ABSTRACT This article summarizes the OIG report on its investigation into fraud and other misdoings in the implementation of Global Fund grants in Liberia. It does not provide the details of the investigation and findings that are available in the report but it does highlight the deficiencies and raise questions about the performance of Fiscal Agents and Country Teams in their oversight and reporting.
In Liberia, the Ministry of Health (MOH) is the Principal Recipient (PR) for the HIV/TB and malaria grants implemented by the National Aids Control Program (NACP) and the National Malaria Control Program (NMCP), respectively. A Program Coordination Unit (PCU) within the MOH is responsible for monitoring program implementation, ensuring compliance with Global Fund policies and guidelines, and managing grant funds. Between 1 January 2018 and 30 June 2021, MOH expenditures for the HIV/TB grant totalled $25.8 million. Between 1 July 2018 and 30 June 2021, malaria grant expenditures totalled $22.0 million.
In January 2020, the Office of the Inspector General (OIG) received reports of suspected fraud and other wrongdoing at the NACP. In response, the OIG opened an investigation, undertaking a field mission to Liberia in November 2020. The OIG obtained digital copies of payment vouchers and other records and verified vendors. Due to pandemic-related travel restrictions, the OIG conducted interviews with MOH staff by videoconference. During the investigation, the Global Fund’s Liberia Country Team (GFCT) and the MOH reported additional suspicions regarding documents identified by the Fiscal Agent (FA). The scope of the OIG’s investigation was expanded to include a review of these documents.
The OIG reviewed the expenditures for goods and services for which irregularities were reported, as well as a sample of additional expenditures. 347 MOH payment vouchers totalling $2 million fell within the scope of the investigation. The full report can be dwonlaod here.
It should be noted that the Global Fund had invested heavily to strengthen the MOH’s financial management capacity:
MOH incentive distribution lists showed that between 2018 and 2020, 232 mother peers were enrolled. The MOH could not however provide the OIG with contracts for all mother peers. OIG found that some mother peers who did have a contract were not included in the incentive distribution lists, and vice-versa. OIG compared the signatures of 122 mother peers on identification documents, contracts and DSA distribution lists, and found inconsistencies between signatures in 92% of cases.
Mother peer reports were a contractual condition for the incentive payments. However, NACP could only provide the OIG with a very small number of reports, which were inadequate. They included data inconsistencies, as well as reports from mother peers who were not part of the Global Fund-financed program. Some mother peers listed each other as clients, and the reports showed that only a small number of infants had actually been tested for HIV. The OIG was unable to determine whether the reports were fraudulent or whether they contained data errors that should have been identified by the MOH. The MOH could not provide evidence that it reviewed or used any of the reports. NACP’s Program Manager misrepresented program documentation authenticity, claiming it was used by NACP in 2018 and 2019 despite it only being created in 2021.
OIG reviewed 47 payment vouchers for DSA totalling $350,000 and found that the MOH overcharged the Global Fund by approximately 44%, or $150,000 million, by applying incorrect exchange rates which inflated the amounts. Given the number of payments for travel-related costs, the total amount of overcharge was likely even higher.
The Global Fund requires that when meals are provided, the DSA amount should be reduced accordingly. The MOH however told OIG that its practice was to provide both catering and full DSA. OIG reviewed payment vouchers for 12 activities and found that the MOH overcharged the Global Fund $90,638 by providing for both.
The report provides detailed examples of the prohibited practices and unsupported expenditures.
In January 2020, the former FA appointed a new Team Leader, and additional issues were identified that were included in OIG’s investigation. The new Team Leader also led the implementation of additional safeguards for Global Fund grants.
In 2022, a new FA was appointed.
Inadequate awareness of reporting thresholds and responsibilities for addressing and managing identified fraud were cited as impediments to the GFCT reporting the fraud allegations. The Secretariat has committed to enhancing, clarifying and communicating a robust fraud incident reporting process which complies with existing Global Fund policies and which includes clear accountabilities for reporting. The investigation also concluded that the Global Fund Secretariat’s expectations for FA fraud reporting to the Global Fund have not been defined, documented, or consistently communicated to FAs.
1. The Secretariat shall, by 31 October 2022, finalize and pursue, from all entities responsible, an appropriate recoverable amount.
2. Based on the findings of the report, the Global Fund Secretariat shall, by 31 October2022, ensure that the PR and Cardno take appropriate action towards the individuals responsible for the described prohibited practices.
