STATEMENT OF SEAN O'KEEFE
DEPUTY DIRECTOR
OFFICE OF MANAGEMENT AND BUDGET
BEFORE THE
SUBCOMMITTEES ON
ENERGY POLICY, NATURAL RESOURCES AND
COMMITTEE ON GOVERNMENT REFORM
U.S. HOUSE OF REPRESENTATIVES
April 24, 2001
(Note: Read by Austin Smyth, Executive Associate Director)
Purposes of the Paperwork Reduction Act
Improving Government Programs. OIRA also monitors CIO information resource management to assist agency efforts to increase the productivity, efficiency, and effectiveness of their programs. As part of this responsibility, OIRA works with the agencies to improve their management of information. For example, OIRA encourages data sharing among agencies when possible. OIRA also reviews agency information collection activities to ensure that they effectively serve agency needs and increase program efficiency.
Balance the Need for Information vs. Burden. OIRA oversees CIO paperwork management by reviewing Federal agencies' information collection activities that are covered by the PRA, weighing the burdens of each collection on the public against the practical utility it will have for agencies. Last fiscal year, for example, OIRA approved over 3,000 agency requests to collect information. This included roughly 2300 renewals of previous approvals, which the PRA requires every three years. Before approving each request, OIRA worked to ensure that any burden imposed was justified by the accuracy, adequacy, reliability, and timeliness of the information collected.
The Information Collection Budget
Agency Efforts to Reduce Paperwork Burden
OMB Oversight of Agency Efforts to Reduce Paperwork Burden
Agency Compliance. While the PRA acknowledges Federal agencies' legitimate need for information to perform their missions, it also requires agencies to obtain OMB approval of those information collection activities that are covered by the PRA. It is very important that these information collections have OMB approval because it is the process by which agencies request and receive OMB approval that requires agencies and OMB to assess, among other things, the trade-off between the practical utility of information collections and the burden they impose on the public.
Since the FY 1998 ICBs, we have listed agency violations of the PRA. These occur primarily when agencies continue to use collections for which OMB approval has expired. These lists have been much too long and indicate a substantial problem that we will work to resolve. We take agency violations of the PRA very seriously, and will be working with the agencies to improve their compliance with the Act.
OMB's Continuing Role. In light of the government's need for information to best serve the public, it is more critical than ever that we do more to lead a governmentwide effort to reduce paperwork burden on the public. OMB looks forward to the confirmation of John Graham as the Administrator of OIRA so that we can move forward in this direction. Of course, OMB welcomes any suggestions you may have on how we can achieve more burden reduction, and looks forward to working with you toward that end.
Midnight Regulations
Conclusion