating decisions concerning the delivery of health care
to its veterans. Each office oversees between 5 and 11 hospitals, as
well as many community-based outpatient clinics.
To
promote more cost-effective use of resources, VA is authorized to share
resources with other federal agencies to avoid unnecessary duplication
and overlap of activities. VA and the Department of Defense (DOD) have
entered into agreements to exchange inpatient, outpatient, and specialty
care services as well as support services. Local facilities also have
arranged to jointly purchase pharmaceuticals, laboratory services,
medical supplies, and equipment.
Also, VA
has been authorized to enter into agreements with medical schools and
their teaching hospitals. Under these agreements, VA hospitals provide
training for medical residents, and appoint medical school faculty as VA
staff physicians to supervise resident education and patient care.
Currently, about 120 medical schools and teaching hospitals have
affiliation agreements with VA. About 28,000 medical residents receive
some of their training in VA facilities every year.
Veterans’ eligibility for health care also has evolved over time.
Before 1924, VA health care was available only to veterans who had
wounds or diseases incurred during military service. Eligibility for
hospital care was gradually extended to war-time veterans with lower
incomes and, in 1973, to peace time veterans with lower incomes. By
1986, all veterans were eligible for hospital and outpatient care for
service-connected conditions as well as for conditions unrelated to
military service.
VA
implemented an enrollment process in 1998 that was established primarily
as a means of prioritizing care if sufficient resources were not
available to serve all veterans seeking care. About 6.2 million veterans had enrolled by the end of fiscal
year 2002. In contrast, the overall veteran population is estimated to
be about 25 million. VA projects a decline in the total veteran
population over the next 20 years while the enrolled population is
expected to decline more slowly as shown in table 1.
Table 1: Veteran Population and Enrollment Projections between Fiscal
Years 2007 and 2022 (in millions)
|
|
2007 |
2012 |
2017 |
2022 |
|
Veteran
Population |
22.8 |
20.6 |
18.6 |
16.9
|
|
Enrollment
|
6.3 |
6.3 |
6.1
|
5.7 |
Source: VA
In addition to health care, VA provides
disability benefits to those veterans with service-connected conditions.
Also, VA provides pension benefits to low-income wartime veterans with
permanent and total disabilities unrelated to military service.
Further, VA provides compensation to survivors of service members who
died while on active duty.
Disabled veterans are entitled to cash
benefits whether or not employed and regardless of the amount of income
earned. The cash benefit level is based on the percentage evaluation,
commonly called the “disability rating,” that represents the average
loss in earning capacity associated with the severity of physical and
mental conditions. VA uses its Schedule for Rating Disabilities
to determine which disability rating to assign to a veteran’s particular
condition. VA’s ratings are in 10-percent increments, from 0 to 100
percent.
Although VA generally does not pay
disability compensation for disabilities rated at 0 percent, such a
rating would make veterans eligible for other benefits, including health
care. About 65 percent of veterans receiving disability compensation
have disabilities rated at 30 percent or lower; about 8 percent are 100
percent disabled. Basic monthly payments range from $104 for a 10
percent disability to $2,193 for a 100 percent disability.
To process claims for these
benefits, VA operates 57 regional offices. These offices made almost
800,000 rating-related decisions
in fiscal year 2002. Regional office personnel develop claims, obtain
the necessary information to evaluate claims, and determine whether to
grant benefits. In doing so, they consider veterans’ military service
records, medical examination and treatment records from VA health care
facilities, and treatment records from private providers. Once claims
are developed, the claimed disabilities are evaluated, and ratings are
assigned based on degree of disability. Veterans with multiple
disabilities receive a single, composite rating. For veterans claiming
pension eligibility, the regional office also determines if the veteran
served in a period of war, is permanently and totally disabled for
reasons unrelated to military service, and meets the income thresholds
for eligibility.
ACCESS TO HEALTH CARE COULD BE ENHANCED
Over the
past several years, VA has done much to ensure that veterans have
greater access to health care. Despite this, travel times and waiting
times are still problems. Another problem faced by aging veterans is
potentially inequitable access to nursing home care.
Many Veterans Travel Too Far
for Hospital Admissions and Specialty
Consultations
The substantial increase in VA health care delivery locations has
enhanced access for enrolled veterans in need of primary care, although
many still travel long distances for primary care.
In addition, many who need to consult with specialists or require
hospitalization often travel long distances to receive care.
Nationwide, for example, more than 25 percent of veterans enrolled in VA
health care--over 1.7 million--live over 60 minutes driving time from a
VA hospital. These veterans would have to travel a long distance if they
require admissions or consultations with specialists, such as urologists
or cardiologists.
In
October 2000, VA established the Capital Asset Realignment for Enhanced
Services (CARES) program, which has a goal of improving veterans’ access
to acute inpatient care, primary care, and specialty care. CARES is
intended to identify how well the geographic distribution of VA health
care resources matches projected needs and the shifts necessary to
better align resources and needs. Toward that end, VA has divided, for
analytical purposes, its 21 networks into 76 geographic areas -- groups
of counties -- in order to determine the extent to which enrollees’
travel times exceed VA’s access standards.