3. By 31 December 2022, the Secretariat shall perform a cross-functional fraud risk assessment for Liberia which is consistent with the Global Fund’s Policy to Combat Fraud and Corruption (PCFC) and devise a solution that balances fiduciary risk with delivery of programmatic objectives. In the interim, the Secretariat shall update the risk and assurance plan to take into account the prohibited practices and non-compliant expenditures identified in this investigation, including ensuring that relevant Global Fund and PR policies are updated as required.
4. The Secretariat shall by 31 December 2022:
(a) Conduct a review of Liberia PRs’ compliance to their obligations under the Global Fund Grant Regulations and Budgeting Guidelines for the NFM 2 grant implementation period in relation to their tax exemption status.
(b) Assess that the PRs have measures in place to ensure compliance with the relevant Global Fund guidelines and regulations on taxes in NFM 3.
5. In consultation with the OIG, the Secretariat shall, by 31 December 2022, enhance its exception management process to roll-out a robust incident reporting process for fraud, prohibited practices and other wrongdoings identified as a part of its risk management and grant implementation monitoring processes. This mechanism shall establish a clear overview of roles and responsibilities among the key stakeholders from the Secretariat and key assurance providers like the Local Lund Agent (LFA), FA and Fiduciary Agents and External Auditors.
6. The Secretariat shall, by 31 December 2022, commission a risk-based sample review of MOH expenditures for both NFM 2 HIV/TB and Malaria grants, to identify the scale and scope of further non-compliant expenditures and red flag indicators of fraud and other wrongdoing. The Secretariat shall recover the amount of non-compliant expenditures identified by the reviewing party.
Based on OIG’s findings, the MOH convened an Investigation Committee headed by the Office of General Counsel. The MOH had previously dismissed the NACP’s Finance Manager, and OIG’s report will be used by the Committee as a basis for its investigation to assist the MOH in its decisions against persons found liable or culpable for the fraud and misappropriation identified in this report. The Investigation Committee’s findings related to the MOH could result in suspension, restitution, dismissal, or possible criminal prosecution. However, the Committee’s findings will not impact OIG’s investigation findings, or the subsequent actions taken by the Global Fund as a consequence of these.
Cardno disagreed with OIG’s conclusions regarding conflict of interest on the part of the former FA. Cardno was unaware that the former FA’s in-country team members received DSA and fuel from the PR but noted that the former FA’s budget had not anticipated the level of travel required for the FA’s attendance at MOH field activities. Cardno noted that even if reimbursed to the Global Fund, the reimbursement would have come from the grant budget. Cardno responded that the financial management system training events in which FA staff participated took place but relied on the MOH to provide related evidence. OIG concluded that these activities did not take place as described.
Cardno agreed that it was poor judgement to have the FA intern participate in the distribution of mother-peer incentive payments, which OIG concluded did not take place as described. However, Cardno disagreed that the hiring of the intern constituted a conflict of interest.
Fiscal Agents are bound by the Global Fund’s Policy on Conflict of Interest. The FA’s acceptance of funds from the PR, and the hiring of an intern with close connections with the MOH, constituted a conflict of interest as defined by Global Fund policy.
This report is of great significance for several reasons. First, it demonstrates why the Global Fund has to be cautious in a challenging operating environment (COE) like Liberia where the near lack of governance and accountability have been issues for many, many years. Hence, in this type of situation, there is a need for the FA arrangement. It would be interesting to know if the Liberia experience – and this report in particular – was mentioned/discussed at the COE countries’ meeting in Lomé on 22/23 June.
Second, it shows that the FA arrangement is no guarantee; and secondary safeguards must also be in place.
Third, from an external perspective, it appears that the GFCT’s oversight was weak and it was deficient in not taking action sooner, in particular the failure to inform the OIG much earlier that there were concerns about improprieties. What internal changes are the Secretariat making to strengthen the oversight and accountability of country teams?
Fourth, the response from Cardno suggests that that organization cannot be trusted to adequately perform the FA role. It is also surprising that Cardno had not been replaced before this year. Now that it has, the Global Fund would be well advised to review Cardno’s position elsewhere.
Finally, given that the PCU within the MOH is responsible for monitoring program implementation (including ensuring compliance with Global Fund policies and guidelines, and managing grant funds), it is surprising that the management actions do not include the provision of training for the PCU staff to ensure their knowledge of how those policies and guidelines should be applied.
We shall await with interest to learn of the outcomes of the agreed management actions. However, unusually, the Executive Director wrote a comment on the Liberia findings which can be read here and shows how seriously the Global Fund is taking this report.
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