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United Nations Environment Programme: Audit of Post-Conflict Assessment Unit (AA2004-220-01), 2 Dec 2004

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Release date
January 12, 2009

Summary

United Nations Office of Internal Oversight Services (UN OIOS) 2 Dec 2004 report titled "Audit of Post-Conflict Assessment Unit [AA2004-220-01]" relating to the United Nations Environment Programme. The report runs to 20 printed pages.

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Verified by Sunshine Press editorial board

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Further information

Context
International organization
United Nations Office of Internal Oversight Services
Authored on
December 2, 2004
File size in bytes
374191
File type information
PDF
Cryptographic identity
SHA256 7193a727931367f1d2e8c8d01e54358de7a9fa252ba0d59614ceaa5e2967113d


Simple text version follows

      UNITED NATIONS                                             NATIONS UNIES


                             Office of Internal Oversight Services
                                  Internal Audit Division II

AUD: UNEP (034/004)                                        DATE 02 December 2004

TO:              Dr. Klaus T�pfer, Executive Director
                 United Nations Environment Programme (UNEP)
FROM:            Egbert Kaltenbach, Director,
                 Internal Audit Division II
                 Office of Internal Oversight Services (OIOS)
SUBJECT:         OIOS Audit of UNEP Post-Conflict Assessment Unit (PCAU)
                 (AA 2004/220/01)


1. I am pleased to submit the final report on the audit of UNEP Post-Conflict Assessment
Unit (PCAU), which was conducted in May 2004 in Geneva, Switzerland by Messrs Nicholas
Makaa and Obin Silungwe. A draft of the report was shared with the Executive Director, the
Deputy Executive Director, the Office of Executive Director, the Director of UNEP Division
of Environmental Policy Implementation and the Head of PCAU whose comments, which
were received on 5 November 2004, have been reflected in the final report.

2. I am pleased to note that the audit recommendations contained in this final report have
been accepted and that UNEP has initiated their implementation. On the basis of the
information provided with the formal comments OIOS has closed recommendations 1, 5, 6, 8,
11, 13, 14, 16 and 18. The table in paragraph 46 of the report identifies those
recommendations, which require further action to be closed. I wish to draw to your attention
that OIOS considers all of these to be of critical importance.

3.     I would appreciate it if you could provide an update on the status of implementation
of the audit recommendations not later than 31 May 2005. This will facilitate the
preparation of the twice-yearly report to the Secretary-General on the implementation of
recommendations, required by General Assembly resolution 48/218B.

4.     Please note that OIOS is assessing the overall quality of its audit process. I therefore
kindly request that you consult with your managers who dealt directly with the auditors,
complete the attached client satisfaction survey form and return it to me under confidential
cover.

5.     I would like to take this opportunity to thank you and your staff for the assistance
and cooperation extended to the audit team.

Attachment: Client Satisfaction Survey Form


-----------------------------------------------------------------------------------------

                                    DRAFT

cc: Mr. S. Tveitdal, Director of UNEP Division of Environmental Policy Implementation
           (by e-mail)
    Mr H. Slotte, Head of PCAU. (by e-mail)
    Ms. H. Featherstone, Executive Secretary, UN Board of Auditors
    Mr. M. Tapio, Programme Officer, OUSG, OIOS (by e-mail)
    Mr. C. F Bagot, Chief, Nairobi Audit Section, OIOS (by e-mail)
    Ms. L. Kiarie, Auditing Assistant (by e-mail)




                                         2


-----------------------------------------------------------------------------------------

                 United Nations
     Office of Internal Oversight Services
          Internal Audit Division II




Audit of UNEP Post-Conflict Assessment Unit (PCAU)
                (AA 2004/220/01)




          Report date: 02 December 2004

          Audit Team:    Nicholas Makaa
                          Obin Silungwe


-----------------------------------------------------------------------------------------

     UNITED NATIONS                                                    NATIONS UNIES


                         Office of Internal Oversight Services
                              Internal Audit Division II

                OIOS audit of UNEP Post-Conflict Assessment Unit (PCAU)
                                        (AA 2004/220/01)

                                  EXECUTIVE SUMMARY


In May 2004, OIOS conducted an audit of UNEP's Post-Conflict Assessment Unit (PCAU).
PCAU started as the Balkans Task force in 1999 and became PCAU in 2001. At the time of the
audit, PCAU had implemented 12 projects valued at approximately US$30 million. The audit
focussed on the adequacy of arrangements for handling its administration. The main conclusion
was that administrative arrangements needed to be strengthened as inadequate attention had been
paid at its inception to ensuring that PCAU staff were trained and were aware of what was
required to manage the Unit in accordance with UN and UNEP Regulations and Rules. OIOS was
unable to undertake a thorough analysis of the consequences of this because PCAU placed heavy
reliance on UNOPS for provision of its services and UNOPS denied PCAU access to the records
for audit purposes. UNOPS subsequently provided evidence to assist in closing some of the
recommendations raised in the draft report, and an understanding was reached to facilitate future
OIOS requests for information. However, discussions demonstrated the need to revise the MOU
between UNOPS and UNEP to include audit and inspection access rights to strengthen
accountability for work done on behalf of UNEP.