For
example, as part of CARES, VA has mandated the 21 network directors to
identify ways to ensure that at least 65 percent of the veterans in
their areas are within VA’s access standards for hospital care—60
minutes for veterans residing in urban counties, 90 minutes for those in
rural counties, and 120 minutes for those in highly rural counties. VA
has identified 25 areas that do not
meet this 65 percent target. In these areas, over 900,000 enrolled
veterans have travel times that exceed VA’s access standards. In
addition, as part of CARES, VA identified 51 other areas where access
enhancements may be addressed at the discretion of network directors,
given that at least 65 percent of all enrolled veterans in those areas
have travel times that meet VA’s standard. In these areas, about 875,000
enrolled veterans have travel times that exceed VA’s standards.
By
contrast, VA has not mandated that network directors enhance access for
veterans who travel long distances to consult with specialists. Unlike
hospital care, VA has not established standards for acceptable travel
times for specialty care. Currently, nearly 2 million enrolled veterans
live more than 60 minutes driving time from specialists at the closest
VA delivery locations.
When
considering ways to enhance access for veterans, VA network directors
may consider three basic options: construct a new VA-owned and operated
delivery location; negotiate a sharing agreement with another federal
entity, such as a DOD facility; or contract with nonfederal health care
providers. Shifting the delivery of health
care closer to where veterans live can have significant ramifications
for other stakeholders, such as medical schools. For example, within the
76 areas, there are smaller geographic areas that contain large
concentrations of enrollees outside VA’s access standards—10,000 or
more—who live closer to non-VA hospitals than they do to the nearest VA
hospitals. Such enrolled veterans could account for significant portions
of the hospital workload at the nearest VA delivery locations.
Therefore, a shifting of this workload closer to veterans’ residences
could reduce the size of residency training opportunities at existing VA
delivery locations.
Enhancing veterans’ access can also have
significant ramifications regarding the use of VA’s existing resources.
Currently, VA has most of its resources dedicated to costs associated
with its existing hospitals and other infrastructure, including clinical
and support staff, at its major health care delivery locations.
Reducing veterans’ travel times through contracting with providers in
local communities or other options would reduce demand for services at
VA’s existing, more distant delivery locations. Efficient operation of
those locations would become more difficult given the smaller workloads
in relation to the operating costs of existing hospitals.
Many Veterans Wait Too Long
for Appointments
We
also have found that excessive waiting times for VA outpatient care
persist—a situation that we have reported on for the last decade. For
example, in May 2000, we reported that veterans frequently wait longer
than 30 days—VA’s access standard—for appointments with specialists at
VA delivery locations in Florida and other areas of the country.
More recently, a Presidential task force reported in its July 2002
interim report that veterans are finding it increasingly difficult to
gain access to VA care in selected geographic regions.
For example, the task force found that the average waiting time for a
first outpatient appointment in Florida, which has a large and growing
veteran population, is over a year.
Although there is general consensus that waiting times are excessive, we
reported, and VA agreed, that its data did not reliably measure the
scope of the problem.
To improve its data, VA is in the process of developing an automated
system to more systematically measure waiting times. VA has also taken
several actions to mitigate the impact of long waiting times, including
limiting enrollment of lower priority veterans and granting priority for
appointments to certain veterans with service-connected disabilities.
VA faces
an impending challenge, however, reducing the length of times veterans
wait for appointments. Specifically, VA’s current projections of acute
health care workload indicate a surge in demand for acute health care
services over the next 10 years. For example, specialty outpatient
demand nationwide is expected to almost double by fiscal year 2012.
Veterans’
Access to Nursing Home Care May Be Inequitable
Table 2:
Nursing Home Average Daily Census Provided or Paid for by VA in Fiscal
Years 1998-2002
|
Type of nursing home
|
1998 |
1999 |
2000 |
2001 |
2002 |
|
VA Nursing
Homes |
13,426 |
12,653 |
11,828 |
11,674 |
11,974 |
|
Community
Nursing Homes |
5,575 |
4,547 |
3,682 |
4,010 |
3,831 |
|
State
Veterans’
Nursing
Homes |
14,602 |
15,051 |
15,286 |
15,593 |
15,941 |
|
Total
|
33,603 |
32,251 |
30,796 |
31,277 |
31,746 |
Source:
VA.
Note: The average daily census represents the total number of days of
nursing home care divided by the number of days in the year.
VA headquarters
officials told us that the decline in nursing home average daily census
could be the result of a number of factors. These factors include
providing more emphasis on shorter-term care for post-acute care
rehabilitation, providing more home and community-based services to
obviate the need for nursing home care, assisting veterans to obtain
placement in community nursing homes where care is financed by other
payers, such as Medicaid, when appropriate, and difficulty recruiting
enough nursing staff to operate all beds in some VA-operated nursing
homes.
VA policy
provides networks broad discretion in deciding what nursing home care to
offer those patients that VA is not required to provide nursing home
care to under the provisions of the Veterans Millennium Health Care and
Benefits Act of 1999.
