OFFICE OF MANAGEMENT AND BUDGET
Guidelines for Ensuring and Maximizing the Quality,
Objectivity, Utility, and Integrity of Information Disseminated by
Federal Agencies
Final Guidelines, with Request for Comments
SUMMARY: These guidelines implement section 515 of the Treasury and
General Government Appropriations Act for Fiscal Year 2001 (Public Law
106-554). Section 515 directs the Office of Management and Budget (OMB)
to issue government-wide guidelines that "provide policy and procedural
guidance to Federal agencies for ensuring and maximizing the quality,
objectivity, utility, and integrity of information (including statistical
information) disseminated by Federal agencies." Within one year after
OMB issues these guidelines, agencies must issue their own implementing
guidelines that include "administrative mechanisms allowing affected
persons to seek and obtain correction of information maintained and
disseminated by the agency" that does not comply with the OMB guidelines.
OMB is also requesting additional comment for 30 days on the "capable
of being substantially reproduced" standard (paragraphs V.3.B, V.9,
and V.10) which is issued on an interim final basis.
DATES:
Effective Date: October 1, 2001.
Comment Date: Comments on the "capable of being substantially
reproduced" standard in paragraphs V.3.B, V.9, and V.10 must be submitted
by November 28, 2001.
ADDRESSES: Please submitted comments to Brooke J. Dickson of the
Office of Information and Regulatory Affairs, Office of Management
and Budget, Washington, DC 20503. Comments can also be e-mailed to informationquality@omb.eop.gov.
FOR FURTHER INFORMATION CONTACT: Brooke J. Dickson, Office of
Information and Regulatory Affairs, Office of Management and Budget,
Washington, DC 20503. Telephone (202) 395-3785.
SUPPLEMENTARY INFORMATION: In section 515(a) of the Treasury and
General Government Appropriations Act for Fiscal Year 2001 (Public Law
106-554; H.R. 5658), Congress directed the Office of Management and Budget
(OMB) to issue, by September 30, 2001, government-wide guidelines that
"provide policy and procedural guidance to Federal agencies for ensuring
and maximizing the quality, objectivity, utility, and integrity of
information (including statistical information) disseminated by Federal
agencies... ." Section 515(b) goes on to state that the OMB guidelines
shall:
- apply to the sharing by Federal agencies of, and access to,
information disseminated by Federal agencies; and
- require that each Federal agency to which the guidelines apply --
- issue guidelines ensuring and maximizing the quality, objectivity,
utility, and integrity of information (including statistical information)
disseminated by the agency, by not later than 1 year after the date of
issuance of the guidelines under subsection (a);
- establish administrative mechanisms allowing affected persons to
seek and obtain correction of information maintained and disseminated
by the agency that does not comply with the guidelines issued under
subsection (a); and
- report periodically to the Director --
- the number and nature of complaints received by the agency regarding
the accuracy of information disseminated by the agency; and
- how such complaints were handled by the agency.
These guidelines are to be issued "under sections 3504(d)(1) and 3516
of the Paperwork Reduction Act of 1995; pursuant to section 3503 of
that Act, the authorities of the OMB Director are carried out by the
Administrator of the Office of Information and Regulatory Affairs.
Background
The focus of section 515 is on the Federal Government's information
dissemination activities. Indeed, Federal agencies have disseminated
information to the public for decades. Until recently, agencies have
disseminated information principally by making paper copies of documents
available to the public. In recent years, however, Federal information
dissemination has grown due to the advent of the Internet, which has
ushered in a revolution in communications. The Internet has enabled
Federal agencies to disseminate an ever-increasing amount of information.
Congress has strongly encouraged the Executive Branch's dissemination
efforts in statutes that include particular dissemination activities and
in the government-wide dissemination provisions of the Paperwork Reduction
Act of 1995 (44 U.S.C. chapter 35) (the PRA). In addition, the Executive
Branch's strong support for information dissemination is reflected in the
dissemination provisions of OMB Circular A-130, "Management of Federal
Information Resources," as well as in the provisions in OMB Circular
A-110, "Uniform Administrative Requirements for Grants and Agreements
With Institutions of Higher Education, Hospitals, and Other Non-Profit
Organizations," related to a Freedom of Information Act request for
research data relating to published research findings produced under an
award that were used by the Federal Government in developing an agency
action that has the force and effect of law (64 FR 54926; October 8,
1999).
Section 515 builds upon the existing agency responsibility to ensure
information quality. According to the PRA, agency Chief Information
Officers (CIOs) must manage information resources to "improve the
integrity, quality, and utility of information to all users within and
outside the agency, including capabilities for ensuring dissemination
of public information, public access to government information,
and protections for privacy and security." Before an agency collects
information from 10 or more persons, the agency must seek public comment
"to enhance the quality, utility, and clarity of the information
to be collected." The agency then must obtain OMB approval that is
based upon an evaluation of the agency's need for the information,
the "practical utility" of the information to be collected, and the
minimization of burden that would be imposed on the public in responding
to the collection. The CIO must certify to OMB that the agency, "to
the maximum extent practicable, uses information technology to reduce
burden and improve data quality."