UNEP and OIOS held a number of meetings between September and November to discuss the
issues raised in the report, and OIOS would like to thank UNEP for the spirit of openness and co-
operation in which these discussions were held. OIOS is pleased to note that work is underway to
address those recommendations that remain open. Key issues raised in the report are discussed
below.

                   Mandate, mission, Organizational Structure, and Planning
At the request of member states, PCAU conducted environmental clean up and capacity building
exercises, which went beyond the mandate given to the Unit by UNEP Governing Council.
Consequently, UNEP should present a paper to its Governing Council explaining the changing
nature of the activities being undertaken, and the need to alter the mandate to reflect these changes.
OIOS also recommended that this needed to be supported with a strategy paper explaining how
PCAU envisages itself developing and operating in the medium to long term and operational
guidelines documenting the current rationale for how project activities are identified and the
necessary preconditions for work to be undertaken. Work is underway to address the issues raised.


-----------------------------------------------------------------------------------------

                                    Financial management
Adequate arrangements were established for receipt and accounting of contributions, but
arrangements to handling expenditures in accordance with UN and UNEP Financial Regulations
and Rules needed to be strengthened to ensure that expenditures for goods and services are
certified and approved in accordance with the rules. A memo dated 4 April 2004 was provided to
PCAU to clarify these issues and OIOS is seeking an assurance that PCAU staff are aware of and
understand the process necessary to ensure that the memo is implemented to ensure compliance
with UN Regulations and Rules.

                                   Human Resources Management
US$1 contracts were initiated for two consultants working under an institutional contract, to enable
them to work in Switzerland. These contracts should not have been let, as it was the responsibility
of the institutional contractor to make the necessary working arrangements for their employees.
UNEP has taken action and OIOS is awaiting confirmation of when the contracts where
terminated.

                                         Procurement
Whilst there was a justification and explanation for a sole source ex-post facto award of an
institutional contract for US$165,000, there were no justifications and explanations for the
subsequent contract extensions, which brought the total contract value to over US$1 million. In
the opinion of OIOS, a competitive tender must be undertaken to establish whether there are any
other companies who can undertake the work cost effectively. UNEP has taken action and OIOS
is awaiting confirmation when the contract was terminated.
                                                                         December 2004


-----------------------------------------------------------------------------------------

                                            TABLE OF CONTENTS


CHAPTER                                                                           Paragraphs

  I.    INTRODUCTION                                                                  1-5
 II.    AUDIT OBJECTIVES                                                              6
 III.   AUDIT SCOPE AND METHODOLOGY                                                   7-8
 IV.    AUDIT FINDINGS AND RECOMMENDATIONS                                           9-45
        A. Governance                                                                9-10
        B. Mandate, Mission and Organizational structure                             11-14
             (a) Mandate and Mission                                                 11-12
             (b) Organizational Structure                                            13-14
        C. Planning                                                                  15-20
             (a) Strategy                                                            15-16
             (b) Compliance with UNEP planning process                               17-18
             (c) Project identification and selection                                19-20
        D. Provision of Administrative Support (non staff)                           21-25
             (a) Provision of administrative services to projects                    21-23
             (b) Provision of administrative services to PCAU offices in Geneva      24-25
        E. Financial Management                                                      26-29
        F. Human Resources Management                                                30-36

             (a) Personnel supplied under Institutional Contract                     30-31

             (b) Individual Contractors                                              32-33

             (c) Contract terms and conditions                                       34-36

        G. Procurement                                                               37-38
             (a) Institutional contract                                              37-38
        H. Asset Management                                                          39-42
        I.   Programme and project management                                        43-45
 V      FURTHER ACTIONS REQUIRED ON RECOMMENDATIONS                                   46

 VI.    ACKNOWLEDGEMENT                                                               47


-----------------------------------------------------------------------------------------

            OIOS Audit of UNEP Post-Conflict Assessment Unit (PCAU)
                               (AA2004/220/01)

                               I.      INTRODUCTION

1.   This report discusses the results of an OIOS audit of the United Nations
Environmental Progamme (UNEP) Post-Conflict Assessment Unit (PCAU). The
audit was carried out in May 2004 in accordance with the Standards for the
Professional Practice of Internal Auditing, promulgated by the Institute of Internal
Auditors and adopted by the Internal Audit Services of the United Nations
Organizations.