Networks’ use of this discretion appears to result in inequitable access
to nursing home care. For example, some networks have policies to
provide long-term nursing home care to these veterans who need such care
if resources allow, while other networks do not have such policies. As
a result, these veterans who need long-term nursing home care may have
access to that care in some networks but not others. This is
significant because about two-thirds of VA's current nursing home users
are recipients of discretionary nursing home care.
VA intended to address veterans’ access to
nursing home care as part of its larger CARES initiative to project
future health care needs and determine how to ensure equitable access.
However, initial projections of nursing home need exceeded VA’s current
nursing home capacity. VA said that the projections did not reflect its
long-term care policy and decided not to include nursing home care in
its CARES initiative. Instead, VA officials told us that they have
developed a separate process to provide projections for nursing home,
and home and community-based services needs. These officials expect that
new projections will be developed for consideration by the Under
Secretary for Health by July 2003. VA officials also told us that VA
will use this information in its strategic planning initiatives to
address nursing home and other long-term care issues at the same time
that VA implements its CARES initiatives.
Because VA has not systematically examined its nursing home policies and
access to care, veterans have no assurance that VA's $2 billion nursing
home program is providing equitable access to care to those who need
it. This is particularly important given the aging of the veteran
population. The veteran population most in need of nursing home
care—veterans 85 years old or older—is expected to increase from almost
640,000 to over 1 million by 2012 and remain at about that level through
2023. Until VA develops a long-term care projection model consistent
with its policy, VA will not be able to determine if its nursing home
care units in 131 locations and other nursing home care services it pays
for provide equitable access to veterans now or in the future.
EFFICIENCY COULD BE IMPROVED THROUGH
HEALTH CARE ASSET REALIGNMENT AND OTHER MANAGEMENT ACTIONS
In
recent years, VA has made an effort to align its capital assets,
primarily buildings, to better serve veterans’ needs as well as
institute other needed efficiencies. Despite this, many of VA’s
buildings remain underutilized and support services are not always
provided efficiently. VA could make better use of its resources by
taking steps to partner with other public and private providers,
purchase care from such providers, replace obsolete assets with modern
ones, or consolidate duplicative care provided by multiple locations
serving the same geographic areas where it would be cost effective to do
so, and assess various management options to
improve the efficiency of patient support services.
Capital Assets Not Well-Aligned
to Meet Veterans’ Needs
VA has a
large and aged infrastructure, which is not well aligned to efficiently
meet veterans’ needs. In recent years, as a result of new technology
and treatment methods, VA has shifted delivery from inpatient to
outpatient settings in many instances and shortened lengths of stay when
hospitalization was required. Consequently, VA has excess inpatient
capacity at many locations.
For example, in August 1999, we reported that VA owned about 4,700
buildings, over 40 percent of which had operated for more than 50 years,
and almost 200 of which were built before 1900. Many organizations in
the facilities management environment consider 40 to 50 years to be the
useful life of a building.
Moreover, VA used fewer than 1,200 of these buildings (about one-fourth
of the total) to deliver health care services to veterans. The rest were
used primarily to support health care activities, although many had
tenants or were vacant.
In addition, most delivery locations had mission-critical buildings that
VA considered functionally obsolete. These included, for example,
inpatient rooms not up to industry standards concerning patient privacy;
outpatient clinics with undersized examination rooms; and buildings with
safety concerns, such as vulnerability to earthquakes.
As
part of VA’s transformation, begun in 1995, its networks implemented
hundreds of management initiatives that significantly enhanced their
overall efficiency and effectiveness.
The success of these strategies—shifting inpatient care to more
appropriate settings, establishing primary care in community clinics,
and consolidating services in order to achieve economies of
scale—significantly reduced utilization at most of VA’s inpatient
delivery locations. For example, VA operated about 73,000 hospital beds
in fiscal year 1995. In fiscal year 1998, veterans used on average
fewer than 40,000 hospital beds per day, and by 2001 usage had further
declined to about 16,000 hospital beds per day.
In
1999, we concluded that VA’s existing infrastructure could be the
biggest obstacle confronting VA’s ongoing transformation efforts.
During a hearing in 1999 before this Committee’s Subcommittee on Health,
we pointed out that, although VA was addressing some realignment issues,
it did not have a plan in place to identify buildings that are no longer
needed to meet veterans health care needs. We recommended that VA
develop a market-based plan for restructuring its delivery of health
care in order to reduce funds spent on underutilized or inefficient
buildings. In turn those funds could be reinvested to better serve
veterans’ needs by placing health care resources closer to where they
live.
To do
so, we recommended that VA comply with guidance from the Office of
Management and Budget. The guidance suggested that market-based
assessments include (1) assessing a target population’s needs, (2)
evaluating the capacity of existing assets, (3) identifying any
performance gaps (excesses or deficiencies), (4) estimating assets’ life
cycle costs, and (5) comparing such costs to other alternatives for
meeting the target population’s needs. Alternatives include (1)
partnering with other public or private providers; (2) purchasing care
from such providers; (3) replacing obsolete assets with modern ones; or
(4) consolidating services duplicated at multiple locations serving the
same market.
