ANAO Report No.28 (2012–13)
Chapter 3 The Australian Government Performance Measurement and Reporting
Framework – Pilot Project to Audit Key Performance Indicators
Introduction
3.1
The Federal Government’s Outcomes and Programs Framework, introduced in
2009–10, requires entities to identify and report against the programs that
contribute to government outcomes over the Budget and forward years. This
requires clearly specified outcomes, program objectives and appropriate Key Performance
Indicators (KPIs).[1]
Previous audit reports and JCPAA reviews
3.2
The topic of performance measurement and reporting has been the subject
of a range of Australian National Audit Office (ANAO) audits over a number of
years.[2] Most recently, an audit
of agency development and implementation of KPIs, released in September 2011, found
that:
… many entities continue to find it challenging to develop
and implement KPIs; in particular, effectiveness KPIs that provide quantitative
and measureable information, allowing for an informed and comprehensive
assessment and reporting of achievements against stated objectives.[3]
3.3
The audit recommended improvements to entity business planning processes
around program objectives and KPIs; assessments by entities of their current
use of costing information and the allocation of costs to programs; and for the
Department of Finance and Deregulation (Finance) to review the development and
implementation of effectiveness KPIs and to improve elements of its guidance to
other entities.[4]
3.4
A JCPAA review of the 2011 audit, tabled in May 2012, supported the
ANAO’s findings and recommended:
n that Finance include
at least one recognised KPI methodology in its guidance to other entities;
n that the methodology
used by entities in the preparation of KPIs be available for review and
potentially included in annual reports; and
n that Finance report
back to the Committee within six months on progress made on improving guidance
to agencies, and how the ANAO’s audit methodology was envisaged to fit within
and support the overall KPI framework and support ongoing policy enhancements.[5]
3.5
In its February 2013 response to the Committee’s recommendations,
Finance advised that it would ‘revise its policy and guidance materials for the
development, monitoring and reporting of program-level KPIs’. The response
indicated that the methodology for the construction of program-level KPIs would
be clearer in the revised guidance, which would incorporate a practical user
guide. Finance further indicated that it ‘would seek to brief the [JCPAA] on
this work after the 2013–14 Budget’.
3.6
The full text of the JCPAA’s recommendations and the responses from
Finance are included at Appendix C to this report.
The pilot project
3.7
The ANAO commenced a KPI audit pilot project in 2012–13 in the context
of new powers given to the Auditor-General in 2011 with amendments to the Auditor-General
Act 1997.
3.8
The amendments provided the Auditor-General with explicit authority to
undertake audits of entity KPIs and reporting against KPIs, and were consistent
with a JCPAA recommendation arising from its 2010 review of the Act.[6]
Specifically, the amendments to the Act enable the Auditor-General to ‘at any
time’ conduct an audit of:
n the appropriateness
of the performance indicators of a Commonwealth entity; and
n the reporting by an
entity against those indicators.[7]
Objective and scope
3.9
The ANAO’s pilot project was designed to:
… assess the status of the Australian Government performance
measurement and reporting framework as a basis for implementation of a future
program of audits of entities’ KPIs, and to develop a suitable audit
methodology.[8]
3.10
The objective of the pilot was to:
n build an
understanding of experiences from other jurisdictions currently performing
audits of KPIs as part of their financial statement audit processes, including
the development of an approach and methodology;
n initiate and maintain
ongoing discussions with Finance and the Department of Prime Minister and
Cabinet (PM&C) in regard to strengthening the administrative framework
relating to performance measurement; and
n develop and test an
audit methodology and criteria to address the practical challenges of auditing
the appropriateness of KPIs and the completeness and accuracy of reporting
against them.[9]
3.11
The implementation of the pilot included:
n assessing the
Australian Government performance measurement and reporting framework as a
basis for implementation of a future program of audits of entities’ KPIs;
n reviewing the
approaches taken by other relevant jurisdictions in the implementation of KPI
audit methodologies;
n working with the
responsible Australian Government central agencies; and
n testing a KPI audit
approach and methodology within three entities.[10]
3.12
Four entities participated collaboratively in the pilot project. Finance
contributed in view of its responsibility for administering the Outcomes and
Programs framework. The Australian Taxation Office, the Department of
Education, Employment and Workplace Relations, and the Department of Health and
Ageing, contributed as agencies with experience in applying the principles of
the Outcomes and Programs framework. One outcome and program from each of these
three entities was selected for assessment.[11]
3.13
The ANAO also worked with audit offices in other jurisdictions that have
work programs with a performance information focus, in particular the Office of
the Auditor-General for Western Australia and the Office of the Auditor-General
of New Zealand.[12]
Funding considerations
3.14
The ANAO’s report noted that the pilot project had been funded to date
from its existing resource base, and that ‘the future development and
implementation of a broader ANAO KPI audit work program will require the ANAO
to be appropriately resourced’.[13]
3.15
The ANAO was not successful in obtaining the budget supplementation it
had requested in order to continue its KPI activities in 2013–14, but was given
the opportunity to bring back the proposal for consideration in the 2014–15
Budget. Despite not receiving supplementation in 2013–14, the ANAO has informed
the Committee that it aims to continue work on developing a potential KPI audit
work program within its existing budget.