2.    UNEP conducted its first post-conflict environmental assessment after the 1991
Gulf war. In 1999, the UNEP Balkans Task Force (BTF) was formed to investigate
the environmental and human health risks in the Balkans following the Kosovo
conflict. In 2001, UNEP decided to formally establish BTF within UNEP and the
Executive Director created PCAU. The UNEP Governing Council, in its twenty-
second session held in February 2003 (UNEP/GC.22/11), gave PCAU the mandate to
assist nations to assess environmental damage caused by war and thus contribute to
the international efforts to rebuild the infrastructure of the nations in the war zones
such as the former Yugoslavia. PCAU has since undertaken seven post-conflict
environmental assessment reports (Federal Republic of Yugoslavia, Albania, Former
Yugoslav Republic of Macedonia, Afghanistan, Kosovo, Serbia and Montenegro,
and Bosnia and Herzegovina), three post-conflict desk study reports (Palestine, Iraq,
and Liberia), one post-conflict environmental clean up in Serbia and four post
conflict capacity building activities (Serbia and Montenegro, Afghanistan, Bosnia
and Herzegovina, and Iraq).

3.    At the time of the audit, PCAU was headed by an L-5 supported by three L-
series staff appointed by UNEP, eight staff members recruited by UNOPS on
appointments of limited duration, one GS staff member, and seven individual
contractors.

4.    PCAU activities are funded by donor contributions either in cash or in-kind
support. As of December 2003, contributions pledged amounted to US$32 million,
receipts totalled approximately US$23 million and cumulative expenditures
amounted to approximately US$19 million. Since its inception, PCAU has
implemented 12 projects valued at about approximately US$30 million.

5.    A draft of the report was shared with the Executive Director, the Deputy
Executive Director, the Office of Executive Director, the Director of UNEP Division
of Environmental Policy Implementation and the Head of PCAU. A number of
discussions were held in the period August through November, involving OIOS, and
an agreed formal set of comments were received on 5 November 2004, which have
been reflected in the final report.


                             II.    AUDIT OBJECTIVES


-----------------------------------------------------------------------------------------

6.   The overall objective of the audit was to determine whether UNEP had put in
place:

       (a)    A governance framework to provide adequate guidance and support to
              PCAU in the definition and execution of its responsibilities.
       (b)    An adequate mechanism to ensure PCAU understood and was only
              executing activities in support of its mandate, and
       (c)    An internal control system for managing the structure, programme
              and resources in compliance with UNEP and UN Regulations and
              Rules.


                   III.   AUDIT SCOPE AND METHODOLOGY

7.    The audit covered activities for the period 1999 to May 2004 and involved
interviewing staff, reviewing available documents and assessing control procedures
where documentation was available.

8.   There were two scope limitations:

         a) OIOS requested UNEP to obtain records held on its behalf by
         UNOPS, to enable OIOS to confirm the propriety of arrangements made by
         UNEP for handling certain aspects of human resources management,
         financial management and procurement of goods and services. UNOPS
         denied UNEP access to the records and requested advice from their legal
         officer, who had not responded at the end of fieldwork. UNEP was
         therefore unable to provide OIOS with basic information to support how it
         had conducted its business. Further discussions with UNOPS resulted in an
         informal agreement between OIOS and UNOPS on how to handle direct
         requests from OIOS, but the principle of UNEP having sufficient
         safeguards over rights of access to information handled by UNOPS
         remained unanswered at the time of issue of this report.

         b) UNEP PCAU was unable to provide documentation of goods and
         services acquired for its offices in Geneva. OIOS was unable to confirm
         the cost effectiveness of the arrangements.


             IV.     AUDIT FINDINGS AND RECOMMENDATIONS

                                 A. Governance

9.    PCAU maintains a database of organizations such as universities, research
institutions, non-governmental organizations, consultants and institutional
consultancies it interacts with, but had not identified the UN bodies with which it
should have some form of an institutional relationship to ensure that it did not
duplicate or undertake work, which was the responsibility of another UN entity. The
risk of duplication was reduced because UNEP is an observer of the UN
Development Group and the Head of PCAU explained to the audit team that UNEP
staff members who attend these meetings brief PCAU weekly on the issues raised.
However, OIOS is of the opinion that PCAU needs to identify and establish more


                                         2


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formal links with UN bodies also involved in this work such as the Office for the
Coordination of Humanitarian Affairs and the UN-HABITAT Disaster Management
Unit.


         Recommendation:

                  To ensure that PCAU activities are properly aligned with
         those of other UN entities the Head of PCAU should identify all
         UN entities which have an involvement in post-conflict matters and
         which could have an impact in either shaping its work, or assisting
         it in the conduct of its work. For each of these entities
         consideration needs to be given to the nature of the relationship
         between PCAU and the entity (Rec. 01).

10. UNEP commented that the recommendation had been implemented, and
provided a list of UN entities outlining current and potential areas of collaboration.
OIOS thanks UNEP for the prompt action taken and has closed the recommendation.

               B. Mandate, Mission and Organizational Structure

(a)   Mandate and Mission

11. The internal mission statement of PCAU refers to environmental clean up and
capacity building, and PCAU has carried out, at the request of Member States, a
number of assignments in these areas, as indicated in paragraph 2 above. However,
the mission statement and the activities undertaken are not fully covered by the
mandate given to the Unit by UNEP Governing Council. The Governing Council
therefore needs to be advised of the need to align the mandate with the type of
requests being received from Member States.