In developing these guidelines to implement section 515, OMB recognized
that Federal agencies disseminate many types of information in many
different ways. A few examples can only begin to describe the breadth of
information disseminated by the Federal government. Agencies disseminate
statistical information, such as the aggregated information from the
2000 Census and the monthly and quarterly economic reports issued by
the Bureau of Economic Analysis and the Bureau of Labor Statistics.
Agencies disseminate information that aids members of the public in their
daily activities, such as the National Weather Service's weather reports
and the FAA's air travel advisories. Agencies disseminate information
about health, safety, and environmental risks and information that they
collect from regulated entities, such as EPA's dissemination of Toxic
Release Inventory information. Agencies also disseminate technical
information that they create or obtain in the course of developing
regulations, often involving scientific, engineering, and economic
analysis. Agencies disseminate information when they issue reports and
studies. Moreover, agencies provide the public with basic descriptions
of agency authorities, activities and programs, along with the contact
information for the public to interact with and access that information
or those services.
Underlying Principles
In accordance with section 515, OMB has designed the guidelines to
help agencies ensure and maximize the quality, utility, objectivity and
integrity of the information that they disseminate (meaning to share with,
or give access to, the public). It is crucial that information Federal
agencies disseminate meets these guidelines. In this respect, the fact
that the Internet enables agencies to communicate information quickly and
easily to a wide audience not only offers great benefits to society, but
also increases the potential harm that can result from the dissemination
of information that does not meet basic information quality guidelines.
Recognizing the wide variety of information Federal agencies disseminate
and the wide variety of dissemination practices that agencies have,
OMB developed the guidelines with several principles in mind.
First, OMB designed the guidelines to apply to a wide variety of
government information dissemination activities that may range in
importance and scope. OMB also designed the guidelines to be generic
enough to fit all media, be they printed, electronic, or in other form.
OMB sought to avoid the problems that would be inherent in developing
detailed, prescriptive, "one-size-fits-all" government-wide guidelines
that would artificially require different types of dissemination
activities to be treated in the same manner. Through this flexibility,
each agency will be able to incorporate the requirements of these OMB
guidelines into the agency's own information resource management and
administrative practices.
Second, OMB designed the guidelines so that agencies will meet basic
information quality standards. Given the administrative mechanisms
required by section 515 as well as the standards set forth in the PRA, it
is clear that agencies should not disseminate substantive information that
does not meet a basic level of quality. We recognize that some government
information may need to meet higher or more specific information quality
standards than those that would apply to other types of government
information. The more important the information, the higher the quality
standards to which it should be held, for example, in those situations
involving "influential scientific or statistical information" (a phrased
defined in these guidelines). The guidelines recognize, however, that
information quality comes at a cost. Accordingly, the agencies should
weigh the costs (for example, including costs attributable to agency
processing effort, respondent burden, maintenance of needed privacy,
and assurances of suitable confidentiality) and the benefits of higher
information quality in the development of information, and the level of
quality to which the information disseminated will be held.
More specifically, the OMB guidelines state that "agencies shall have a
basic standard of quality (including objectivity, utility, and integrity)
as a performance goal ...". We note, in the scientific context, that in
1996 the Congress, for health decisions under the Safe Drinking Water Act,
has already adopted a basic standard of quality for the use of science
in agency decisionmaking. Under 42 U.S.C. 300g-1(b)(3)(A), an agency is
directed, "to the degree that an Agency action is based on science," to
use "(i) the best available, peer-reviewed science and supporting studies
conducted in accordance with sound and objective scientific practices; and
(ii) data collected by accepted methods or best available methods (if the
reliability of the method and the nature of the decision justifies use of
the data)." We also note that the OMB guidelines call for an additional
level of quality "in those situations involving influential scientific
or statistical information." The additional level of quality concerns
a standard of care for scientific or statistical analytical results, a
"capable of being substantially reproduced" standard that is discussed
below.
We further note that in the 1996 amendments to the Safe Drinking Water
Act the Congress adopted a basic quality standard for the dissemination
of public information about risks of adverse health effects. Under 42
U.S.C. 300g-1(b)(3)(B), the agency is directed, "to ensure that
the presentation of information [risk] effects is comprehensive,
informative, and understandable." The agency is further directed,
"in a document made available to the public in support of a regulation
[to] specify, to the extent practicable -- (i) each population addressed
by any estimate [of applicable risk effects]; (ii) the expected risk
or central estimate of risk for the specific populations [affected];
(iii) each appropriate upper- bound or lower-bound estimate of risk; (iv)
each significant uncertainty identified in the process of the assessment
of [risk] effects and the studies that would assist in resolving the
uncertainty; and (v) peer-reviewed studies known to the [agency] that
support, are directly relevant to, or fail to support any estimate of
[risk] effects and the methodology used to reconcile inconsistencies in
the scientific data." We urge each agency in developing its guidelines to
evaluate whether adopting or adapting these basic Congressional standards
would be appropriate for judging the quality of disseminated scientific
or statistical information.