Findings and conclusions
3.16
The ANAO’s report concluded that ‘entities continue to experience
challenges in developing and implementing meaningful KPIs, and that the
administrative framework supporting the development and auditing of KPIs
remains problematic’.[14]
The current framework and supporting guidance
3.17
While not making any formal recommendations, the ANAO’s report made a
range of observations about the current performance framework and areas for potential
improvement. These included:
n The need a framework that better accounts for different
entity types:
The development of a framework that accommodates the
diversity of public administration, and provides entities with the ability to
report appropriate performance information regardless of role, is critical. …
it would be desirable for the framework to recognise that the primary function
of some entities is the delivery of services whereas other entities’
responsibilities include assessing the impact on the Government’s outcomes by
those deliverables.[15]
n The use of intermediate
’milestone’ objectives for longer term outcomes:
The Outcomes and Programs framework would benefit from
further consideration of intermediate objectives where an overall outcome can
only be achieved over the longer‐term.[16]
n The introduction of
‘efficiency’ performance indicators:
The focus of a more comprehensive model for performance
measurement and reporting in the Commonwealth would include consideration of
the development and implementation of ‘efficiency’ indicators to complement the
‘effectiveness’ indicator focus within the current model.[17]
3.18
The ANAO reported that Finance’s guidance to agencies in relation to the
development of KPIs had not been significantly updated since the introduction
of the Outcomes and Programs framework, and there was no single comprehensive
source of guidance and policy.[18] The ANAO also found the
current framework and guidance to be unsuitable as a basis for auditing:
It is also clear from the Pilot that the current framework
and accompanying guidance does not provide an effective framework against which
entities’ KPIs can be reliably evaluated through an assurance audit process, as
it does not specify clear standards or criteria that KPIs should satisfy. That
said, it does need to be recognised that the current framework was not designed
with this specific purpose in mind.[19]
Findings of the pilot audit
3.19
In conducting its pilot audit to assess the appropriateness of entity
KPIs and the completeness and accuracy of their reporting, the ANAO developed the
criteria shown in Table 3.1 and Table 3.2 below.
Table 3.1 ANAO criteria for the evaluation of the
appropriateness of KPIs
Criteria
|
Characteristics
|
Explanation
|
Individual Assessment
|
Relevant
|
Focused
|
The KPI should assist significantly in informing whether
the program objective is being achieved.
|
Understandable
|
The KPI should be stated in plain English and signal the
impacts of program activities to inform users.
|
Reliable
|
Measureable
|
The KPI should be capable of being measured to demonstrate
the performance of the program.
|
Free from bias
|
The KPI should allow for clear interpretation of results.
|
Overall Assessment
|
Complete
|
Balanced
|
The set of KPIs should provide an overall picture of the
impact of a program on the target group/s.
|
Collective
|
The set of KPIs should demonstrate the extent of achievement
against the program objective.