         Recommendation:

               To ensure that the work actually undertaken at the request of
         Member States is covered by the mandate of PCAU, the Executive
         Director of UNEP should present a paper to the next Governing
         Council in 2005 outlining the need to change the mandate to
         reflect operational experience to date (Rec. 02).

12. UNEP commented that the Executive Director of UNEP would make a
presentation to the 23rd session of the Governing Council in 2005 on the post-
conflict activities carried out by UNEP since the previous UNEP Governing Council
in 2003. OIOS thanks UNEP for the positive response and will close the
recommendation upon receipt and review of the documentation presented to the
Governing Council and details of the Governing Council decision.

(b)   Organizational Structure

13. In 2001, the Executive Director UNEP (ED-UNEP) requested that PCAU be
established as a part of UNEP Division of Environmental Policy Implementation
(DEPI). However, the necessary steps to achieve this were not carried out:


                                          3


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       a) The staff of PCAU were shown in the UNEP operations manual as being
       part of the DEPI Disaster Unit, whilst the staffing table in IMIS showed them
       as part of Regional Office for Europe. PCAU was in the process of rectifying
       this at the time of the audit.

       b) PCAU staff members were maintained on 200 and 300 series contracts,
       which is not permissible under UN staff rules for headquarters units. PCAU
       had recognised this and was in the process of rectifying it at the time of the
       audit.

       c) Roles and responsibilities of PCAU as a UNEP unit were never
       communicated to PCAU staff, with respect to such things as travel plans, and
       programme of work.

         Recommendation:

              To ensure that PCAU is properly established as a UNEP unit,
         the Executive Director of UNEP should confirm the structure of
         PCAU in terms of staffing and reporting lines, and request UNON
         and appropriate units within UNEP to ensure that appropriate
         documents are updated to reflect the inclusion of PCAU within
         UNEP and provide PCAU staff with guidance on their roles and
         responsibilities as UNEP staff members (Rec. 03).

14. UNEP commented that the recommendation had been implemented and the
structure and reporting lines were shown in the latest version of the UNEP
Operational Manual. OIOS thanks UNEP for the prompt action taken on clarifying
the structure and reporting lines. To close the recommendation OIOS will require a
copy of the approved staffing table, details of how UNON and UNEP will ensure that
the table remains up to date and details on the steps proposed to ensure that current
and all future PCAU entrants will be briefed on their roles and responsibilities as
UNEP staff members.

                                   C. Planning

(a)   Strategy

15. In the period 1999 to 2003, BTF / PCAU was reactive to donor requests and had
no long-term perspective on its future. OIOS is of the opinion, which PCAU agreed,
that this situation changed when UNEP Governing Council endorsed the creation of
PCAU in 2003. This change in circumstances created a need for PCAU to provide
ED-UNEP with an indication of how PCAU envisaged itself developing and
operating in the medium to long term.

         Recommendation:

               To provide the Executive Director of UNEP and UNEP
         Governing Council with guidance on the future of PCAU, in the
         medium to long term, the Head of PCAU should produce a
         strategy paper for consideration by the Executive Director (Rec.


                                         4


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         04).

16. UNEP commented that implementation was in progress with a planned target
date for completion of end of 2004. OIOS thanks UNEP for the prompt action taken
and will close the recommendation upon receipt of a copy of the strategy paper
outlining the future of PCAU in the medium to long term.

(b)   Compliance with UNEP planning process

17. At the time of the audit PCAU was not aware of and was not operating in
compliance with UNEP planning process and ST/SGB/2000/8 on Regulations and
Rules Governing Programme Planning, the Programme Aspects of the Budget, the
Monitoring of Implementation and the Methods of Evaluation.

         Recommendation:

               To determine how PCAU should be included in the UNEP
         planning process, the Head of PCAU should seek advice and
         assistance from UNEP Programme Co-ordination and Monitoring
         Unit (Rec. 05).

18. UNEP commented that the recommendation had been implemented. PCAU
established as of October 2004 an internal Policy and Planning Team headed by an
experienced PCAU staff member, with one of the tasks being to ensure that PCAU is
included in the UNEP planning process, in close cooperation with the UNEP
Programme Co-ordination and Monitoring Unit. OIOS thanks UNEP for the prompt
action taken and has closed the recommendation.

(c)   Project identification and selection

19. PCAU had an adequate set of criteria for determining when PCAU should
intervene and what conditions needed to be satisfied for PCAU to be able to
commence operations. These were currently internal and in the opinion of OIOS
they should form part of operational guidelines, which would support the mandate
and strategy and should be reviewed and approved by ED-UNEP.

         Recommendation:

               To ensure that there is transparency and propriety in the
         selection of projects, the Head of PCAU should incorporate the
         criteria and conditions for project selection and implementation
         into PCAU operational guidelines (Rec. 06).