Third, OMB designed the proposed guidelines so that agencies can apply
them in a common-sense and workable manner. It is important that these
guidelines do not impose unnecessary administrative burdens that would
inhibit agencies from continuing to take advantage of the Internet and
other technologies to disseminate information that can be of great
benefit and value to the public. In this regard, OMB encourages
agencies to incorporate the standards and procedures required by
these guidelines into their existing information resources management
and administrative practices rather than create new and potentially
duplicative or contradictory processes. The primary example of this
is that the guidelines recognize that, in accordance with OMB Circular
A-130, agencies already have in place well-established information quality
standards and administrative mechanisms that allow persons to seek and
obtain correction of information that is maintained and disseminated
by the agency. Under the OMB guidelines, agencies need only ensure
that their own guidelines are consistent with these OMB guidelines, and
then ensure that their administrative mechanisms satisfy the standards
and procedural requirements in the new agency guidelines. Similarly,
agencies may rely on their implementation of the Federal Government's
computer security laws (formerly, the Computer Security Act, and now
the computer security provisions of the PRA) to establish appropriate
security safeguards for ensuring the "integrity" of the information that
the agencies disseminate.
Summary of OMB Guidelines
These guidelines apply to Federal agencies subject to the Paperwork
Reduction Act (44 U.S.C. chapter 35). Agencies are directed to
develop information resources management procedures for reviewing
and substantiating (by documentation or other means selected by the
agency) the quality (including the objectivity, utility, and integrity)
of information before it is disseminated. In addition, agencies are to
establish administrative mechanisms allowing affected persons to seek and
obtain, where appropriate, correction of information disseminated by the
agency that does not comply with the OMB or agency guidelines. Consistent
with the underlying principles described above, these guidelines stress
the importance of having agencies apply these standards and develop their
administrative mechanisms so they can be implemented in a common sense
and workable manner. Moreover, agencies must apply these standards
flexibly, and in a manner appropriate to the nature and timeliness of
the information to be disseminated, and incorporate them into existing
agency information resources management and administrative practices.
Section 515 denotes four substantive terms regarding information
disseminated by Federal agencies: quality, utility, objectivity, and
integrity. It is not always clear how each substantive term relates --
or how the four terms in aggregate relate -- to the widely divergent
types of information that agencies disseminate. The guidelines provide
definitions that attempt to establish a clear meaning so that both the
agency and the public can readily judge whether a particular type of
information to be disseminated does or does not meet these attributes.
In the guidelines, OMB defines "quality" as the encompassing term,
of which "utility," "objectivity," and "integrity" are the constituents.
- "Utility" refers to the usefulness of the information to the
intended users.
- "Objectivity" focuses on whether the disseminated information is
being presented in an accurate, clear, complete, and unbiased
manner, and as a matter of substance, is accurate, reliable, and
unbiased.
- "Integrity" refers to security -- the protection of information
from unauthorized access or revision, to ensure that the
information is not compromised through corruption or
falsification.
OMB modeled the definitions of "information," "government information,"
"information dissemination product," and "dissemination" on the
longstanding definitions of those terms in OMB Circular A-130, but
tailored them to fit into the context of these guidelines.
In addition, agencies have two reporting requirements. The first
report, implemented no later than one year after the issuance of these
OMB guidelines (no later than October 1, 2002), must provide the agency's
information quality guidelines that describe administrative mechanisms
allowing affected persons to seek and obtain, where appropriate,
correction of disseminated information that does not comply with the OMB
and agency guidelines. The second report is an annual fiscal year report
to OMB (to be first submitted on January 1, 2004) providing information
(both quantitative and qualitative, where appropriate) on the number,
nature, and resolution of complaints received by the agency regarding
its perceived or confirmed failure to comply with these OMB and agency
guidelines.
Public Comments and OMB Response
Section 515(a) required OMB to provide the public and the Federal
agencies the opportunity to comment on these guidelines. OMB worked with
Federal agencies, through a working group and through an inter-agency
comment process, in the development of the proposed guidelines.
The proposed guidelines were published in the Federal Register on June
28, 2001 (66 Fed. Reg. 34489) providing a public comment period of 45
days. OMB received a total of 100 comments from academic institutions
(36), Federal agencies (26), individual members of the public (7),
associations affiliated with academia (5), associations affiliated with
medical, social science or science interests (15), associations affiliated
with Federal Government interests (4), and associations affiliated with
industry interests (7).
General Concerns. Many comments expressed support for the idea
of government-wide quality standards for information disseminated by
Federal agencies. Comments also expressed support for OMB's commitment to
creating flexible general guidelines and to minimizing the administrative
costs and burdens that these guidelines will impose. The majority of
comments focused on two aspects of the proposed guidelines: suggestions
for placing limitations on the administrative correction mechanisms
requirements of the statute; and the need to clarify specific definitions
and other terms found in the guidelines.