During
the 1999 hearing, the subcommittee chairman urged VA to implement our
recommendations and VA agreed to do so. In August 2002, VA announced
the results of a pilot study in its Great Lakes network, which includes
Chicago and other locations. VA selected three realignment strategies
in this network – consolidation of services at existing locations,
opening of new outpatient clinics, and closure of one inpatient
location. Currently, VA is analyzing ways to realign health care
delivery in its 20 remaining networks. VA expects to issue its plans by
the end of 2003. To date, VA has projected veterans’ demand for acute
health care services through fiscal year 2022, evaluated available
capacity at its existing delivery locations, and targeted geographic
areas where alternative delivery strategies could allow VA to operate
more efficiently and effectively while ensuring access consistent with
its standards for travel time.
For example, VA has the opportunity to achieve efficiencies through
economies of scale in 30 geographic areas where two or more major health
care delivery locations that are in close proximity provide duplicative
inpatient and outpatient health care services. VA may also achieve
similar efficiencies in 38 geographic areas where two or more tertiary
care delivery locations are in close proximity. VA considers delivery
locations to be in close proximity if they are within 60 miles of one
another for acute care and within 120 miles for tertiary care. In
addition, VA may achieve additional efficiencies in 28 geographic areas
where existing delivery locations have low acute medicine workloads,
which VA has defined as serving less than 40 hospital patients per day.
VA also identified more than 60 opportunities for partnering with the
DOD to better align the infrastructure of both agencies.
VA
faces difficult challenges when attempting to improve service delivery
efficiencies. For example, service consolidations can have significant
ramifications for stakeholders, such as medical schools and unions,
primarily due to shifting of workload among locations and workforce
reductions. Understandably, medical schools are reluctant to change
long-standing business relationships involving, among other things,
training of medical residents. For example, VA tried for 5 years to
reach agreement on how to consolidate clinical services at two of
Chicago’s four major health care delivery locations before succeeding in
August 2002. This is because such restructuring required two medical
schools to use the same location to train residents, a situation that
neither supported.
Unions, too, have been reluctant to support
planning decisions that result in a restructuring of services. This is
because operating efficiencies that result from the consolidation of
clinical services into a single location could also result in staffing
reductions for such support services as grounds maintenance, food
preparation, and housekeeping. For example, as part of its ongoing
transformation, VA proposed to consolidate food preparation services of
9 delivery locations into a single location in New York City in
order to operate more efficiently. Two union’s objections, however,
slowed VA’s restructuring, although VA and the unions subsequently
agreed on a way to complete the restructuring.
VA also
faces difficult decisions concerning the need for and sizing of capital
investments, especially in locations where future workload may increase
over the short term before steadily declining. In large part, such
declines are attributable to the expected nationwide decrease in the
overall veteran population by more than one-third by 2030; in some
areas, veteran population declines are expected to be steeper. It may
be in VA’s best interests to partner with other public or private
providers for services to meet veterans’ demands rather than risk making
a major capital investment over the long term that would be
underutilized in the latter stages of its useful life.
In
cases when VA’s realignment results in buildings that are no longer
needed to meet veterans’ health care needs, VA faces other difficult
decisions regarding whether to retain or dispose of these buildings. VA
has several options, including leasing, demolition, or transferring
buildings to the General Services Administration (GSA), which has the
authority to dispose of excess or surplus federal property. When there
is no leasing potential, VA faces potentially high demolition costs as
well as uncertain site preparation costs associated with the transfer of
buildings to GSA. Given that such costs involve the use of health care
resources, ensuring that disposal decisions are based on systematic
analyses of costs and benefits to veterans poses another realignment
challenge.
The
challenge of dealing with a misaligned infrastructure is not unique to
VA. In fact, we identified federal real property management as a
high-risk area in January 2003. For the federal government overall and
VA in particular, technological advancements, changing public needs,
opportunities for resource sharing, and security concerns will call for
a new way of thinking about real property needs. In VA’s case, it has
recognized the critical need to better manage its buildings and land and
is in the process of implementing CARES to do so. VA has the
opportunity to lead other federal agencies with similar real property
challenges. However, VA and other agencies have in common persistent
problems, including competing stakeholder interests in real property
decisions. Resolving these problems will require high-level attention
and effective leadership.
Patient Support
Services Could Be Provided
More
Efficiently
As VA continues to transform
itself from an inpatient- to an outpatient-based health care system, it
must find more efficient, systemwide ways of providing patient care
support services, such as consolidation of services and the use of
competitive sourcing. For example, VA’s shift in emphasis from inpatient
to outpatient health care delivery has significantly reduced the need
for inpatient care support services, such as food and laundry services.
To make better use of resources, some VA inpatient facilities have
consolidated food production locations, used lower-cost Veterans Canteen
Service (VCS) workers instead of higher-paid Nutrition and Food Service
workers
to provide inpatient food services, or contracted out for the provision
of these services. Some VA facilities have also consolidated two or
more laundries into a single location, contracted for labor to operate
VA laundries, or contracted out laundry services to commercial
organizations.
VA needs to systematically
explore the further use of such options across its health care system.
In November 2000, we recommended that VA conduct studies at all of its
food and laundry service locations to identify and implement the most
cost-effective way to provide these services at each location.
At that time, we identified 63 food production locations that could be
consolidated into 29, saving millions of dollars annually. We estimated
that VA could potentially save millions of dollars by consolidating both
food and laundry production locations.
