The document is a report from the Office of Inspector General summarizing its findings regarding a fish passage project funded by the US Fish and Wildlife Service (FWS) using Recovery Act funds. It found that the project experienced cost overruns and delays due to unforeseen site conditions. It recommends that FWS provide a more thorough response to complaints about the project, determine if unspent funds could be reallocated, ensure funds are not used to cover prior Army Corps of Engineers costs, and review whether project design was inadequate.
The document is a report from the Office of Inspector General summarizing its findings regarding a fish passage project funded by the US Fish and Wildlife Service (FWS) using Recovery Act funds. It found that the project experienced cost overruns and delays due to unforeseen site conditions. It recommends that FWS provide a more thorough response to complaints about the project, determine if unspent funds could be reallocated, ensure funds are not used to cover prior Army Corps of Engineers costs, and review whether project design was inadequate.
The document is a report from the Office of Inspector General summarizing its findings regarding a fish passage project funded by the US Fish and Wildlife Service (FWS) using Recovery Act funds. It found that the project experienced cost overruns and delays due to unforeseen site conditions. It recommends that FWS provide a more thorough response to complaints about the project, determine if unspent funds could be reallocated, ensure funds are not used to cover prior Army Corps of Engineers costs, and review whether project design was inadequate.
The document is a report from the Office of Inspector General summarizing its findings regarding a fish passage project funded by the US Fish and Wildlife Service (FWS) using Recovery Act funds. It found that the project experienced cost overruns and delays due to unforeseen site conditions. It recommends that FWS provide a more thorough response to complaints about the project, determine if unspent funds could be reallocated, ensure funds are not used to cover prior Army Corps of Engineers costs, and review whether project design was inadequate.
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RECOVERY OVERSIGHT ADVISORY
Manhan Fish Passage
November 2011 Report No.: RO-C-FWS-068-2011 ADVISORY OFFICE OF INSPECTOR GENERAL U.S.DEPARTMENT OF THE INTERIOR
NOV 0 1 2011 Memorandum To: Rhea S. Suh Assistant Secretary, Policy, Management and Budget Through: Mary Pletcher Deputy Director, National Business Center From Assistant Inspector General for Recovery Oversight Subject: Recovery Oversight Advisory - Manhan Fish Passage Report No. RO-C-FWS-068-2011 This advisory regarding the Manhan Fish Passage is part of our ongoing efforts to oversee and ensure the accountability of funding appropriated to the U.S. Fish and Wildlife Service (FWS) in the American Recovery and Reinvestment Act of 2009 (Recovery Act). Background On May 5, 2011 , we received a referral from the Recovery Accountability and Transparency Board (RA TB) concerning the FWS Manhan Fish Passage project in Easthampton, MA (city). According to the 2010 "Finding of No Significant Impact for the Environmental Assessment" of the project, "[t]he purpose of the Project is to enhance the ecological diversity of the Manhan River by restoring access to spawning and rearing habitat for migratory fishes ... The Proposed Action [Project] involves the construction of a . . . fish ladder and downstream passage pipe at the Manhan River Dam in Easthampton, Massachusetts (city). " The RA TB referral involved a complaint alleging the project to be significantly over budget, mismanaged, and misrepresented. Allegedly, the project budgeted $750,000 and claimed it would create 6.33 jobs; the budget has now increased 20 percent to $909,998, with no additional jobs created. The discovery of unforeseen conditions at the dam after construction began has hindered completion of the fish ladder and increased costs. In addition, the complainant alleged that the project interferes with the complainant's property rights, that the recommended $107,000 in repairs to the dam have not been included in the yearly capital plan, and that the public has heard little about the ongoing maintenance and repair of the fish passage. Furthermore, the complainant believes that the dam may serve no purpose. Recovery Over Sight Offi ce I Washington, DC
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We reviewed the complaint by taking the following actions: reviewing the cooperative agreement between FWS and the city, interviewing the complainant as well as FWS and city officials, and conducting a site visit of the project.
Findings
Complaint
We found that while communications occurred sporadically among various city officials, and FWS staff, no one directly addressed all of the complainants concerns noted in his letter to RATB. On July 7, 2011, FWS sent a written response to the complainant, who claimed that the letter addressed only the completion date of the fish passage and the anticipated cost, rather than all of his concerns.
Project Status
The unforeseen conditions discovered after site construction began involved a rock ledge at the location of the ladder turnpool, and timbers in the river bed that prevented the installation of a coffer dam, which was needed to dewater the area where the fish ladder attaches to the dam. The latter condition could only be verified by divers conducting an underwater inspection, a practice not normally employed during the design phase of a project unless a question about site conditions exists. The project is currently on hold, while the city seeks additional funds from the Army Corps of Engineers (COE) and negotiates with COE to complete the project.
Approximately $817,508 in Recovery Act funds are anticipated to be paid for work to date, which includes the assessment to determine the condition of the dam and the resulting required design changes. FWS expects to have approximately $92,490 remaining after all costs to date are realized, but will require additional funds to complete the project. FWS thinks funds will be in place by fall of 2011.