|
Table 3.2 ANAO criteria for the evaluation of the completeness
and accuracy of KPI reporting
Criteria
|
Explanation
|
Data Completeness and Accuracy
|
KPIs should be reported on the basis of data and
information that reflects accurately and completely all events that should
have been recorded.
|
Disclosures Completeness and Accuracy
|
All disclosures relating to KPIs that should have been
included in the annual report have been included (in accordance with
PM&C’s Annual Reporting Requirements), and all KPIs and information
relating to them in the annual reports is disclosed fairly and, where
applicable, at the appropriate amounts.
|
Source ANAO
Audit Report No.28 2012–13, pp.63– 64.
3.20
The ANAO report included the following findings based on its pilot audit
of a selection of KPIs from the three participating agencies:
n Five of the 31 KPIs
examined ‘clearly did not meet the Finance definition and were not assessed
further against the appropriateness criteria’. Those KPIs not meeting the
definition were either descriptions of activities or output indicators.[20]
n Only one KPI met all
of the characteristics outlined in the appropriateness criteria. Of the
remaining 25 KPIs assessed, 22 met at least one of the characteristics and
three partially met all but one.[21]
n In analysing the
entities’ processes for collating KPI data, areas for improvement included: the
use of manual data entry; reliance on unverified external data sources; a lack
of formally documented processes; limited quality assurance practices; and
infrequency of KPI data measurement.[22]
n The entities’ annual
reports generally met PM&C’s Annual Reporting Requirements, although one of
the entities did not identify whether its KPIs had been met and the other two
entities did not provide explanations where KPIs were reported as not met.[23]
3.21
The report indicated that the entities involved in the pilot had been ‘receptive
to the ANAO’s feedback and planned to revisit their current approach where
required’.[24]
Future reforms
3.22
The report’s final conclusion was that:
… it is time for greater attention, investment and resourcing
to be given to the quality and integrity of KPIs used by public sector entities
to inform decisions about the performance of government programs. This requires
a stronger and sustained focus by entities to enhance KPIs, and support
provided by Finance through improved guidance. Entity leadership will be
critical to success here.[25]
3.23
The report identified a key role for both the Government and the
Parliament to encourage improvement in this area:
Encouragement to achieving better performance measurement can
also be given by the Government and the Parliament through reviews, inquiries
and the questions asked about the changes being brought about by specific
programs having regard to the program’s objectives.[26]
3.24
The ANAO noted that the Commonwealth Financial Accountability Review
(CFAR) currently being undertaken by Finance would provide an opportunity ‘to
consider how to position the current performance measurement and reporting
framework to respond to contemporary issues in public administration’.[27]
3.25
Since the ANAO’s report was released, the Government introduced into
Parliament the first piece of legislation arising from CFAR. The Public
Governance, Performance and Accountability Bill 2013 (PGPA Bill) seeks to
replace the existing Financial Management and Accountability Act 1997 and
Commonwealth Authorities and Companies Act 1997 with a single Act to
govern the management of public resources and the performance of Commonwealth bodies.
The Bill would be a ‘fundamental part’ of broader reforms to be introduced
through CFAR.[28]
3.26
In relation to performance, the PGPA Bill aims to introduce a ‘framework
for measuring and assessing performance, including requiring effective
monitoring and evaluation’.[29] The Bill, if passed, would
embed performance monitoring and reporting requirements in legislation for the
first time. The Bill includes clauses that require entities to measure and
assess their performance in achieving their purposes, keep records of their
performance, and produce annual performance statements which may be examined by
the Auditor-General.[30] The Bill’s Explanatory
Memorandum states that the requirements for measuring performance would be
outlined in rules associated with the Bill that would focus on ‘… enhancing the
quality and integration of performance information required by government and
the Parliament to assess actual against planned results.’[31]
The Committee’s review
3.27
Representatives of the following organisations gave evidence at the
Committee’s public hearing on 19 June 2013:
n Australian National
Audit Office
n Department of Finance
and Deregulation.
3.28
The Committee’s evidence covered the following issues:
n The need for greater
focus on performance assessment
n A less homogenous framework
n Future directions for
reform.
