This is part of a continuing series of blog posts about the
CFATS Personnel Surety Program that was described in a 60-day information
collection request (ICR) notice in Friday’s Federal Register. This post will
look at the facility analysis used to calculate the regulatory burden caused by
this ICR. The earlier posts in the series are listed below.
This ICR notice provides a relatively detailed look at the
facilities that are included in the CFATS program; providing information that
has been difficult to obtain because of the Department’s security concerns.
Categorizing
Facilities
The Department has established four general descriptive
categories of high-risk chemical facilities based upon the types of DHS
chemicals of interest (COI) they have on site and the size of the facility.
Three of the categories describe facilities where the primary security concern
is based upon the possession of release hazard COI and the fourth describes
facilities where theft/diversion of COI is the major security challenge.
ISCD divides the release COI facilities, ‘loss of
containment’ is the term used in the notice, into three groups based upon the
size of the facility:
• Group A includes
open facilities with 100 or more employees;
• Group B includes
open facilities with 99 or fewer employee; and
• Group C facilities
are enclosed facilities.
Table
4 in the notice provides a breakdown of the number of facilities in each
category. I have provided a summary of that data in a slightly more readable
format below.
|
Tier 1
|
Tier 2
|
Tier 3
|
Tier 4
|
Total
|
Group A
|
4
|
8
|
22
|
72
|
106
|
Group B
|
6
|
16
|
33
|
190
|
245
|
Group C
|
10
|
15
|
66
|
13
|
104
|
T/D
|
93
|
400
|
935
|
1683
|
3111
|
Total
|
113
|
439
|
1056
|
1958
|
3566
|
Table 1: Number of Facilities
What is very interesting is that theft/diversion facilities
clearly predominate in every tier, with only a total of 455 facilities where a
catastrophic on-site chemical release is the primary security challenge. The
notice addresses points out that:
“In the original 2007 CFATS
Regulatory Assessment, conducted prior to implementation of the CFATS Program,
the Department assumed that 38 percent of all high-risk chemical facilities
would be regulated due to the risk that one or more chemicals could be subject
to theft or diversion for purposes of creating an explosion or producing an improvised
explosive device. However, the 2012 CFATS Personnel Surety Program Analysis
found that 87 percent of all currently regulated CFATS high-risk chemical
facilities are regulated due to the risk that a chemical could be subject to
theft or diversion for purposes of creating an explosion or producing an
improvised explosive device.”
Unfortunately, that description fails to take into account
that some of the COI where theft/diversion is the primary security hazard are
not used to make explosive devices, but rather chemical weapons. It probably
doesn’t affect any of the numbers, but it provides some misleading information.
Number of Employees
DHS makes an attempt to estimate the number of employees and
resident contractors working at these facilities. This initial estimate is
based upon 2007 CFATS program estimates plus some recommendations for changes
included in the comments from the earlier ICR submission. The table below
summarizes the data from Table 9 in the
notice which provides the estimate for the average number of full time
employees/contractors at a facility in the category, plus 20% for turnover (they
are using this number to estimate the number of people that will undergo a
personnel surety check).
|
Tier 1
|
Tier 2
|
Tier 3
|
Tier 4
|
Group A
|
3050
|
2176
|
3799
|
2207
|
Group B
|
50
|
49
|
68
|
200
|
Group C
|
201
|
418
|
409
|
265
|
T/D
|
46
|
46
|
46
|
46
|
Table 2: Update of 2007 CFATS personnel estimate
Looking at the numbers in the table above there seems to be
some obvious problems with the models used to come up with these estimates. The
variation in employee numbers from Tier to Tier within the same category is
hard to explain when there is no variation in the numbers for threat/diversion
facilities. With such a wide variance for data that is supposed to represent an
average suggests that the standard variation within the data set is quite
large. And, oh yes, the Group B definition was facilities with less than 99
employees; how did Tier 4 Group B get an average 200 employees and contractors?
One of the alternatives that ISCD mentions in the ICR notice
is using data submitted by the facilities in their Top Screen submission. Table
3 below is a summary of that data reported in Table 10 in the
notice. It includes the average Top Screen personnel numbers and an ACC
estimate of the number of visitors to facilities (not by Tier) that will be
given unescorted access requiring vetting.
|
Tier 1
|
Tier 2
|
Tier 3
|
Tier 4
|
ACC Visitors
|
Group A
|
719
|
267
|
713
|
884
|
1746
|
Group B
|
43
|
36
|
39
|
20
|
437
|
Group C
|
360
|
587
|
225
|
211
|
437
|
T/D
|
783
|
499
|
279
|
234
|
73
|
Table 3: CFATS Top Screen Personnel Data plus ACC visitor
estimates
Using the data from Table 3, and plant numbers from Table 1
ISCD estimates that they would have to process 1,806,966 personnel surety
screenings in the first year of the program and a three year average processing
of 864,678 per year if ISCD were going to require all four tiers to participate
in the personnel screening program. Since initially only Tier 1 and Tier 2
facilities will participate the numbers are reduced to 412,647 in the first
year and average 191,845 per year.
1 comment:
I wonder what's the relevance of these data. It is imperative to state the purpose for which these data are obtained to be able to properly evaluate results.
- RockyMountainLabs.com
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