We are concerned that the remaining $92,490 obligated on the grant with the city may not be expended in a timely fashion. Unless additional funds are applied to the project, obligated funds may not be used by September 30, 2015, the date by which obligated balances must be liquidated. Consideration may be given to whether these funds might be used in a timelier manner on other FWS Recovery Act projects. If FWS chooses to apply these funds to other Recovery Act projects, such actions must occur by December 31, 2012.
COE estimates that it would cost $797,245 to complete the project. This amount includes $273,000 that the city has not paid to the COE for developing a Feasibility Study, 90 percent of the design plans, and an environmental assessment for the project. COE would contribute $425,591; the Fisheries program (another Federal program) would contribute $50,000; $92,490 would come from the balance of FWS Recovery Act funds on the project; and $229,164 would come from non-Federal sources. We are concerned about the appropriateness of using Recovery Act funds to cover prior COE costs on the project.
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In response to our draft report, FWS indicated a slight change in dollar figures resulting in a $5,400 (0.7 percent) reduction in total cost. FWS also stated that their intent was to use the remaining Recovery Act and Fisheries funds to complete a discreet portion of the project. Then, the agreement with FWS would be closed out, and the project would be completed by COE (with technical assistance provided by FWS) under an agreement with the city. This agreement depends on the city securing non-Federal funds for the project. FWS noted that no Recovery Act funds would be used to cover prior COE costs.
Project Design
The unforeseen site conditions were not discovered during the design phase by the architect/engineering firm contracted by the city. FWS officials told us they expected that an integral part of the structural design work by the firm would include reviewing all available information on the composition of the dam, details of recent repairs, and the strength and foundation of the concrete structure where the proposed fish passage would be anchored. According to FWS, if this had been done, the firm likely would have discovered discrepancies between two reports describing the dams composition, which would have led to further site assessments. We found that one of these reports was prepared in 2006 by the architect/engineering firm, but it was not used during the design work.
Required Reports
We note that the quarterly report filed by the city for the first quarter of 2011on Recovery.gov does not accurately reflect the project status. The project is 60 percent expended, and yet the same Recovery.gov quarterly report indicates that the project is less than 50 percent complete. The city indicated that it incorrectly completed the quarterly report required under the Recovery Act for the first quarter of 2011, since it improperly reflected the percentage of work completed and did not include all subrecipients. The city corrected these omissions with the June 30, 2011 report on Recovery.gov
We also found that the city did not file the financial status report Standard Form 425 (SF- 425) required by 43 C.F.R. 12.81(b)(3) under the cooperative agreement terms. The terms were also inconsistent because one section required the SF-425 to be completed at the end of the project, and another section required annual completion. FWS responded that the problem was corrected when the city filed the required SF 425 on June 30, 2011. Because the cooperative agreement was based on a bureau template, it is possible that SF-425s are not being filed on a timely basis by other recipients.
Davis-Bacon Wage Rates
Five categories appeared on the certified payrolls of the contractor originally hired by the city to construct the project: Equipment Operator FM, Laborer, Carpenter, Operator, and Laborer Foreman. These categories did not match the wage determination attached to the grant agreement. The certified payrolls indicated that, in addition [emphasis added] to the basic hourly wage rate paid to each laborer or mechanic listed in the above referred payroll, payments of fringe benefits listed in the contract have been or will be made to the appropriate programs for
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the benefit of said employees. The wage determination calls for power equipment operators to receive Columbus Day as a paid holiday. We found that some of these employees worked on Columbus Day.
When notified of these issues, the city responded that, No matter the category grouping, the workers were paid a rate higher than the highest Group Category CRC [construction contractor] allows its workers to work Columbus Day in exchange for a day off on the day after Thanksgiving. This exchange of the paid holiday for the day after Thanksgiving was not mentioned in section 4(c) of the certified payroll.
Recommendations
We recommend that FWS:
1. Provide a more thorough response to the complainant about his concerns, including the issue of whether additional jobs were created by the additional funding.
2. Determine if reallocating the remaining unexpended funds to other Recovery Act projects is appropriate.
3. Ensure that prior costs owed to COE will not be reimbursed with Recovery Act funds.
4. Work with the city to determine if the unforeseen site conditions were due to an inadequate design process by the architect/engineering firm. If so, take appropriate action.
Please provide a written response to this advisory within 30 days of receipt detailing the corrective actions that FWS will implement to meet our recommendations, as well as targeted completion dates and title(s) of the official(s) responsible for implementation. We will post this advisory on our Web site (www.doioig.gov/recovery/) and on Recovery.gov. Information contained in this advisory may also be included in our semiannual reports to Congress. We performed our work in accordance with the applicable Quality Standards for Inspection and Evaluation adopted by the Council of the Inspectors General on Integrity and Efficiency. Please contact me if you have any questions.
cc: Deputy Secretary, U.S. Department of the Interior Director, Office of Executive Secretariat and Regulatory Affairs Director, Office of Acquisition and Property Management Acting Director, Office of Financial Management Director, U.S. Fish and Wildlife Service Departmental GAO/ OIG Audit Liaison Audit Liaison, Office of the Secretary Audit Liaison, U.S. Fish & Wildlife Service Recovery Coordinator, U.S. Fish & Wildlife Service
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