The need for greater focus on performance assessment
3.29
The need for a sustained and greater level of focus on performance
monitoring, reporting and evaluation was a key message given to the Committee
by the Auditor-General and by representatives of Finance at the public hearing.
3.30
Calling for more attention to be given to KPIs, the Auditor‑General
said that there was a need to set a ‘much higher level of expectation’ around
agencies using KPIs to measure the effectiveness of their programs. This was a
message that would need to be put out ‘collectively’ by the ANAO, Finance and the
broader Government.[32]
3.31
The importance of government being able to assess the effectiveness of
their programs was concisely summarised for the Committee by the
Auditor-General:
At the end of the day, government does need to understand the
impact or the effectiveness of programs because that can help government take
decisions about the targeting of programs and whether they can be more
effectively targeted in order to allow resources to be allocated to other areas
if the lens can be tightened on some programs. So it is terribly important
information, but, at the moment, there is not enough emphasis given to it
within government, and we need to change that in some way.[33]
3.32
The Auditor-General stated his concern that, while agencies were ‘very
clear’ about the expected benefits of their programs in submissions to Cabinet,
when it came to measuring whether those objectives had been achieved ‘there is
a whole range of externalities that departments then mention as to reasons why
it is hard and why they cannot do it et cetera’.[34]
3.33
The Auditor‑General particularly emphasised that KPIs needed to be
part of the original design of a program, with expectations that they ‘will be
carried through and delivered on’.[35] He expressed optimism
that the Public Service was capable of developing more effective, outcomes-focused
KPIs, but that ‘we just need this particular issue to be given a higher
priority in program management than it has been to date’.[36]
This would have implications for the allocation of resources for government
programs:
Across the years, we have had different approaches to try to
make sure agencies are doing this work, but the most important thing is that
agencies, as part of their design and submissions to government, need to make
sure they are appropriately resourced to do the full program implementation,
which includes assessing the impact of programs.[37]
3.34
Finance agreed with the Auditor–General that the ‘capacity exists within
government’ to develop rigorous, outcome-focused KPIs, adding that it was ‘very
important to pay sustained attention over a period of time’.[38]
It suggested that a broader, evaluation-based approach might be needed, rather
than an approach that focused only on KPIs:
Ultimately, we have to keep focus on assessing performance
and achievement rather than focusing on the tools themselves. The tools are
just a means to the end. There really is nothing better than sustained
attention, both within the Public Service and from outside the Public Service
to the inside, to really drive this home and ensure that adequate effort is
paid in this particular area.[39]
3.35
Finance also cautioned that reform would require more than just changes
to the architecture of the framework. It argued that ‘consistent and concerted’
interest was needed if good quality information and time series of performance
data were to be achieved, and that this was what is needed to obtain a ‘solid
basis on which to assess how a program is really going’:
The system needs to value performance information. You can
change the architecture of the framework and you can put in place requirements
and so on, but, until there is a concerted and consistent interest from
government, parliament, the public and people who are responsible for
administering programs, collecting performance information, using it and making
it part of the public debate about the utility of public programs and so on, it
is going to be hard to get progress on this front … To be honest, the Public
Service has struggled on this front and I think the political system has
struggled on this front.[40]
A more flexible framework
3.36
As noted above, the ANAO report discussed a need for the performance
assessment framework to accommodate the diversity of public sector
organisations, recognising the wide variety of functions carried out across
different agencies.[41]
3.37
At the public hearing, the Committee asked Finance whether the performance
assessment framework was capable of measuring agency performance in activities that
went beyond the delivery of programs, such as the quality of the advice
provided to government.