Many comments raised questions and concerns about how these
guidelines interact with existing statutes and policies, including the
Paperwork Reduction Act and the Government Performance and Results Act.
We have attempted to draft these guidelines in a way that addresses the
requirements of section 515, but does not impose a completely new and
untried set of standards upon Federal agencies. We encourage agencies
to consider the effect of relevant existing statutes and policies in
the development of their own guidelines.
Administrative Mechanisms. These guidelines require agencies to
establish administrative mechanisms allowing affected persons to seek
and obtain, where appropriate, correction of information maintained and
disseminated by the agency that does not comply with the OMB guidelines.
Many comments suggested that limits be imposed on the types of information
that should be subject to these guidelines, in particular, information
that is disseminated by agency libraries. OMB agrees that archival
information disseminated by Federal agency libraries (for example,
Internet distribution of published articles) should not be covered by
these guidelines, given that libraries do not endorse the information
that they disseminate. Moreover, an agency's dissemination of public
filings (for example, corporate filings with the Securities and Exchange
Commission) is not covered by these guidelines. In each of these
situations, the agencies have not authored these documents and have
not adopted them as representing the agencies' views. By disseminating
these materials, the agencies are simply ensuring that the public can
have quicker and easier access to materials that are publicly available.
In developing its implementing guidelines, and in accordance with the
criteria set forth in these guidelines, each agency should evaluate
and identify the types of information that it disseminates that will be
subject to its guidelines.
In addition, comments also raised the concern that the guidelines
would apply to "preliminary" information, and they recommended
that the guidelines exclude such information. OMB appreciates the
concerns that these comments have raised. However, OMB does not
believe that an exclusion for "preliminary" information is
necessary or appropriate. It is still important that the
quality of preliminary information be ensured and that preliminary
information be subject to the administrative complaint-and-
correction process.
A few comments stated that affected information should be limited to
information used in agency rulemaking. While this has been the position
of previous policies which these guidelines are not intended to modify
or replace (see, e.g., section ___.36(d) in OMB Circular A-110), we
believe the plain meaning and intent of section 515 covers the larger
government information universe.
Based on the public comments received, these guidelines allow agencies
to determine the appropriate level of correction for a complaint received.
Several comments suggested that agencies use disclaimers to distinguish
the status of information, a practice that agencies should consider
adopting as they consider their information holdings.
OMB received detailed discussion on the requirement that agencies
develop administrative mechanisms allowing for affected persons to
"seek and obtain correction of information that does not comply with
OMB's guidelines." Members of the scientific community expressed strong
concerns about the possibility of a Federal agency that would "correct"
scientific information without carrying out the scientific analysis to
support the correction. Comments from all fields suggested in various
ways that challenging individuals should be "required to openly state
his/her relationship with the data/information (familiarity/expertise)
and provide information [as] to his/her interest in it."
Comments also pointed out great potential for abuse of this process.
As one association summarized, "This could be seen to provide grounds
for interested parties to demand access to underlying data, to compel
the government to replicate research findings (at great expense and
with unnecessary delay), or in other ways impede, discredit, harass or
stymie research." For example, the National Oceanic and Atmospheric
Administration (NOAA) explained that they receive numerous complaints
from the public when they miss a weather forecast. "Does this mean
that the NWS [National Weather Service] could be requested to change
a forecast after the fact? Or could someone with an economic interest
challenge official observational data which could affect the value of
an insurance payment?" asks NOAA.
Overall, OMB does not envision administrative mechanisms that would
burden agencies with frivolous claims. Instead, the correction process
should serve to address the genuine and valid needs of the agency and
its constituents without disrupting agency processes. Agencies, in
making their determination of whether or not to correct information,
may reject claims made in bad faith or without justification, and are
required to undertake only the degree of correction that they conclude
is appropriate for the nature and timeliness of the information involved,
and explain such practices in their annual fiscal year reports to OMB.
Numerous comments provided language to clarify or limit the term,
"affected persons." One academic institution suggested that the term,
"affected persons," reflects a criterion of "direct measurable impact with
significant personal consequence." Other academic institutions suggested
that "affected persons should not be permitted to challenge the substance
of information without showing that a qualified scientist has found fault
with its quality or integrity." Similarly, some comments argued that
the ability to correct scientific information should be limited only
to other scientists. Several associations suggested that OMB identify
the types of information that could be challenged rather than to focus
on the characteristics of a "legitimate" challenger. OMB considered
these comments at length. Our conclusion is that "affected persons"
are people who may benefit or be harmed by the disseminated information.
This includes persons who are seeking to address information about
themselves as well as persons who use information. However, each agency
should consider how persons (which includes groups, organizations and
corporations, as defined by the Paperwork Reduction Act) will be affected
by the agency's information. Agencies should address the issue of
"affected persons" in consultation with their constituents through the
public comment process that agencies will provide after drafting their
proposed guidelines and before submitting them for OMB review.
These guidelines require that an agency official be designated to
receive and resolve complaints regarding information that does not
comply with either the OMB guidelines or the agency's guidelines.
