We determined that FEMA established the Sandy Claims Review Process (SCRP) in response to negative publicity and pressure from Members of Congress following Hurricane Sandy. In doing so, FEMA did not rely upon certain legislatively mandated internal controls designed to ensure appropriate payments for flood victims. Additionally, during the formation and operation of the SCRP, FEMA failed to establish contractor expectations or provide consistent guidance and oversight related to Hurricane Sandy claims. These omissions resulted in policyholders receiving unsupported additional payments, excessive costs to operate the SCRP, and time delays processing the claims. We made seven recommendations to FEMA, which emphasize the importance of FEMA communicating clear guidance to adjusters, and identifying and implementing better methods to inform policyholders of flood coverage limitations. FEMA concurred with all seven of our recommendations and has already begun implementing corrective actions.
Report File
Date Issued
Submitting OIG
Department of Homeland Security OIG
Other Participating OIGs
Department of Homeland Security OIG
Agencies Reviewed/Investigated
Department of Homeland Security
Components
Federal Emergency Management Agency (FEMA)
Report Number
OIG-18-38
Report Description
Report Type
Disaster Recovery Report
Number of Recommendations
7