3.38
Finance advised that ‘the intention is and always has been to cover the
totality of government activity, the bulk of which is programs’. It added that,
in addition to programs, other expectations of the Public Service—such as
stewardship and advice—‘need to be assessable or assessed in some kind of way’.[42]
Noting the diverse range of functions across the government, Finance described
the difficulties associated with having a single framework:
What we have been learning and what we have experienced is
that, if we take all of the different things the government does and all of the
different expectations that people have of government entities such as Finance
compared to, say, DHS, and put them all into the same conceptual framework or
the same bucket, we will probably miss something there.[43]
3.39
Expanding on this topic, Finance reiterated its view that it was
important to have ‘a range of tools at your disposal: not just KPIs’. It
identified evaluation and review activity as other important tools, noting that
the Treasury has recently undertaken an independent review of its forecasting
activities, which had been publicly released.[44]
3.40
Finance also drew the Committee’s attention to the recent development of
public service ‘capability reviews’, which apply a consistent framework to
evaluating whole-of-department strengths and weaknesses. It noted that
capability reviews, which were being conducted for every department and made
public after 12 months, had become ‘quite a valued and a valuable part of the
evaluative tool kit’, adding that:
They would have value as a benchmark or a reference point for
looking at what the capability of that organisation was at a point in time, but
more importantly the value would be enhanced if government was to come back in
a couple of years’ time and say, ‘Let’s redo this and have a look at what has
improved and what has not improved’.[45]
Future directions for reform
3.41
The Committee sought more information at the public hearing on how the
Public Governance, Performance and Accountability Bill 2013, if passed, would impact
the existing performance monitoring, reporting and evaluation framework.
3.42
Finance described the PGPA Bill as being ‘an important contribution’,
but ‘certainly not a silver bullet’. It noted that the Bill, by enshrining
requirements in legislation, would make performance monitoring and reporting an
obligation ‘for all who work within the public sector’. This would remove the
‘level of interest’ variable that had led to inconsistent efforts in the past:
One way you can think about this area is that for the last 20
or 30 years we have relied on best endeavours and the energy and interest that
individuals and organisations have had over that period. When the interest is
high, then we get progress. When the interest drops off, then the quality drops
off. We really need to try to break that cycle … [The PGPA Bill] is certainly
not a silver bullet, because it does not deal with the skills or the capability
or the systems, but it does put a minimum requirement, an obligation, in place
and people then have to do something. That is the real contribution that the
PGPA Bill seeks to make.[46]
3.43
Finance further explained that one of the ‘key underpinnings’ of the CFAR
process was to ‘focus more on performance’, and that the PGPA Bill was one way
to provide a ‘high-level emphasis’ on this. If passed, the Bill would also have
the effect of giving Finance’s work on improving requirements and skills a
‘kick along’, and would provide an opportunity for Finance to look at the work
the ANAO had undertaken to try and strengthen elements of the framework.[47]
3.44
Asked about how the JCPAA could best support Finance in its efforts, the
department indicated that ‘sustained attention’ was a fundamental issue:
It is a willingness to come back and look at terrain that you
might have traversed before and to ask: ‘What has changed there’—and perhaps
not just to do that in a context where it is prompted by another follow-up ANAO
report but prompted by the committee itself saying: ‘We raised some issues in
the past here and there around this. Let's go back and ask the people what they
are doing and what they have done’. I think sustained interest would be
particularly useful.[48]
3.45
Finance also referred to an undertaking by the Minister for Finance and
Deregulation to submit the rules developed under the PGPA Act (if passed) to
scrutiny by the JCPAA prior to their tabling.[49] Finance suggested that
engagement by the Committee on the rules for performance assessment and KPIs
would be ‘particularly valued’.[50] However, it noted that,
while improvements to the framework were important, attention would need to
shift to the ‘people who work within the frameworks’ in order to make ‘real,
genuine and sustained improvements’.[51]
3.46
In regard to its role in the framework, the ANAO advised that it was
working with Finance to ensure its KPI audit processes would align with any new
developments. However, it noted that ‘without visibility around the content of
the rules that will underpin the [PGPA] Bill, it is not clear how some
provisions of the Bill … align and interact with the Auditor-General Act
1997’.[52]
3.47
The ANAO informed the Committee that it would ‘continue to invest
resources in developing and refining the approach of the systematic audit of
the appropriateness of entities’ KPIs’ in 2013–14, but that after this
resources would ‘become an issue’.[53] The ANAO also foreshadowed
that it would be requesting ‘additional funds for 2014–15 and the forward
estimates for an ongoing program of auditing performance indicators’.[54]
Committee Comment
3.48
The Committee welcomes the ANAO’s report for its timely and constructive
analysis that will assist in the development of a more effective KPI framework,
supported by a program of ongoing KPI audits.