VA may also be able to reduce
its food and laundry service costs at some facilities through
competitive sourcing—through which VA would determine whether it would
be more cost-effective to contract out these services or provide them
in-house. VA must ensure, however, that, if a decision to contract for
services is made, contract terms on payments and service quality
standards will continue to be met. For example, we found that weaknesses
in the monitoring of VA’s Albany, New York laundry contract appear to
have resulted in overpayments, reducing potential savings.
In
August 2002, VA issued a directive establishing policy and
responsibilities for its networks to follow in implementing a
competitive sourcing analysis to compare the cost of contracting and the
cost of in-house performance to determine who can do the work most cost
effectively. VA has announced that, as part of the President’s
Management Agenda, it will complete studies of competitive sourcing of
55,000 positions by 2008. VA plans to complete studies of competitive
sourcing for all its laundry positions by the end of calendar year
2003. Similar initiatives for food services and other support services
are in the planning stages at VA. Overall, VA’s plan for competitive
sourcing shows promise. However, VA has not yet established a timeline
for implementing an assessment of competitive sourcing and the other
options we recommended for all its inpatient food service locations.
Until VA completes these assessments and takes action to reduce costs,
it may be paying more for inpatient food services than required and as a
result have fewer resources available for the provision of health care
to veterans.
We recognize that one of the options we recommended that VA assess, the
competitive sourcing process set forth in the Office of Management and
Budget (OMB) Circular A-76, historically has been difficult to
implement. Specifically, there are concerns in both the public and
private sectors regarding the fairness of the competitive sourcing
process and the extent to which there is a “level playing field” for
conducting public-private competitions. It was against this backdrop
that the Congress in 2001, mandated that the Comptroller General
establish a panel of experts to study the process used by the government
to make sourcing decisions. The Commercial Activities Panel that the
Comptroller convened conducted a yearlong study, and heard repeatedly
about the importance of competition and its central role in fostering
economy, efficiency, and continuous performance improvement. The panel
made a number of recommendations for improving sourcing policies and
processes.
As part of the administration’s efforts to implement the recommendations
of the Commercial Activities Panel, OMB published proposed changes to
Circular A-76 for public comment in November 2002. In our comments on
the proposal to the Director of OMB this past January, we noted the
absence of a link between sourcing policy and agency missions,
unnecessarily complicated source selection procedures, certain
unrealistic time frames, and insufficient guidance on calculating
savings. The administration is now considering those and other comments
as it finalizes the revisions to the Circular.
FUNDAMENTAL CHANGES COULD IMPROVE
EFFECTIVENESS OF VA’S DISABILITY PROGRAMS
Significant program design and management
challenges hinder VA’s ability to provide meaningful and timely support
to disabled veterans and their families. VA relies on outmoded medical
and economic disability criteria. VA also has difficulty providing
veterans with accurate, consistent, and timely benefit decisions,
although recent actions have improved timeliness.
VA’s Disability Criteria Are Outmoded
In assessing veterans’ disabilities, VA
remains mired in concepts from the past. VA’s disability programs base
eligibility assessments on the presence of medically determinable
physical and mental impairments. However, these assessments do not
always reflect recent medical and technological advances, and their
impact on medical conditions that affect the ability to work. VA’s
disability programs remain grounded in an approach that equates certain
medical impairments with the incapacity to work. Moreover, advances in
medicine and technology have reduced the severity of some medical
conditions and allowed individuals to live with greater independence and
function more effectively in work settings. Also, VA’s rating schedule
updates have not incorporated advances in assistive technologies—such as
advanced wheelchair design, a new generation of prosthetic devices, and
voice recognition systems—that afford some disabled veterans greater
capabilities to work.
VA has made some progress in
updating its rating schedule to reflect medical advances. Revisions
generally consist of (1) adding, deleting, and reorganizing medical
conditions in the Schedule for Rating Disabilities, (2) revising
the criteria for certain qualifying conditions, and (3) wording changes
for clarification or reflection of current medical terminology. However,
VA’s effort to update its disability criteria within the context of
current program design has been slow and is insufficient to provide the
up-to-date criteria VA needs to ensure meaningful and equitable benefit
decisions. Completing an update of the schedule for one body system has
generally taken 5 years or more; the schedule for the ear and other
sense organs took 8 years. In August 2002,
we recommended that VA use its annual performance plan to delineate
strategies for and progress in updating its disability rating schedule.
VA did not concur with our recommendation because it believes that
developing timetables for future updates to the rating schedule is
inappropriate while the initial review is ongoing.
In addition, VA’s disability criteria have
not kept pace with changes in the labor market. The nature of work has
changed in recent decades as the national economy has moved away from
manufacturing-based jobs to service- and knowledge-based employment.
These changes have affected the skills needed to perform work and the
settings in which work occurs. For example, advancements in computers
and automated equipment have reduced the need for physical labor.
