May 17th, 2023

The Department of Energy’s Payment Integrity Reporting in the Fiscal Year 2022 Agency Financial Report

The Payment Integrity Information Act of 2019 (PIIA) was signed into law in March 2020.  PIIA requires agencies to identify and review all programs and activities they administer that may be susceptible to significant improper payments based on guidance provided by the Office of Management and Budget (OMB).  Additionally, the OMB Memorandum M-21-19, Transmittal of Appendix C to OMB Circular A-123, Requirements for Payment Integrity Improvement, requires agencies to report technically improper payments, which are defined as a payment to the right recipient for the right amount where the payment process failed to follow all applicable statutes and regulations.

We conducted this audit to determine whether the Department of Energy met OMB criteria for compliance with PIIA.

The Department’s fiscal year 2022 improper payment reporting was aligned with OMB criteria.  Specifically, the Department published its fiscal year 2022 Agency Financial Report and posted that report, and the accompanying materials, on its website.  However, we identified areas where improvements to the payment integrity process are warranted.  Specifically, the Department informed us that it underreported its improper payments in the fiscal year 2022 Agency Financial Report by approximately $867,000 because of a data entry error created by a third-party contractor.  Additionally, new spending and loan programs introduce an increased risk that the Department may exceed the OMB’s $100 million threshold for being susceptible to improper payments.  Because of this influx of funds, we determined that enhancements to the payment integrity process are necessary.  

Our recommendations focused on: (1) completing planned corrective actions for the consolidation of payment reporting sites’ improper payment information in the Agency Financial Report; (2) updating the Office of the Chief Financial Officer’s annual guidance to sites to include more specific direction on payment reporting sites’ collection of useful and consistent data to identify detailed root causes of reported improper payments and on developing plans to mitigate them in the future; and (3) expanding the Office of the Chief Financial Officer’s use of data analytics, at both the Department-wide level and payment reporting site level, to identify potential root causes for improper payments that could lead to the Department’s improper payment rate exceeding the OMB threshold.

Management concurred with our findings and recommendations, and its proposed corrective actions are consistent with our recommendations.