3.49
The ANAO and Finance have both expressed their desire for a stronger
focus on assessing performance in the public sector. The Committee welcomes
Finance’s commitment to improving the performance monitoring and assessment
framework, as was flagged in the department’s response to JCPAA Report 430. The
Committee encourages Finance to continue to work closely with the ANAO in its
development of a framework that better takes into account the diversity of
Commonwealth agencies and provides meaningful and reliable indications of
performance to the Government and the Parliament.
3.50
The Committee recognises that evaluating program and agency
effectiveness is about more than just KPIs, and that there is a role for other
mechanisms such as independent evaluations and capability reviews. However,
KPIs remain an essential tool for informing these broader evaluations, for
continuous reporting and for project management discipline.
3.51
The Committee also firmly agrees with Finance and the ANAO that it is
not just the framework that is important. There is a need for strong leadership
and sustained effort—both within the Government and in the Parliament,
including the JCPAA—to ‘raise the level of expectation’ and promote a culture
in the public service that values performance assessment. Indeed, high quality
performance monitoring, reporting and evaluation should be more than
aspirational: it should be demanded.
3.52
Towards this objective, the Committee supports the Auditor-General’s
call for KPIs and evaluation to be built into the design of programs from their
initial stages, and that appropriate funding is
allocated for this purpose. It is also critical that agencies work
together to ensure these activities actually take place—for which monitoring
and reporting will be essential.
3.53
The PGPA Bill, by elevating performance assessment requirements into
legislation, offers a positive step towards achieving cultural change. The
Bill, if passed, also provides an opportunity to reform the existing KPI and
broader performance framework, taking into account the findings and proposals
in the ANAO’s report.
3.54
To fulfil part of its responsibility to provide strong leadership and
sustained effort in this area, the Committee commits to ongoing engagement with
Finance on the prioritised improvement of the framework, irrespective of the
passage of the PGPA rules.
3.55
The Committee notes that the ANAO’s pilot project included the
examination of approaches being taken in New Zealand and Western Australia,
which both have existing frameworks for the audit of KPIs. The Committee
suggests that there would be value in Finance and the ANAO engaging with the
Australasian Council of Auditors-General (ACAG) during the redevelopment of the
Commonwealth’s performance assessment framework. For example, there could be
substantial benefits in terms of driving cultural change across governments and
services from any promulgation by ACAG of consolidated ‘best practice’ guidance
on KPI‑focused audits.
3.56
The Committee continues to support the adoption of ongoing audits of
agency KPIs, and notes that the relatively small investment of resources
required will be far outweighed by long term benefits. As was noted in the recent
JCPAA statement to the Parliament on the 2013–14 budget for the ANAO, the
Committee will closely monitor funding to the ANAO for its implementation of a
full KPI audit program.[55] The Committee’s view is that
additional funding should be provided for this important purpose in the 2014–15
Budget, contingent on the final outcome of the pilot, the PGPA Bill and other related
developments.
Recommendation 1 |
|
The Joint Committee of Public Accounts and Audit recommends
that the Department of Finance and Deregulation, in consultation with the Australian
National Audit Office, prioritise the review and update of the performance
measurement and reporting framework. A goal should be to have clear policy
and guidance in place for the 2014–15 financial year that can be used by
agencies to produce auditable Key Performance Indicators, irrespective of the
passage of the Public Governance, Performance and Accountability Bill 2013.
|
Recommendation 2 |
|
The Joint Committee of Public Accounts and Audit recommends
that:
n the
Government reinforce the requirements for agencies to incorporate specific
performance monitoring, reporting and evaluation activities into the design
and costing of their programs;
n agencies
be appropriately funded to carry out these activities; and
n monitoring
be used to provide assurance that these activities are implemented.
|
Rob Oakeshott MP
Chair
June 2013