However, the percentage ratings used in VA’s Schedule for Rating
Disabilities are primarily based on physicians’ and lawyers’
estimates made in 1945 about the effects that service-connected
impairments have on the average individual’s ability to perform jobs
requiring manual or physical labor. VA’s use of a
disability schedule that has not been modernized to account for labor
market changes raises questions about the equity of VA’s benefit
entitlement decisions; VA could be overcompensating some veterans, while
under-compensating—or denying compensation entirely—to others.
In January 1997, we suggested that
the Congress consider directing VA to determine whether the ratings for
conditions in the schedule correspond to veterans’ average loss in
earnings due to these conditions and adjust disability ratings
accordingly. Our work demonstrated that there were generally accepted
and widely used approaches to statistically estimate the effect of
specific service-connected conditions on potential earnings. These
estimates could be used to set disability ratings in the schedule that
are appropriate in today’s socio-economic environment.
In August 2002, we recommended that VA use
its annual performance plan to delineate strategies for and progress in
periodically updating labor market data used in its disability
determination process. VA did not concur with our recommendation because
it does not plan to perform an economic validation of its disability
rating schedule, or to revise the schedule based on economic factors.
According to VA, the schedule is medically based; represents a consensus
among stakeholders in the Congress, VA, and the veteran community; and
has been a valid basis for equitably compensating disabled veterans for
many years.
Even if VA’s schedule updates were
completed more quickly, they would not be enough to overcome program
design limitations in evaluating disabilities. Because of the limited
role of treatment in VA disability programs’ statutory and regulatory
design, its efforts to update the rating schedule would not fully
capture the benefits afforded by treatment advances and assistive
technologies. Current program design limits VA’s ability to assess
veterans’ disabilities under corrected conditions, such as the impact of
medications on a veteran’s ability to work despite a severe mental
illness. In August 2002, we recommended that VA study and report to the
Congress on the effects that a comprehensive consideration of medical
treatment and assistive technologies would have on its disability
programs’ eligibility criteria and benefit package. This study would
include estimates of the effects on the size, cost, and management of
VA’s disability programs and other relevant VA programs; and would
identify any legislative actions needed to initiate and fund such
changes. VA did not concur with our recommendation because it believes
this would represent a radical change from the current programs, and it
questioned whether stakeholders in the Congress and the veterans’
community would accept such a change.
VA’s disability program challenges
are not unique. For example, the Social Security Administration’s (SSA)
disability programs
remain grounded in outmoded concepts of disability. Like VA, SSA has not
updated its disability criteria to reflect the current state of science,
medicine, technology and labor market conditions. Thus, SSA also needs
to reexamine the medical and vocational criteria it uses to determine
whether individuals are eligible for benefits.
VA Is Trying to Improve the Quality and
Timeliness of Claims Processing
Even if VA brought its disability criteria
up to date, it would continue to face challenges in ensuring quality and
timely decisions, including ensuring that veterans get consistent
decisions—that is, comparable decisions on benefit entitlement and
rating percentage—regardless of the regional office making the
decisions. VA has made some progress in improving disability program
administration, but much remains to be done before VA has a system that
can sustain production of accurate, consistent, and timely decisions.
VA is making changes that will allow
it to better identify accuracy problems at the national, regional
office, and individual employee levels. In turn, this will allow VA to
identify underlying causes of inaccuracies and target corrective
actions, such as additional training. In response to our March 1999
recommendation,
VA has centralized accuracy reviews under its Systematic Technical
Accuracy Review (STAR) program to meet generally applicable government
standards on segregation of duties and organizational independence.
Also, the STAR program began reviewing more decisions in fiscal year
2002, with the intent of obtaining statistically valid accuracy data at
the regional office level; regional office-level accuracy goals have
been incorporated into regional directors’ performance standards.
Further, VA is developing a system to measure the accuracy of individual
employees’ work; this measurement is tied to employee performance
evaluations.
While VA has made changes to improve
accuracy, it continues to face challenges in ensuring consistent claims
decisions. In August 2002, we recommended that VA establish a system to
regularly assess and measure the degree of consistency across all levels
of VA claims adjudication.
While VA agreed that consistency is an important goal, it did not fully
respond to our recommendation regarding consistency because it did not
describe how it would measure consistency and evaluate progress in
reducing any inconsistencies it may find. Instead, VA said that
consistency is best achieved through comprehensive training and
communication among VA components involved in the adjudication process.
We continue to believe that VA will be unable to determine the extent to
which such efforts actually improve consistency of decision-making
across all levels of VA adjudication now and over time.
VA’s major focus over the past 2 years has
been on producing more timely decisions for veterans, and it has made
significant progress in improving timeliness and reducing the backlog of
claims. The Secretary established the VA Claims Processing Task Force,
which in October 2001 made specific recommendations to relieve the
veterans’ claims backlog and make claims processing more timely. The
task force observed that the work management system in many regional
offices contributed to inefficiency and an increased number of errors.
The task force attributed these problems primarily to the broad scope of
duties performed by regional office staff—in particular, veterans
service representatives (VSR). For example, VSRs were responsible for
both collecting evidence to support claims and answering claimants’
inquiries. Based on the task force’s recommendations, VA implemented its
claims process improvement (CPI) initiative in fiscal year 2002. Under
this initiative, regional office claims processing operations were
reorganized around specialized teams to handle specific stages of the
claims process. For example, regional offices have teams devoted
specifically to claims development, that is, obtaining evidence needed
to evaluate claims.