20. UNEP commented that the recommendation had been implemented and
internal guidelines had been developed. OIOS thanks UNEP for the prompt action
taken and has closed the recommendation.




                                             5


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                 D. Provision of Administrative Support (non staff)

(a)    Provision of administrative services to projects

21. For provision of administrative services to its projects, PCAU used UNOPS in
accordance with an MOU signed between UNEP and UNOPS in 2001. In principle,
there is no objection against seeking UNOPS services for projects undertaken outside
of Geneva. OIOS is, however, concerned about the arrangements in place to make
use of these services:

      a) The Head of PCAU, as dictated by operational needs, determined where,
      and in what circumstances, UNOG, UNON or UNOPS services would be used.
      There was however no documentation to explain what these circumstances and
      operational needs were to ensure cost effectiveness because UNOPS charges 8
      percent for provision of services, UNOG, 4�6 percent whilst UNON would be
      effectively free as its services were covered by UNEP's global payment to
      UNON.

      b) Current arrangements for access to UNEP records handled by UNOPS are
      inadequate. UNOPS denied UNEP access to its own records. This prevented
      OIOS from verifying the transactions and from confirming that UNOPS was
      discharging their duties as required by the MOU.

      c) PCAU had no Project Management Officer to define, identify, co-ordinate
      and monitor delivery of services to projects.

           Recommendations:

                To ensure that UNEP has sufficient safeguards over rights of
           access to information handled by UNOPS, and to enable UNEP to
           hold UNOPS accountable for work it does on its behalf, the
           Executive Director of UNEP should review and revise the existing
           MOU with UNOPS to include clauses dealing with rights of
           inspection and audit (Rec. 07).

22. UNEP commented that the information was subsequently provided. However,
UNEP will look into the matter and assess whether any amendments are required in
the establishment of future MOUs. OIOS noted the comment and agrees that some
information was subsequently provided to assist in addressing issues raised in the
report. On the basis of the discussions held after the draft audit report was issued,
OIOS agrees that the primary concern that needs to be addressed is strengthening the
MOU to ensure UNEP has sufficient safeguards over rights of access to information
handled by UNOPS, to enable UNEP to hold UNOPS accountable for work it does
on its behalf. The recommendation as formulated above takes this into account.
OIOS will close the recommendation upon receipt and review of the revised MOU
with UNOPS.

                 To ensure cost effective and efficient arrangements for
           delivery of services to projects, including timely reporting
           requirements, a post of Project Management Officer should be
           established with responsibilities including development of


                                            6


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           guidelines and procedures to assist in cost effective service
           delivery to projects (Rec. 08).

23. UNEP commented that a post of Project Management Officer based with
PCAU in Geneva with responsibilities including development of guidelines and
procedures to assist in cost effective service delivery to projects will be established
by end 2004 and charged against the Environmental Fund. OIOS thanks UNEP for
the prompt action taken and has closed the recommendation.

(b)    Provision of administrative services to PCAU Offices in Geneva

24. PCAU was unable to demonstrate that it had ensured that goods and services
were obtained in the most efficient and economical manner, in accordance with
Financial Regulations and Rules. For provision of administrative services to its
offices, PCAU, as with other UNEP offices in Geneva, was required to make use of
UNOG and UNON, through UNEP Regional Office for Europe (ROE). Instead,
PCAU used UNOPS for the provision of standard administrative support services
such as procurement and personnel services. OIOS wished to examine the cost
effectiveness and rationale for this use, but was unable to do so because PCAU was
unable to provide the audit team with details of services and goods acquired and how
they were acquired.

           Recommendation:

                 The Head of PCAU should produce a paper for the Executive
           Director of UNEP dealing with the use of UNOPS for delivery of
           services to PCAU offices in Geneva. This paper should outline the
           goods and services obtained using UNOPS from 1999 to date and
           detail the amount paid to UNOPS for these services as compared
           to using UNOG / UNON and, where necessary, explain the reason
           for any additional cost arising from use of UNOPS (Rec. 09).

25. UNEP commented that recommendation would be implemented with a target
date for completion of end 2004. OIOS thanks UNEP for the prompt action taken
and will close the recommendation upon receipt and review of the report outlining
the goods and services obtained using UNOPS from 1999 to date and detailing the
amount paid to UNOPS for these services as compared to using UNOG / UNON and
the reason for any cost differences where UNOPS is a higher cost.

                              E. Financial Management

26. When PCAU was established as a part of DEPI in February 2001, adequate
arrangements were established for receipt and accounting of contributions, but UNEP
did not put in place adequate arrangements to handling expenditures in accordance
with UN and UNEP Financial Regulations and Rules:

      a) There was confusion about what was meant by certification and approval
      under financial rules, which resulted in occasions where these functions appear to
      have been carried out by the service provider, UNOPS, without sufficient checks
      and safeguards.



