The final report detailing the results of the IG's Follow-up Review of NOAA Fisheries Enforcement Programs and Operations has been released. The Office of the Inspector General carried out their follow-up review to "provide an interim assessment of NOAA's constructive actions, determine the effectiveness of actions already taken, and identify constructive measures NOAA should consider going forward." The report finds that NOAA Fisheries has made some headway in addressing the issues previously raised, yet there are still 13 action items that have yet to be completed and 2 items NOAA has decided not to implement. The findings, in brief, are detailed below.
NOAA made progress in completing many key action plan items. During the past two years, NOAA has completed or implemented a majority of the 47 action items, to include (1) requiring a high-level review of all proposed charges for alleged violations and of all settlements by the General Counsel for NOAA, (2) finalizing a rule to place the burden of justifying a particular civil penalty or sanction on NOAA rather than the respondent in cases before Administrative Law judges, and (3) developing a new penalty policy.
Regional and national priorities for OLE have not been finalized. OLE had deferred finalizing its enforcement priorities until it hired a permanent director, who has been on board since September 4, 2011.
NOAA’s placement of the compliance liaison within OLE raises independence concerns. As part of its action plan, NOAA established a compliance liaison in OLE’s Northeast office. However, the liaison reports directly to the Northeast office’s Special Agent in Charge, which may foster the appearance that the position’s independence may be impaired.
NOAA’s workforce analysis is one year behind schedule. As of December 2011, NOAA had not begun the implementation phase of its workforce analysis, which was scheduled to begin October 2010.
Enforcement case management system data integrity issues have not been resolved. OLE and GCEL have not fully addressed data integrity issues within and between their two case management systems: JustWare and the Law Enforcement Accessible Database System.
OLE and Enforcement Section policies and procedures manuals need to include a consistent method for handling prior violation information. Neither manual provides a method for documenting, storing, or obtaining prior violation information, an important factor when deciding a penalty assessment or sanction.
Enforcement Section participation in Fishery Management Council Meetings has been limited and inconsistent. NOAA had planned to increase communications with the Fishery Management Council by ensuring availability of Enforcement section attorneys at meetings. However, participation has been limited in two regions.
E-hotline and “Complaints and Compliments” web page effectiveness is uncertain. Having different methods of submitting complaints of enforcement improprieties may be confusing for complainants.
Read the Initial Announcement of the IG's Investigation
Read the Revised Scope of the IG's Investigation