In the proposed guidelines, we required, with a limited exception,
that the Chief Information Officer (CIO) of the agency have this
responsibility. Of the government agencies that commented on
this provision, many pointed to their specific agency practices on
information quality and their designation of a "quality official" who
was not necessarily working under the agency CIO. Recognizing that some
agencies may have specific officials in place to address quality issues,
the final guidelines allow agencies to designate an appropriate official.
Agencies may also designate multiple officials, i.e., based on the needs
of individual agency components, as long as there is a single official
with these overall responsibilities designated at the agency level.
The authorized official also needs to consult with the CIO on quality
matters pertaining to information disseminated by the agency.
Agencies need to respond to complaints in a manner appropriate to the
nature and extent of the complaint. Examples of appropriate responses,
as suggested by comments, include personal contacts via letter or
telephone, form letters, press releases or mass mailings that correct
a widely disseminated error or address a frequently raised complaint.
Agencies may want to utilize other methods of response under existing
agency practices. For example, for agencies with a high volume of
complaints, it is acceptable for the agency to describe a sample of those
complaints in the annual fiscal year report to OMB. For categories of
inconsequential or trivial complaints identified in the agency guidelines,
an agency may decide that no response is necessary. Agencies should
describe to OMB as part of the annual fiscal year report the chosen
response mechanisms and how they are working.
Definitions and Other Terms. Section 515 denotes four substantive
terms regarding information disseminated by Federal agencies: quality,
utility, objectivity, and integrity. We have defined "quality" as an
encompassing term. The organizations and individuals that submitted
comments did not object to having "quality" defined as an encompassing
term, but suggested that we should discuss each term separately.
The principles laid out in the proposed guidelines, stated one comment,
create "subjective definitions" of the four terms. This comment warned
OMB that "subjective definitions of quality, objectivity, utility,
and integrity could cause agencies to delay data release or disregard
data for fear of challenge." Other comments expressed similar views,
or as one association observed, "Science does not recognize a sliding
scale of quality."
These guidelines reflect OMB's determination that "quality,"
"utility," "objectivity," and "integrity" are closely interrelated
concepts in the context of these guidelines. Collectively, these terms
address the following three aspects of the information that is to be
disseminated: whether the information is useful to the intended users of
the information; whether the disseminated information is being presented
in an accurate, clear, complete, and unbiased manner in both presentation
and as a characteristic that should be inherent to quality information;
and whether the information has been protected from unauthorized access
or revision.
Some comments stated that OMB was "exceeding the statutory mandate"
and going beyond "Congressional intent" in specifying scientific and
statistical information in these guidelines. Others felt that we should
simply acknowledge that the scientific and statistical communities already
have practices and standards for their information, rather than create
another set of standards for these information types. OMB does not agree
with those comments that said the proposed guidelines went beyond the
statute in covering statistical and scientific information. Section
515 expressly states that its scope includes statistical information.
Moreover, section 515 has no exclusion for scientific information, and
in many respects it is very similar to (and overlaps with) statistical
information. OMB, however, does appreciate the concerns that the comments
raised about the guidelines not creating another set of standards for
statistical and scientific information. Our guidelines do not seek to
impose new standards on these communities, but to reiterate the standards
that are already held in those communities.
Recognizing public interest in medical and public health information,
we have specifically added a provision stating, "Agencies shall
adopt specific standards of quality that are appropriate for the
various categories of information they disseminate." For example,
OMB encourages agencies, in crafting their agency-specific guidelines,
to promote objectivity in information quality in ways that protect the
confidentiality of research subjects and encourage public participation
in research. These concerns are particularly salient in medical and
public health research.
A number of comments regarded our discussion of ensuring that
scientific information be "substantially reproducible" as requiring
agencies to replicate original data and to perform independent analysis
upon all scientific information disseminated by the agency. We have
responded to these concerns in a number of ways. First, we make it
clear that what we now refer to as the "capable of being substantially
reproduced" standard applies to analytical results that are disseminated,
and does not apply to the original or supporting data. Thus, replication
of original data is not required. Second, the "capable of being
substantially reproduced" standard is applicable only to "influential"
scientific and statistical information as defined in the guidelines.
Third, the guidelines call for the agency to determine that "influential"
analytical results be capable of being substantially reproducible
by independent analysis. We intend this standard to say that, if
appropriately qualified persons used the same or a similar methodology,
they would be expected to achieve similar findings and results.
Based on the concerns expressed in the comments, we expanded upon
our discussion of "capable of being substantially reproduced" in our
definition of "objective," and added two explanatory definitions.
We state, in paragraphs V.3.B, V.9, and V.10:
- In addition, "Objectivity" involves a focus on ensuring accurate,
reliable, and unbiased information. In a scientific or statistical
context, the original or supporting data shall be generated, and the
analytical results shall be developed, using sound statistical and
research methods.
- If the results have been subject to formal, independent, external
peer review, the information can generally be considered of acceptable
objectivity.
In those situations involving influential scientific or statistical
information, the results must be capable of being substantially
reproduced, if the original or supporting data are independently analyzed
using the same models. Reproducibility does not mean that the original
or supporting data have to be capable of being replicated through new
experiments, samples or tests.