                                            7


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   b) As required for other UNEP units within the building the Programme
   Management Officer of UNEP Regional Office for Europe (ROE) was not the
   focal point for all budget and financial information.

   c) No mechanisms were put in place requiring preparation of comprehensive
   financial reports listing the status of allotments, obligations, the remaining
   unliquidated obligations and the expenditures on a current basis for control
   purposes, including reconciliation of financial reports from implementing
   partners working on PCAU activities.

   d) Financial activity reports were not prepared and reviewed periodically to
   ensure that expenditures had not exceeded allotments in accordance with UN
   Financial Rule 105.8.

   e) Project activities were not undertaken on the basis of allotments approved
   by the Executive Director, as required by UN Financial Rule 105.3 (a) in
   connection with UNEP Financial Rules, Article XI.

27. OIOS was pleased to note that PCAU recognised these weaknesses and actions
were underway at the time of the audit to correct these deficiencies

        Recommendations:

              To ensure adequate arrangements for certification and
        approval of expenditures, the Head of PCAU, with assistance from
        the Programme Management Officer of UNEP's Regional Office
        for Europe, should develop a set of procedures detailing
        certification and approval arrangements for operational and PCAU
        Headquarters activities (Rec. 10).

28. UNEP commented that a memo from Chief, UNON, Division of Administrative
Services, to Chief, UNEP/PCAU, dated 2 April 2004, explains the role of the
approving and certifying officer and explicitly segregates the approving
responsibilities as being those of the Head of PCAU programmes/projects and the
certifying responsibilities as being those of UNEP Regional Office for Europe's
Administrative Officer. OIOS appreciates the clarification and will close the
recommendation upon confirmation that staff has been made aware of the 4 April
2004 memo on approving and certifying functions for PCAU goods and services
obtained for the Headquarters, and understand the processes that must be followed
for obtaining goods and services in accordance with the memo.

              To improve arrangements for financial management and
        reporting, the Executive Director of UNEP should request UNON
        to assist in defining and implementing a financial system, which
        allows PCAU to identify, capture, and report on its financial status
        (Rec. 11).

29. UNEP commented that with the implementation of Recommendation No. 08, the
definition of the UNEP/PCAU Project Management Officer's functions should
include the responsibility of establishing an efficient system of monitoring,

                                         8


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managing, updating and extracting financial information on the projects
implementation progress from the UNOPS, UNEP and UNON systems. This will
ensure that the reports envisaged by the project managers and the donors will be
accurate and will be furnished in a timely manner and their updates will be done
with more ease. OIOS appreciates the prompt action taken and has closed the
recommendation.

                         F. Human Resources Management

(a)    Personnel supplied under Institutional Contract

30. PCAU signed an institutional contract, which included supplying the services
of two consultants. To enable the two consultants to work in Switzerland, PCAU
signed in addition US$1 contracts directly with the two consultants. As these
individuals were part of the institutional contract, it was up to the company to make
all necessary arrangements for their stay in Switzerland, in the absence of any
documentation placing this burden on UNEP. In addition, as the company paid the
consultants, the signing of the US$1 contracts inadvertently gave them the status of
Gratis Type II personnel, who should have, but were not reported to the General
Assembly quarterly and annually, as required by General Assembly resolution
A/RES/51/243.

           Recommendation:

                PCAU should cancel the US$1 contracts entered into with
           two individuals working for an institutional contractor and explain
           to the company its responsibilities for making all necessary
           arrangements for its staff to work in Switzerland (Rec. 12).

31. UNEP commented that the recommendation had been implemented and the
contracts have been terminated. OIOS notes the response and will close the
recommendation upon receipt of evidence explaining when the US$1 contracts were
terminated.

(b)    Individual Contractors

32. When PCAU hired seven individual contractors and used them as staff, it
violated ST/AI/1999/8 and ST/AI/2002/4 in the way staff members are recruited.
They also violated ST/AI/1999/7 on consultants and individual contractors that
restricts using individual contractors continuously for more than nine months in any
period of twelve consecutive months.

      a) Their work assignment involved full-time or part-time functions similar to
      those of staff members such as temporary staffs used only during peak periods, to
      meet unexpected demands, to fill temporary vacancies or absences, to assist
      during conferences or to provide other short-term services in accordance with
      staff rules.

      b) The Chairman of PCAU, who is a consultant, represented ED-UNEP and
      UNEP at numerous activities of PCAU as a UN official. According to


                                            9


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      ST/AI/1999/7 section 6.2 individual contractors may not discharge representative
      or supervisory functions.

           Recommendation:

                 To ensure that PCAU recruits personnel using the
           appropriate mechanism, the Head of PCAU should seek the advice
           of the Human Resources Management Section of UNON on how
           to conduct human resources matters in accordance with UN
           regulations and rules (Rec. 13).

33. UNEP commented that the recommendation had been implemented. A focal
point within HRMS/UNON has been assigned to advise PCAU as and when required.
OIOS thanks UNEP for the prompt action taken and the recommendation has been
closed.

