Incident Reporting and Fraud (and FOIA) - PowerPoint PPT Presentation

1 / 21
About This Presentation
Title:

Incident Reporting and Fraud (and FOIA)

Description:

(and FOIA) Dennis Swafford Analyst Financial Management DOL - Chicago Regional Office swafford.dennis_at_dol.gov 312-596-5460 Incident Reporting Grantees are ... – PowerPoint PPT presentation

Number of Views:253
Avg rating:3.0/5.0
Slides: 22
Provided by: swaf
Category:

less

Transcript and Presenter's Notes

Title: Incident Reporting and Fraud (and FOIA)


1
Incident Reporting and Fraud (and FOIA)
Dennis Swafford Analyst Financial
Management DOL - Chicago Regional
Office swafford.dennis_at_dol.gov 312-596-5460
2
Incident Reporting
  • Grantees are required to report the following
    activities through the DOL incident reporting
    system.
  • Fraud, misfeasance, nonfeasance or malfeasance
  • Misapplication of funds
  • Gross mismanagement and misconduct
  • Criminal activity
  • Waste

3
Known or Suspected
  • Any known or suspected incidents of fraud, abuse
    or waste must be reported immediately.

4
Reporting Mechanisms
  • DOL Hotline - Office of Inspector General
    1-800-347-3756
  • Department's Incident Reporting System
  • DOL Incident Report Form DL 1-156 (see handout)
  • DOL Office of Inspector General, Office of
    Investigations, Room S5514, 200 Constitution
    Avenue NW., Washington, DC 20210, or to the
    corresponding Regional Inspector General for
    Investigations, with a copy simultaneously
    provided to the Employment and Training
    Administration

5
Your own reporting procedures
  • Incidents can be reported and channeled through a
    state or local system
  • In all cases, DOL must be notified

6
Incidents vs. Complaints
  • The grantee must have a venue or mechanism to
    resolve allegations, complaints or disputes from
  • Grantees
  • Vendors
  • Participants
  • Third Parties or citizens
  • Employees
  • (The grantee must also maintain formal appeals
    processes)

7
The Investigative Process
  • Submit report to agency to start a record
  • Agency OIG assigns investigative responsibility
  • Agency monitors investigation/prosecution
  • OIG agency closeout

8
The Importance of Internal Controls
9
Where are the Soft Spots?
  • 2006 ACFE Study Govt. Cases
  • Skimming 22
  • Cash larceny 19
  • Billing schemes 32
  • Payroll schemes 16
  • Expense reimbursement schemes 13
  • Check tampering 9
  • Register disbursement schemes 1
  • Non-cash assets 32
  • Corruption 33
  • Fraudulent statements 3
  • Sums exceed 100 because some respondents
    indicated more than one fraudulent activity in a
    single case

10
Common Types of Public Corruption Fraud
  • False claims
  • Time attendance
  • Travel
  • Bid rigging, sole sourcing
  • Contract compliance violations
  • Labor, environmental, and anti-kickback
    violations
  • Improper cost allocation
  • Double billing
  • Unallowable costs
  • Cross charging
  • Simple theft

11
Initial Detection of Govt. Fraud
  • Tips 48
  • (Employees 59, Customers 19, Vendors 12,
    Anonymous 10)
  • Internal audit 32
  • By accident 14
  • Internal controls 11
  • External audit 6
  • Notified by police 1
  • Sums exceed 100 because some respondents
    indicated more than one detection method

12
(No Transcript)
13
Criminal Penalties
  • False Statements (18 U.S.C. 1001)
  • False Claims (18 U.S.C. 287)
  • Conspiracy to Defraud (18 U.S.C. 371)
  • Mail and Wire Fraud (18 U.S.C. 1341 and 1343)
  • Theft and Embezzlement (18 U.S.C. 641)
  • Computer Fraud (18 U.S.C. 1030)
  • Obstruction of Audit (18 U.S.C. 1516)
  • Bribery (18 U.S.C. 201)
  • Salary Supplementing (18 U.S.C. 209)

14
Civil, Contractual, and Administrative Penalties
  • Civil False Claims Act (31 U.S.C. 3729)
  • Forfeiture of Fraudulent Claims (28 U.S.C.
    2514)
  • Contract Disputes Act (41 U.S.C. 604)
  • Procurement Integrity Act (41 U.S.C. 423)
  • Termination for Default FAR 52.249
  • Findings of Irresponsibility FAR 9.1
  • Suspension and Debarment FAR 9.4
  • Program Fraud Civil Remedies Act (31 U.S.C.
    3801)

15
The False Claims Act
  • Knowingly presenting (or causing to be presented)
    to the federal government a false or fraudulent
    claim for payment
  • Knowingly using (or causing to be used) a false
    record or statement to get a claim paid by the
    federal government
  • Conspiring with others to get a false or
    fraudulent claim paid by the federal government
    or
  • Knowingly using (or causing to be used) a false
    record or statement to conceal, avoid, or
    decrease an obligation to pay money or transmit
    property to the federal government.

16
Avoid Fraud
  • Internal administrative standards/controls
  • Internal financial standards/controls
  • Put resources into internal monitoring
  • Staff training (not just ethics training)
  • Be wary of contractors who attempt to "buy"
    business. Careful procurement policy procedure
    design.
  • If you suspect that a contractor or any other
    party is offering a bribe, notify the OIG
    immediately. Immediate reporting is important for
    the following reasons  
  • An attempt to bribe a Government official is
    itself a crime.
  • Contractors whose bribe is rejected will
    sometimes falsely report that the employee
    "solicited" a bribe.
  • Refusal to accept a bribe, in itself, has no
    deterrent effect.

17
Freedom of Information Act
  • Who is subject to FOIA?
  • Who is responsible for FOIA?
  • Releasable Material
  • Release Timeframes
  • Release Procedures
  • Agency Responsible Official

18
Review Question
19
Question 1
  • When it was discovered that an employee
  • embezzled WIA funds, the agency notified the
  • local authorities and criminal charges were made.
  • Prosecution and a conviction was made. When
  • should DOL be notified?
  • A. Never since the person was charged and
    convicted.
  • B. At the time of sentencing as part of victims
    statement.
  • C. At first suspicion of wrong doing.

20
Question 1 Answer
When it was discovered that an employee embezzled
WIA funds, the agency notified the local
authorities and criminal charges were made.
Prosecution and a conviction was made.
When should DOL be notified? C. At first
suspicion of wrong doing.
21
Thank you for your attention Questions?
Dennis Swafford Analyst Financial
Management DOL - Chicago Regional
Office swafford.dennis_at_dol.gov 312-596-5460
Write a Comment
User Comments (0)
About PowerShow.com