Making the data and models publicly available will assist
in determining whether analytical results are capable of being
substantially reproduced. However, these guidelines do not alter the
otherwise applicable standards and procedures for determining when and
how information is disclosed. Thus, the objectivity standard does
not override other compelling interests, such as privacy, trade secret,
and other confidentiality protections.
- "Influential" when used in the phrase "influential scientific or
statistical information" means the agency expects that information in
the form of analytical results will likely have an important effect
on the development of domestic or international government or private
sector policies or will likely have important consequences for specific
technologies, substances, products or firms.
- "Capable of being substantially reproduced" means that independent
reanalysis of the original or supporting data using the same methods
would generate similar analytical results, subject to an acceptable
degree of imprecision.
As a general matter, in the scientific and research context, we regard
technical information that has been subjected to formal, independent,
external peer review as presumptively objective. An example of a
formal independent external peer review is the review process used by
scientific journals. However, depending on the nature and timeliness
of the information involved, an agency may decide that peer review is
not necessary or appropriate. On the other hand, in those situations
involving influential scientific or statistical information, the
substantial reproducibility standard is added as a quality standard
above and beyond some peer review quality standards. In the definition
of "influential," when used in the phrase "influential scientific or
statistical information," we note that the manner in which people perceive
the scientific or statistical information can have important consequences
for specific policies, technologies, substances, products, and firms.
Based on concerns with the "substantially reproducible" standard,
a number of comments suggested that OMB should repropose this standard
for additional public comment, rather than going final at this time.
While, in deference to the statutory deadline, OMB is issuing the "capable
of being substantially reproduced" standard (paragraphs V.3.B, V.9, and
V.10). OMB is doing so on an interim final basis. We specifically request
public comments on this standard by November 28, 2001. In addition, OMB
wants to stress that the guidelines published today should be understood
as a beginning of an evolutionary process that will include draft agency
guidelines, public comment, final agency guidelines, development of
experience with OMB and agency guidelines, and continued refinement of
both OMB and agency guidelines.
OMB modeled the draft definitions of "information," "government
information," "information dissemination product," and "dissemination"
on the longstanding definitions of those terms in OMB Circular A-130,
but tailored them to fit into the context of these guidelines.
Information that is disseminated on behalf of an agency (through a
contract or a grant) is considered to be sponsored by the agency and is
subject to these guidelines. Consistent with the PRA concept of agency
"sponsorship" of a collection of information, information is considered
to be disseminated on behalf of an agency by a contractor or grantee if
the dissemination is done at the agency's specific request or with the
agency's specific approval. See 5 C.F.R. 1320.3(d). Finally, it should
be noted that these guidelines focus primarily on the dissemination of
substantive information (i.e. reports, studies, summaries) rather than
information pertaining to basic agency operations.
We have clarified two terms for the final guidelines. The proposed
guidelines included "opinions" in the definition of "information."
We agree with comments that indicated agencies should not be accountable
for correcting someone's opinion, but in the agency's presentation
of the information, it should be clear that what is being offered is
someone's opinion rather than facts or the agency's views. "Opinion"
has therefore been removed from the definition of "information" in the
final guidelines. The definition for "dissemination" was also revised
after discussions with two Federal agencies that correspond frequently
with individual members of the public regarding their participation in
the agency's programs. In addition, in the definition of "dissemination,"
we changed the exclusion for "judicial process" to "adjudicative process"
to make it clear that these guidelines do not apply to the issuance of
agency adjudicative decisions.
Reporting Requirements. Agencies have two reporting requirements.
The first report, taking effect no later than one year after the issuance
of these OMB guidelines, must provide the agency's information quality
guidelines that describe administrative mechanisms allowing affected
persons to seek and obtain, where appropriate, correction of disseminated
information that does not comply with these OMB guidelines. During the
year that agencies have to complete their agency guidelines, agencies
must publish the draft reports in the Federal Register for a period
of public comment, and no later than nine months after the issuance
of OMB's guidelines, submit their draft reports to OMB for review.
Upon completion of OMB's review, final agency guidelines must be published
in the Federal Register and made available through the agency website.
The entire process must be completed by no later than one year after
the issuance of the OMB guidance (no later than October 1, 2002).
The second report is an annual fiscal year report to OMB (to be
first submitted on January 1, 2004) providing information on the
number, nature, and resolution of complaints received by the
agency regarding its perceived or confirmed failure to comply with
these OMB and agency guidelines.
Regarding the proposed guidelines, we received detailed comments
on the required report to OMB describing the number and nature of
complaints received by the agency and how such complaints were resolved.
Two Federal agencies stated that it would be burdensome to report to OMB
on every single complaint they received and responded to, particularly
because many of the complaints may be received in phone calls and given
informal responses that address the callers' concerns. Recognizing that
agencies may deal with large volumes of complaints on particular types of
information disseminated by the agency, OMB's guidelines allow the agency
to provide qualitative and/or quantitative descriptions of complaints
received and how they were resolved (or not). OMB also recognizes that
a large number of comments about a specific document may only demonstrate
that the information is controversial, not that its quality is flawed.