Also, VA focused on increasing production
of rating-related decisions to help reduce inventory and, in turn,
improve timeliness. In fiscal years 2001 and 2002, VA hired and trained
hundreds of new claims processing staff. VA also set monthly production
goals for fiscal year 2002 for each of its regional offices,
incorporating these goals into regional office directors’ performance
standards. VA completed almost as many decisions in the first half of
2003 (404,000) than in all of fiscal year 2001 (481,000). This increase
in production has contributed to a significant inventory reduction; on
March 31, 2003, the rating-related inventory was about 301,000 claims,
down from about 421,000 at the end of fiscal year 2001. Meanwhile,
rating-related decisions timeliness has been improving recently; an
average of 199 days for the first half of fiscal year 2003, down from an
average of 223 days in fiscal year 2002.
While VA has made progress in getting its
workload under control and improving timeliness, it will be challenged
to sustain this performance. Moreover, it will be difficult to cope with
future workload increases due to factors beyond its control, such as
future military conflicts, court decisions, legislative mandates, and
changes in the filing behavior of veterans. VA is not alone in facing
these challenges; SSA is also challenged to improve its ability to
provide accurate, consistent, and timely disability decisions to program
applicants. For example, after failing in its attempts since 1994 to
redesign a more comprehensive quality assurance system, SSA has recently
begun a new quality management initiative. Also, SSA has taken steps to
provide training and enhance communication to improve the consistency of
decisions, but variations in allowances rates continue and a significant
number of denied claims are still awarded on appeal. SSA has recently
implemented several short-term initiatives not requiring statutory or
regulatory changes to reduce processing times but is still evaluating
strategies for longer-term solutions.
More dramatic gains in timeliness and
inventory reduction might require program design changes. For example,
in 1996, the Veterans’ Claims Adjudication Commission noted that most
disability compensation claims are repeat claims—such as claims for
increased disability percentage—and most repeat claims were from
veterans with less severe disabilities. The Commission questioned
whether concentrating processing resources on these claims, rather than
on claims by more severely disabled veterans, was consistent with
program intent. Another possible program design change might involve
assigning priorities to the processing of claims. For example, claims
from veterans with the most severe disabilities and combat-disabled
veterans could receive the highest priority attention. Program design
changes, including those to address the Commission’s concerns, might
require legislative actions.
In
addition to program design changes, outside studies of VA’s disability
claims process identified potential advantages to restructuring VA’s
system of 57 regional offices. In its January 1999 report, the
Congressional Commission on Servicemembers and Veterans Transition
Assistance stated that some regional offices might be so small that
their disproportionately large supervisory overhead unnecessarily
consumes personnel resources. Similarly, in its 1997 report, the
National Academy of Public Administration stated VA should be able to
close a large number of regional offices and achieve significant savings
in administrative overhead costs.
Apart from the issue of closing regional offices, the Commission
highlighted a need to consolidate disability claims processing into
fewer locations. VA has consolidated its education assistance and
housing loan guaranty programs into fewer than 10 locations, and the
Commission encouraged VA to take similar action in the disability
programs. VA proposed such a consolidation in 1995 and in that proposal
enumerated several potential benefits, such as allowing VA to assign the
most experienced and productive adjudication officers and directors to
the consolidated offices; facilitating increased specialization and
as-needed expert consultation in deciding complex cases; improving the
completeness of claims development, the accuracy and consistency of
rating decisions, and the clarity of decision explanations; improving
overall adjudication quality by increasing the pool of experience and
expertise in critical technical areas; and facilitating consistency in
decisionmaking through fewer consolidated claims-processing centers. VA
has already consolidated some of its pension workload (specifically,
income and eligibility verifications) at three regional offices.
Also, VA has consolidated at its Philadelphia regional office dependency
and indemnity compensation claims by survivors of servicemembers who
died on active duty, including those who died during Operation Enduring
Freedom and Operation Iraqi Freedom.
Mr.
Chairman, this concludes my prepared statement. I will be happy to
answer any questions that you or Members of the Committee may have.
Contact
and
Acknowledgments
For
further information, please contact me at (202) 512-7207. Individuals
making key contributions to this testimony include Paul R. Reynolds,
James C. Musselwhite, Jr., Irene P. Chu, Pamela A. Dooley, Cherie’ M.
Starck, William R. Simerl, Richard J. Wade, Thomas A. Walke, Cheryl A.
Brand, Kristin M. Wilson, Greg Whitney, and Daniel Montinez.
Related GAO Products
VA
Health Care: Improved Planning Needed for Management of Excess Real
Property. GAO-03-326. Washington, D.C.: January 29, 2003.
High-Risk Series: An Update. GAO-03-119. Washington, D.C.: January
2003.
High-Risk Series: Federal Real Property. GAO-03-122. Washington,
D.C.: January 2003.
Major
Management Challenges and Program Risks: Department of Veterans Affairs.
GAO-03-110. Washington, D.C.: January 2003.
Veterans’ Benefits: Quality Assurance for Disability Claims and Appeals
Processing Can Be Further Improved. GAO-02-806. Washington, D.C.:
August 16, 2002.