(c)    Contract terms and Conditions

34. One of the individual contractors had his duty station outside of Geneva. As a
consequence, he was paid Daily Subsistence Allowance (DSA) for the time spent in
Geneva. Since the contractor spent approximately two weeks per month in Geneva,
the DSA cost for the period from February 2002 to May 2004 amounted to
approximately US$72,000. OIOS was unable to get access to UNOPS records to
verify the correctness of these payments. From the documents provided to the audit
team, it was unclear, why Geneva was not chosen as the duty station.

35. The fee agreed for the individual contractor in 2003 was US$10,000 per month
from February 2002. This was raised to US$12,000, in July 2003. The Office of the
Executive Director clarified that the rate agreed was based on the Grade of ASG to
reflect the position previously held by the consultant within his national government.

           Recommendation:

                 In the absence of evidence justifying why the duty station of
           an individual contractor was outside of Geneva and the basis for
           the monthly fees, the Executive Director of UNEP should revisit
           the terms and negotiations offered to the contractor and determine
           whether unjustified payments have been made which should result
           in write-off action (Rec.14).

36. UNEP commented that in light of the extensive high level political and other
contacts necessary in Finland and beneficial for the post-conflict activities carried
out by UNEP, it was decided that the individual contractor's duty station should be
Helsinki. However, in light of the expanding portfolio of post-conflict activities,
additional responsibilities and fast evolving political scenarios, the individual
contractor's current contract has Geneva as the duty station. OIOS thanks UNEP
for the clarification on why the duty station was in Helsinki and for clarifying that
the high level political nature of the duties carried out by the consultant required a
consultant at the level of ASG. On the basis of this information the recommendation
has been closed.

                                          10


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                                   G. Procurement

(a)    Institutional Contract

37. In June 1999, PCAU engaged, through UNON, GAIA Network Consultants to
provide consultancy support for examining environmental consequences in war zone
areas. The contract was extended three times through UNON and then was extended
in excess of four times using UNOPS, from July 2000 to the time of the audit.
Whilst there was a justification and explanation for the original sole source ex-post
facto award of a US$165,000, there were no justifications and explanations for the
subsequent extensions, which brought the total contract value to over US$1 million.
In the view of OIOS, the contract extensions were not in compliance with the general
principles for procurement in the UN per Financial Regulation 5.12 that requires
exercising due consideration to achieve value for money, fairness, integrity and
transparency, effective international competition, and the interest of the UN.

           Recommendation:

                  To comply with UN Financial Regulation 5.12 that requires
           exercising due consideration to achieve value for money, fairness,
           integrity and transparency, effective international competition, and
           interest of the UN, the Head of PCAU, should terminate the
           current institutional contract with GAIA Network Consultants and
           initiate a tendering exercise to obtain any further consultancy
           services (Rec. 15).

38. UNEP commented that following the successful post-conflict assessment
activities in the Balkans, the requests for UNEP's involvement in similar disasters by
the Governments increased significantly. As UNEP did not have the capacity to
respond to these requests within its established structure, the services of the GAIA
Network Consultants continued to be used while UNEP was looking into
possibilities, with their support and experience, of establishing a more permanent
structure to execute these activities. The Post-Conflict Assessment Unit was
subsequently established and strengthened and has now the capacity to handle such
requirements. Since then the institutional contract with the GAIA Network
Consultants has been discontinued. OIOS thanks UNEP for the clarification and will
close the recommendation upon receipt of evidence explaining when the GAIA
contract was terminated.

                                H. Asset Management

39. PCAU had inadequate procedures for safeguarding assets valued at
approximately US$3 million. These assets included heavy equipment and permanent
installations of the clean-up project in Serbia and Montenegro. Asset management
had not been conducted in accordance with UN Financial Rule 105.20 and
ST/AI/374 on Property records and inventory control:

      a)   No definition of non-expendable property;




                                           11


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   b) No system for control of property as stated in UN Financial Rule 105.20.
   OIOS believes that this should include frequency of physical verification;

   c) No reconciliation was possible between the inventory records and the
   expenditure reports;

   d) No internal inventory number or barcode had been assigned to the
   inventories to assist in tracking and identification of items;

   e) Inventory lists were maintained, but no evidence that they are updated
   every time new assets are acquired, and no evidence of any physical checks to
   verify;

   f)    PCAU did not have a system in place and did not have a policy for disposal
   of non-expendable items. How to determine the obsolete IT equipment, timing
   of disposal and the accounting procedures for the sales proceed from disposals
   was not clear;

   g) There was no methodology or policy for removal of assets transferred from
   the records held by PCAU;

   h) In the absence of a consolidated asset register, it is unclear as to whether the
   assets transferred at the completion of a project are complete; and,

   i)    No policy was established on maintenance of equipment.