In conclusion, issuance of these final guidelines meets the statutory
requirement that section 515 imposed on OMB. As we stated earlier in
this preamble, and in connection with the proposed guidelines, OMB has
sought in developing these guidelines to make them flexible enough so
that Federal agencies can apply them in a common sense, workable, and
appropriately tailored manner to the wide variety of dissemination
activities that the Federal Government undertakes. In addition,
in drafting guidelines that will apply on a government-wide basis,
OMB has been sensitive to the problem of unintended consequences and
has tried to anticipate and address issues that could arise during the
implementation of these guidelines. In this respect, the public and
agency comments that we received on the proposed guidelines were very
helpful and are greatly appreciated. As we explained above, we made a
number of revisions to the guidelines to address the concerns raised in
the comments, and we also believe that these and other concerns can be
addressed as well in the implementing guidelines that each agency will
develop in the coming months. In addition, OMB is issuing the "capable
of being substantially reproduced" standard (paragraphs V.3.B, V.9,
and V.10) on an interim final basis. We specifically request public
comments on this standard over the next 30 days. Moreover, over time
as the agencies and the public gain further experience with the OMB
guidelines, we would appreciate receiving any suggestions for how OMB
could improve them. Just as OMB requested public comment before issuing
these final guidelines, OMB will refine these guidelines as experience
develops and further public comment is obtained.
Dated: September 24, 2001
John D. Graham
Administrator, Office of Information and Regulatory Affairs
Guidelines for Ensuring and Maximizing the Quality,
Objectivity, Utility, and Integrity of Information Disseminated by
Federal Agencies.
- OMB Responsibilities. Section 515 of the Treasury and General
Government Appropriations Act for FY2001 (Public Law 106-554) directs
the Office of Management and Budget to issue government-wide guidelines
that provide policy and procedural guidance to Federal agencies for
ensuring and maximizing the quality, objectivity, utility, and integrity
of information, including statistical information, disseminated by
Federal agencies.
- Agency Responsibilities. Section 515 directs agencies subject to
the Paperwork Reduction Act (44 U.S.C. 3502(a)) to -
- Issue their own information quality guidelines ensuring
and maximizing the quality, objectivity, utility, and integrity of
information, including statistical information, disseminated by the
agency no later than one year after the date of issuance of the OMB
guidelines;
- Establish administrative mechanisms allowing affected persons
to seek and obtain correction of information maintained and disseminated
by the agency that does not comply with these OMB guidelines; and
- Report to the Director of OMB the number and nature of complaints
received by the agency regarding agency compliance with these OMB
guidelines concerning the quality, objectivity, utility, and integrity
of information and how such complaints were resolved.
- Guidelines for Ensuring and Maximizing the Quality, Objectivity,
Utility, and Integrity of Information Disseminated by Federal Agencies
Overall, agencies shall adopt a basic standard of quality (including
objectivity, utility, and integrity) as a performance goal and should
take appropriate steps to incorporate information quality criteria into
agency information dissemination practices. Quality is to be ensured
and established at levels appropriate to the nature and timeliness of the
information to be disseminated. Agencies shall adopt specific standards
of quality that are appropriate for the various categories of information
they disseminate.
As a matter of good and effective agency information resources
management, agencies shall develop a process for reviewing the quality
(including the objectivity, utility, and integrity) of information before
it is disseminated. Agencies shall treat information quality as integral
to every step of an agency's development of information, including
creation, collection, maintenance, and dissemination. This process
shall enable the agency to substantiate the quality of the information
it has disseminated through documentation or other means appropriate to
the information.
To facilitate citizen review, agencies shall establish administrative
mechanisms allowing affected persons to seek and obtain, where
appropriate, timely correction of information maintained and disseminated
by the agency that does not comply with OMB or agency guidelines. These
administrative mechanisms shall be flexible, appropriate to the nature
and timeliness of the disseminated information, and incorporated into
agency information resources management and administrative practices.
The agency's pre-dissemination review, under paragraph III.2, shall
apply to information that the agency first disseminates on or after
October 1, 2002. The agency's administrative mechanisms, under paragraph
III.3, shall apply to information that the agency disseminates on or
after October 1, 2002, regardless of when the agency first disseminated
the information.
- Agency Reporting Requirements. Agencies must designate the
Chief Information Officer or another official to be responsible for
agency compliance with these guidelines.
The agency shall respond to complaints in a manner appropriate to the
nature and extent of the complaint. Examples of appropriate responses
include personal contacts via letter or telephone, form letters, press
releases or mass mailings that correct a widely disseminated error or
address a frequently raised complaint.
Each agency must prepare a draft report, no later than April 1,
2002, providing the agency's information quality guidelines and
explaining how such guidelines will ensure and maximize the quality,
objectivity, utility, and integrity of information, including
statistical information, disseminated by the agency. This report must
also detail the administrative mechanisms developed by that agency to
allow affected persons to seek and obtain appropriate correction of
information maintained and disseminated by the agency that does not
comply with the OMB or the agency guidelines.
