Why the GAO Considers HHS a “High Risk”

Why the GAO Considers HHS a “High Risk”

The GAO cites deficiencies in the HHS program’s response to past PHEs.

Just last week, the Government Accountability Office (GAO) took a significant step by adding the U.S. Department of Health and Human Services (HHS) leadership and coordination of public health emergencies (PHEs) to its High Risk List.

The GAO is tasked with being a source of objective, non-partisan information on government operations, so it’s not surprising that they would turn their attention to the whopping $484 billion in COVID-19 relief funds that the HHS has received. Since the 1990s, the GAO has continually been on the lookout for areas of fraud, waste, and abuse, among other program vulnerabilities, and has been supported by the U.S. Senate Committee on Homeland Security and Government Affairs and by the U.S. House of Representatives Committee on Oversight and Reform. Since that time, they have logged hundreds of billions of dollars in financial benefits returned to the federal government from pursuing these areas deemed to be at high risk.

The GAO has been continually hinting at deficiencies in the HHS program’s response to past PHEs. For instance, in a March 2021 report, they stated, “in addition to specific areas that we have designated as high risk, other important challenges facing our nation merit continuing close attention. One of these is HHS’s leadership and coordination of public health emergencies.”

In HHS’s defense, coordinating a multi-agency response to a large-scale emergency is no easy task, even with substantial monetary support. In the end, it’s clear that attention to the matter is warranted, and the GAO knows that leaving deficiencies unaddressed will lessen the nation’s ability to respond to similar public health events in the future.

Now that the HHS is on the High Risk List, the GAO is specifically looking for the HHS to improve in the following areas:

  1. Clearly defined roles and responsibilities;
  2. Complete and consistent data;
  3. Clear, consistent communication;
  4. Transparency and accountability; and
  5. Understanding of their key partners’ capabilities and limitations.

You might find yourself asking, how do you land such a designation, anyway? To determine which federal programs should be designated to be at high risk, the GAO uses its own guidance document considering qualitative risk factors, such as public health or safety, service delivery, national security, or whether the risk could result in significantly impaired services, program failure, injury, or loss of life. It’s also important to consider the risk of exposure from a quantitative perspective.

For instance, at a minimum, the monetary risk must be at the $1 billion mark; the COVID relief funds have certainly met that criterion. Other examples of quantitative vulnerabilities include assets being wasted, underutilized, or having some evidence of improper payments.

Let’s talk about getting off the List. There are five key elements that are carefully watched for as it pertains to progress to evaluate whether the criteria are met, partially met, or not met:

  1. Leadership commitment;
  2. Agency capacity;
  3. Action plan;
  4. Monitoring; and
  5. Demonstrated progress.

HHS’s new spot on the list does ensure congressional and Executive Branch attention – and perhaps attention is what is required. The GAO will continually monitor HHS’s overall improvement and progress toward these criteria, and hopefully, in the end, this will a result in an improved national emergency response.

About the Author:

Leah is a health information management (HIM) compliance professional with more than 15 years of experience. Leah’s healthcare experience started in direct patient care, providing physical therapy, but now is focused on billing compliance for physician and non-physician practitioner services. Her goal is to protect patients by bringing clarity to complex healthcare regulations.

Contact the Author: leah.akers2008@gmail.com

Facebook
Twitter
LinkedIn

Leah Joy Akers, PTA, RHIA, CCS-P

Leah is a health information management (HIM) compliance professional with more than 15 years of experience. Leah’s healthcare experience started in direct patient care, providing physical therapy, but now is focused on billing compliance for physician and non-physician practitioner services. Her goal is to protect patients by bringing clarity to complex healthcare regulations.

Related Stories

Leave a Reply

Please log in to your account to comment on this article.

Featured Webcasts

2026 IPPS Masterclass 3: Master MS-DRG Shifts and NTAPs

2026 IPPS Masterclass Day 3: MS-DRG Shifts and NTAPs

This third session in our 2026 IPPS Masterclass will feature a review of FY26 changes to the MS-DRG methodology and new technology add-on payments (NTAPs), presented by nationally recognized ICD-10 coding expert Christine Geiger, MA, RHIA, CCS, CRC, with bonus insights and analysis from Dr. James Kennedy.

August 14, 2025
2026 IPPS Masterclass Day 2: Master ICD-10-PCS Changes

2026 IPPS Masterclass Day 2: Master ICD-10-PCS Changes

This second session in our 2026 IPPS Masterclass will feature a review the FY26 changes to ICD-10-PCS codes. This information will be presented by nationally recognized ICD-10 coding expert Christine Geiger, MA, RHIA, CCS, CRC, with bonus insights and analysis from Dr. James Kennedy.

August 13, 2025
2026 IPPS Masterclass 1: Master ICD-10-CM Changes

2026 IPPS Masterclass Day 1: Master ICD-10-CM Changes

This first session in our 2026 IPPS Masterclass will feature an in-depth explanation of FY26 changes to ICD-10-CM codes and guidelines, CCs/MCCs, and revisions to the MCE, presented by presented by nationally recognized ICD-10 coding expert Christine Geiger, MA, RHIA, CCS, CRC, with bonus insights and analysis from Dr. James Kennedy.

August 12, 2025

Trending News

Featured Webcasts

The Two-Midnight Rule: New Challenges, Proven Strategies

The Two-Midnight Rule: New Challenges, Proven Strategies

RACmonitor is proud to welcome back Dr. Ronald Hirsch, one of his most requested webcasts. In this highly anticipated session, Dr. Hirsch will break down the complex Two Midnight Rule Medicare regulations, translating them into clear, actionable guidance. He’ll walk you through the basics of the rule, offer expert interpretation, and apply the rule to real-world clinical scenarios—so you leave with greater clarity, confidence, and the tools to ensure compliance.

June 19, 2025
Open Door Forum Webcast Series

Open Door Forum Webcast Series

Bring your questions and join the conversation during this open forum series, live every Wednesday at 10 a.m. EST from June 11–July 30. Hosted by Chuck Buck, these fast-paced 30-minute sessions connect you directly with top healthcare experts tackling today’s most urgent compliance and policy issues.

June 11, 2025
Open Door Forum: The Changing Face of Addiction: Coding, Compliance & Care

Open Door Forum: The Changing Face of Addiction: Coding, Compliance & Care

Substance abuse is everywhere. It’s a complicated diagnosis with wide-ranging implications well beyond acute care. The face of addiction continues to change so it’s important to remember not just the addict but the spectrum of extended victims and the other social determinants and legal ramifications. Join John K. Hall, MD, JD, MBA, FCLM, FRCPC, for a critical Q&A on navigating substance abuse in 2025.  Register today and be a part of the conversation!

July 16, 2025

Trending News

Happy National Doctor’s Day! Learn how to get a complimentary webcast on ‘Decoding Social Admissions’ as a token of our heartfelt appreciation! Click here to learn more →

CYBER WEEK IS HERE! Don’t miss your chance to get 20% off now until Dec. 2 with code CYBER24