SSA
and VA Disability Programs: Re-Examination of Disability Criteria Needed
to Help Ensure Program Integrity. GAO-02-597. Washington, D.C.:
August 9, 2002.
VA
Long-Term Care: The Availability of Noninstitutional Services Is Uneven.
GAO-02-652T. Washington,
D.C.: April 25, 2002.
VA
Long-Term Care: Implementation of Certain Millennium Act Provisions Is
Incomplete, and Availability of Noninstitutional
Services Is Uneven. GAO-02-510R.
Washington, D.C.: March 29,
2002.
VA
Health Care: More National Action Needed to Reduce Waiting Times, but
Some Clinics Have Made Progress. GAO-01-953. Washington, D.C.:
August 31, 2001.
VA
Health Care: Community-Based Clinics Improve Primary Care Access.
GAO-01-678T. Washington, D.C.: May 2, 2001.
Inadequate Oversight of Laundry Facility at the Department of Veterans
Affairs Albany, New York, Medical Center. GAO-01-207R. Washington,
D.C.:
November
30, 2000.
VA
Health Care: Expanding Food Service Initiatives Could Save Millions.
GAO-01-64. Washington, D.C.: November 30, 2000.
VA
Laundry Service: Consolidations and Competitive Sourcing Could Save
Millions. GAO-01-61. Washington, D.C.: November 30, 2000.
Veterans’ Health Care: VA Needs Better Data on Extent and Causes of
Waiting Times. GAO/HEHS-00-90. Washington, D.C.: May 31, 2000.
VA
and Defense Health Care: Evolving Health Care Systems Require Rethinking
of Resource Sharing Strategies. GAO/HEHS-00-52. Washington, D.C.:
May 17, 2000.
VA
Health Care: VA Is Struggling to Address Asset Realignment Challenges.
GAO/T-HEHS-00-88. Washington, D.C.: April 5, 2000.
VA
Health Care: Improvements Needed in Capital Asset Planning and Budgeting.
GAO/HEHS-99-145. Washington, D.C.: August 13, 1999.
VA
Health Care: Challenges Facing VA in Developing an Asset Realignment
Process. GAO/T-HEHS-99-173. Washington, D.C.: July 22, 1999.
Veterans’ Affairs: Observations on Selected Features of the Proposed
Veterans’ Millennium Health Care Act. GAO/T-HEHS-99-125. Washington,
D.C.: May 19, 1999.
Veterans’ Affairs: Progress and Challenges in Transforming Health Care.
GAO/T-HEHS-99-109. Washington, D.C.: April 15, 1999.
VA
Health Care: Capital Asset Planning and Budgeting Need Improvement.
GAO/T-HEHS-99-83. Washington, D.C.: March 10, 1999.
Veterans’ Benefits Claims: Further Improvements Needed in
Claims-Processing Accuracy. GAO/HEHS-99-35. Washington, D.C.: March
1, 1999.
VA
Health Care: Closing a Chicago Hospital Would Save Millions and Enhance
Access to Services. GAO/HEHS-98-64. Washington, D.C.: April 16,
1998.
VA
Hospitals: Issues and Challenges for the Future. GAO/HEHS-98-32.
Washington, D.C.: April 30, 1998.
VA
Health Care: Status of Efforts to Improve Efficiency and Access.
GAO/HEHS-98-48. Washington, D.C.: February 6, 1998.
VA
Disability Compensation: Disability Ratings May Not Reflect Veterans’
Economic Losses. GAO/HEHS-97-9. Washington, D.C.: January 7, 1997.
VA
Health Care: Issues Affecting Eligibility Reform Efforts.
GAO/HEHS-96-160. Washington, D.C.: September 11, 1996.
(290289)
Rating-related claims are
primarily original claims for compensation and pension benefits
and “reopened” claims, in which veterans claim that a
service-connected claim has worsened.
U.S.
General Accounting Office, VA Health Care: Community-Based
Clinics Improve Primary Care Access, GAO-01-678T (Washington,
D.C.: May 2, 2001).
U.S.
General Accounting Office, VA Health Care: More National Action
Needed to Reduce Waiting Times, but Some Clinics Have Made Progress,
GAO-01-953 (Washington, D.C.: Aug. 31, 2001).
U.S.
General Accounting Office, Veterans’ Health Care: VA Needs Better
Data on Extent and Causes of Waiting Times, GAO/HEHS-00-90
(Washington, D.C.: May 31, 2000).
U.S.
General Accounting Office, Veterans’ Affairs: Progress and
Challenges in Transforming Health Care, GAO/T-HEHS-99-109
(Washington, D.C.: April 15, 1999).
U.S.
General Accounting Office,
VA Health
Care: Improved Planning Needed for Management of Excess Real
Property,
GAO-03-326 (Washington, D.C.: Jan. 29, 2003).
Disability Insurance (DI)
provides benefits to workers
with severe long-term disabilities who have enough work history to
be insured for coverage under the program.
Supplemental Security Income (SSI)
provides benefits to
disabled, blind, or aged individuals with low income and limited
resources, regardless of
their work histories.
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