The agency must publish a notice of availability of this draft report
in the Federal Register, and post this report on the agency's website,
to provide an opportunity for public comment.
Upon consideration of public comment and after appropriate revision,
the agency must submit this draft report to OMB for review regarding
consistency with these OMB guidelines no later than July 1, 2002.
Upon completion of that OMB review and completion of this report,
agencies must publish notice of the availability of this report in the
Federal Register, and post this report on the agency's web site no later
than October 1, 2002.
On an annual fiscal-year basis, each agency must submit a report to the
Director of OMB providing information (both quantitative and qualitative,
where appropriate) on the number and nature of complaints received by
the agency regarding agency compliance with these OMB guidelines and
how such complaints were resolved. Agencies must submit these reports
no later than January 1 of each following year, with the first report
due January 1, 2004.
- Definitions.
- "Quality" is an encompassing term comprising utility, objectivity,
and integrity. Therefore, the guidelines sometimes refer to these four
statutory terms, collectively, as "quality."
- "Utility" refers to the usefulness of the information to its
intended users, including the public. In assessing the usefulness of
information that the agency disseminates to the public, the agency needs
to consider the uses of the information not only from the perspective of
the agency but also from the perspective of the public. As a result,
when reproducibility and transparency of information are relevant for
assessing the information's usefulness from the public's perspective,
the agency must take care to ensure that reproducibility and transparency
have been addressed in its review of the information.
- "Objectivity" involves two distinct elements, presentation and
substance.
- "Objectivity" includes whether disseminated information is
being presented in an accurate, clear, complete, and unbiased manner.
This involves whether the information is presented within a proper
context. Sometimes, in disseminating certain types of information to
the public, other information must also be disseminated in order to
ensure an accurate, clear, complete, and unbiased presentation. Also,
the agency needs to identify the sources of the disseminated information
(to the extent possible, consistent with confidentiality protections)
and, in a scientific or statistical context, the supporting data and
models, so that the public can assess for itself whether there may be some
reason to question the objectivity of the sources. Where appropriate,
supporting datashould have full, accurate, transparent documentation, and
error sources affecting data quality should be identified and disclosed
to users.
- In addition, "objectivity" involves a focus on ensuring accurate,
reliable, and unbiased information. In a scientific or statistical
context, the original or supporting data shall be generated, and the
analytical results shall be developed, using sound statistical and
research method. If the results have been subject to formal, independent,
external peer review, the information can generally be considered of
acceptable objectivity.
In those situations involving influential scientific or statistical
information, the results must be capable of being substantially
reproduced, if the original or supporting data are independently analyzed
using the same models. Reproducibility does not mean that the original
or supporting data have to be capable of being replicated through new
experiments, samples or tests.
Making the data and models publicly available will assist in
determining whether analytical results are capable of being
substantially reproduced. However, these guidelines do not alter
the otherwise applicable standards and procedures for determining
when and how information is disclosed. Thus, the objectivity
standard does not override other compelling interests, such as
privacy, trade secret, and other confidentiality protections.
- "Integrity" refers to the security of information -- protection of
the information from unauthorized access or revision, to ensure that the
information is not compromised through corruption or falsification.
- "Information" means any communication or representation of
knowledge such as facts or data, in any medium or form, including textual,
numerical, graphic, cartographic, narrative, or audiovisual forms.
This definition includes information that an agency disseminates from a
web page, but does not include the provision of hyperlinks to information
that others disseminate. This definition does not include opinions,
where the agency's presentation makes it clear that what is being offered
is someone's opinion rather than fact or the agency's views.
- "Government information" means information created, collected,
processed, disseminated, or disposed of by or for the Federal
Government.
- "Information dissemination product" means any book, paper, map,
machine-readable material, audiovisual production, or other documentary
material, regardless of physical form or characteristic, an agency
disseminates to the public. This definition includes any electronic
document, CD-ROM, or web page.
- "Dissemination" means agency initiated or sponsored distribution
of information to the public (see 5 C.F.R. 1320.3(d) (definition of
"Conduct or Sponsor").Dissemination does not include distribution limited
to government employees or agency contractors or grantees; intra- or
inter-agency use or sharing of government information; and responses
to requests for agency records under the Freedom of Information Act,
the Privacy Act, the Federal Advisory Committee Act or other similar
law. This definition also does not include distribution limited to
correspondence with individuals or persons, press releases, archival
records, public filings, subpoenas or adjudicative processes.
- "Influential" when used in the phrase "influential scientific
or statistical information" means the agency expects that information
in the form of analytical results will likely have an important effect
on the development of domestic or international government or private
sector policies or will likely have important consequences for specific
technologies, substances, products or firms.
- "Capable of being substantially reproduced" means that independent
reanalysis of the original or supporting data using the same methods
would generate similar analytical results, subject to an acceptable
degree of imprecision.