40. OIOS noted that PCAU had taken steps to establish an asset management
system and whilst it noted that disposal action on property in Belgrade had been
carried out in accordance with rules, in the absence of a properly maintained asset
register, it was not clear whether all items, at a depreciated value of approximately
US$24,000, had been accounted for. UNEP commented that the documents showing
compliance with UN Financial Rule 105.20 and ST/AI/374 on Property records and
inventory control, regarding the hand-over to the Local Authorities in Belgrade were
subsequently provided to OIOS, showing that these procedures took place in May
2004, almost in parallel with the visit by the auditors to PCAU. The recommendation
raised on this issue has therefore been withdrawn.

         Recommendations:

              To ensure compliance with UN Financial Rule 105.20 and
         ST/AI/374 on property records and inventory control, the Head of
         PCAU should develop a system for control of assets, which
         involves the creation of a consolidated database of all non-
         expendable inventories purchased which should reflect the
         purchase date, description, value, and location. The database
         should be updated regularly for additions, disposals and transfers.
         A physical verification should also be carried out (Rec. 16).

41. UNEP commented that with the implementation of Recommendation No. 08, the
definition of the UNEP/PCAU Project Management Officer's functions would
include the responsibility of establishing an efficient system for control of assets in


                                          12


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Geneva and in the out-posted PCAU project offices, which would be updated
regularly for additions, disposals and transfers. OIOS appreciates the prompt action
taken and has closed the recommendation.

                To ensure conformity with UN Financial Rule 105.20 and
          ST/AI/374 on property records and inventory control, the Head of
          PCAU should establish a written disposal policy, which clearly
          states conditions under which assets should be transferred, sold or
          donated (Rec. 17).

42. UNEP commented that the recommendation would be implemented as part of
the establishment of a new UNEP-wide disposal policy. OIOS notes the response
and will close the recommendation upon receipt and review of the UNEP disposal
policy.

                     I. Programme and Project Management

43. Since its inception in 1999, PCAU implemented about 12 projects valued at
approximately US$30 million, of which seven projects valued at approximately
US$25 million were complete and five projects valued at approximately US$5
million were ongoing.

44. OIOS found that project documents had been completed in accordance with
UNEP project guidelines; however, the majority of the projects were presented and
approved ex-post facto by UNEP's Project Approval Group (PAG). OIOS is of the
opinion that close cooperation between PCAU, PCMU, and BFMS is needed to
ensure speedy and efficient project formulation and approval.

          Recommendation:

               To facilitate formulation and approval of PCAU projects the
          Head of PCAU, in consultation with PCMU and UNON Budget
          and Financial Management Service (BFMS) should devise a
          procedure for speedy and efficient formulation and approval of
          PCAU projects (Rec. 18).

45. UNEP commented that the procedure agreed upon to ensure a speedy and
efficient formulation and approval of PCAU projects, is for PCAU to send a draft
project document simultaneously to PCMU and BFMS for comments within four
working days, where after PCAU will finalize the project document and submit to
BFMS/PCMU for direct management approval. OIOS thanks UNEP for the
response and has closed the recommendation.


     V.       FURTHER ACTIONS REQUIRED ON RECOMMENDATIONS

46. OIOS monitors the implementation of its audit recommendations for
reporting to the Secretary-General and to the General Assembly. The
responses received on the audit recommendations contained in the draft
report have been recorded in our recommendations database. In order to
record full implementation, the actions described in the following table are


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required:

Recommendation No.                             Action Required
Rec. 02                 Receipt and review of the documentation presented to the
                        Governing Council and details of the Governing Council
                        decision.
Rec. 03                 A copy of the approved staffing table, details of how UNON
                        and UNEP will ensure that that the table remains up to date
                        and details on the steps proposed to ensure that current and
                        all future PCAU entrants will be briefed on their roles and
                        responsibilities as UNEP staff members.
Rec. 04                 Receipt of a copy of the strategy paper outlining the future of
                        PCAU in the medium to long term.
Rec. 07                 Receipt and review of the revised MOU with UNOPS.
Rec. 09                 Receipt and review of the report outlining the goods and
                        services obtained using UNOPS from 1999 to date and
                        detailing the amount paid to UNOPS for these services as
                        compared to using UNOG / UNON and the reason for any
                        cost differences where UNOPS is a higher cost.
Rec. 10                 Confirmation that staff have been made aware of the 4 April
                        2004 memo on approving and certifying functions for PCAU
                        goods and services obtained for the headquarters, and
                        understand the processes that must be followed for obtaining
                        goods and services in accordance with the memo.
Rec. 12                 Receipt of evidence explaining when the US$1 contracts
                        were terminated.
Rec. 15                 Receipt of evidence explaining when the GAIA contract was
                        terminated.
Rec. 17                 Receipt and review of the UNEP disposal policy.


                             VI.   ACKNOWLEDGEMENT

47. I wish to express my appreciation for the assistance and cooperation extended to
the audit team by management and staff of PCAU and UNEP.



Egbert C. Kaltenbach, Director
Internal Audit Division II
Office of Internal Oversight Services




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