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Three Tribes in New England and Their Health Programs Did Not Conduct Required Background Investigations on All Individuals in Contact With Indian Children

Issued on  | Posted on  | Report number: A-01-20-01504

Why OIG Did This Audit

Congress passed the Indian Child Protection and Family Violence Prevention Act (the Act), which established requirements for Federal Bureau of Investigation (FBI) fingerprint background investigations for individuals in contact with Indian children. In 2018, we completed health and safety audits of two Tribes and their health programs. We found that the two Tribes did not comply with Federal requirements to perform FBI fingerprint background investigations for employees in contact with Indian children. This placed the children served by these programs at an increased risk of harm. In this audit, we evaluate the background investigation process for individuals who had contact with Indian children through the health programs of the Houlton Band of Maliseet Indians, Passamaquoddy Tribe at Indian Township, and Narragansett Indian Tribe.

Our objective was to determine whether three Tribes in New England and their health programs complied with Federal and Tribal requirements for performing background investigations on individuals in contact with Indian children.

How OIG Did This Audit

We reviewed the background investigation process and documentation at three Tribal health programs for 65 employees, 12 contractors, and 1 volunteer in contact with Indian children for the period October 1, 2018, through December 31, 2019. In addition, we reviewed training and technical assistance provided by the Indian Health Service (IHS) to Tribes regarding background investigations.

What OIG Found

The 3 Tribes and their health programs did not comply with Federal and Tribal requirements for performing background investigations on 65 employees, 12 contractors, and 1 volunteer in contact with Indian children. Specifically, the three Tribes did not conduct FBI fingerprint background investigations and compare the results to the required character standards for individuals in contact with Indian children. IHS officials stated that they recalled providing background investigation training prior to 2015 but could not produce documentation to support their recollections. Despite the training that IHS officials informed us about, current Tribal officials said they were not aware of, or misinterpreted, their obligations under the Act. Because the three Tribes and their health programs did not always collect the necessary employment information and did not conduct the required criminal history investigations, they could not compare complete criminal history results to the minimum standards of character for individuals in contact with Indian children. As a result, Indian children faced an increased risk of harm.

What OIG Recommends and Auditee Comments

We recommend that the three Tribes: (1) perform background investigations, as required by the Act, on individuals who currently have contact with Indian children; and (2) develop and implement policies and procedures to ensure that each Tribe conducts required background investigations and assesses results to verify that applicants meet the required minimum character standards. We also recommend that IHS provide additional training and technical assistance to help Tribes comply with the background investigation and character assessment requirements of the Act.

In written comments on our draft report, two Tribes concurred with our findings and the third generally concurred with our findings. All three Tribes indicated that they had taken steps to implement or were in the process of implementing procedures to perform background investigations, as required by the Act, on individuals who are in contact with Indian children. In addition, IHS concurred with our recommendations and outlined the steps it would take to help Tribes comply with the requirements.

23-A-01-009.01 to IHS - Open Unimplemented
Update expected on 05/03/2023
We recommend that the Houlton Band of Maliseet Indians perform background investigations, as required by the Act, on individuals who currently have contact with Indian children and determine whether the individuals meet the required minimum character standards.

23-A-01-009.02 to IHS - Open Unimplemented
Update expected on 05/03/2023
We recommend that the Houlton Band of Maliseet Indians develop and implement policies and procedures that ensure the Tribe conducts FBI fingerprint background investigations using FBI-approved procedures for individuals in contact with Indian children, conducts inquiries to State and Tribal law enforcement agencies based on the 5 years of residency information on each application, and assesses criminal history results to verify that applicants meet the required minimum character standards.

23-A-01-009.03 to IHS - Open Unimplemented
Update expected on 05/03/2023
We recommend that the Houlton Band of Maliseet Indians request on employment applications information about each applicant's criminal history involving children, per the Tribe's policies and procedures related to the 1990 Crime Control Act.

23-A-01-009.04 to IHS - Open Unimplemented
Update expected on 05/03/2023
We recommend that the Passamaquoddy Tribe at Indian Township perform background investigations, as required by the Act, on individuals who currently have contact with Indian children and determine whether the individuals meet the required minimum character standards.

23-A-01-009.05 to IHS - Open Unimplemented
Update expected on 05/03/2023
We recommend that the Passamaquoddy Tribe at Indian Township develop and implement policies and procedures that ensure the Tribe requests information on each applicant's application about the prior 5 years of residency, conducts FBI fingerprint background investigations using FBI-approved procedures for individuals in contact with Indian children, conducts inquiries to State and Tribal law enforcement agencies based on the 5 years of residency information on each application, and assesses criminal history results to verify that applicants meet the required minimum character standards.

23-A-01-009.06 to IHS - Open Unimplemented
Update expected on 05/03/2023
We recommend that the Narragansett Indian Tribe perform background investigations, as required by the Act, on individuals who currently have contact with Indian children and determine whether the individuals meet the required minimum character standards.

23-A-01-009.07 to IHS - Open Unimplemented
Update expected on 05/03/2023
We recommend that the Narragansett Indian Tribe develop and implement policies and procedures that ensure the Tribe requests information on each applicant's application about the prior 5 years of residency, conducts FBI fingerprint background investigations using FBI-approved procedures for individuals in contact with Indian children, conducts inquiries to State and Tribal law enforcement agencies based on the 5 years of residency information on each application, and assesses criminal history results to verify that applicants meet the required minimum character standards.

23-A-01-009.08 to IHS - Open Unimplemented
Update expected on 09/13/2024
We recommend that the Indian Health Service continue to provide additional training and technical assistance, in collaboration with other organizations as needed, to ensure that Tribes understand and comply with the requirements to conduct background investigations and the character assessment requirements of the Act.

23-A-01-009.09 to IHS - Open Unimplemented
Update expected on 09/13/2024
We recommend that the Indian Health Service continue to take the actions described in the IHS Director's Letter to Tribal Leaders to identify best practices to protect the safety and security of Indian children and collect and share this information with all participants in the IHS health system.

View in Recommendation Tracker