The City of New York Office of the Comptroller

Bureau of Management Audit

Audit Report on the Shelter Conditions and Adoption Efforts of the Center for Animal Care and Control

ME01-109A

June 6, 2002

 

download the entire audit as a pdf file (Size: 1425KB)

 

EXECUTIVE SUMMARY

 

Background

 

The Center for Animal Care and Control (CACC) is a not-for-profit corporation that was formed for the purpose

of providing animal care and control services in the City of New York. CACC's contract with the New York City

Department of Health (DOH) took effect on January 1, 1995, when it followed the ASPCA as New York City's

provider of animal care and control services.

 

CACC's contract with DOH requires that it "provide animal seizure, shelter and care services . . . and related

services." In order to provide these services, CACC is to maintain an emergency telephone number for

receiving complaints regarding animals, in response to which CACC is to seize "unlicensed or unleashed

dogs, cats whose owners are not identified, vicious and dangerous animals, animals that have bitten, rabid or

suspected rabid animals, prohibited, exotic or wild animals, and venomous reptiles and bats." CACC is also

required to accept "animals which are lost, stray, homeless, unwanted or abandoned with professional

caretakers," and to maintain a process by which all licensed dogs and owner-identified cats seized "may be

expeditiously claimed and returned to their owners." CACC's contract further specifies that it "shall operate

animal shelter facilities in the boroughs of Manhattan, Brooklyn, and Staten Island . . . open to the public on a 7

day a week, 24 hours a day schedule, every day of the year excluding major holidays." The "care of animals at

the shelters shall include feeding, boarding (including bedding and cleaning of cages), watering, exercising,

and provision for immediate first aid as required, including but not limited to isolation of sick animals as

necessary." CACC is to "operate and maintain animal receiving facilities . . . in the boroughs of the Bronx and

Queens." CACC "shall provide adoption services at the shelters and receiving facilities and shall promote

adoption as a means of placing animals." In addition, "for all adopted dogs and cats [CACC] shall provide, or

cause to be provided, spay/neuter services and administer rabies immunizations pursuant to the New York

City Health Code." The contract also requires that CACC "enlist the aid of volunteers and . . . conduct education

and community outreach concerning animal control and public health issues related thereto."

 

CACC's mission statement is quoted on its website and in its Report 1998 & 1999 as follows:

 

"The Center for Animal Care and Control, Inc. is dedicated to providing humane care for all New

York City animals in need, while protecting the public health and safety of New Yorkers. CACC

will give the most humane care possible to the hundreds of animals that are brought to our

shelters each day. The CACC works together with the citizens of New York City, including area

shelters and humane organizations, to reduce the number of homeless animals through

increased adoption, spay/neuter programs, animal rescue services and by heightening

awareness about the responsibility of having an animal companion."

 

In addition, according to the description of its mission in its staff manual,

 

"The CACC has numerous programs and provides numerous services. These include but are

not limited to sheltering animals; picking up animals that are at-large, sick, or dangerous;

returning lost animals to their owners whenever possible; providing for the adoption of

homeless animals to responsible persons; and, when necessary, providing a humane and

painless death."

 

CACC provides these services to the approximately 60,000 animals that come into its shelter system each

year at five facilities-three full-service shelters in Manhattan, Brooklyn, and Staten Island, and two small

receiving centers in Queens and the Bronx. The vast majority of the animals that come into CACC's shelters

are cats and dogs. The Manhattan shelter can house approximately 500 cats and dogs; the Brooklyn shelter,

approximately 400; the Staten Island shelter, 150-200; and the Queens and Bronx receiving centers, 19 and

50, respectively.

 

CACC also has a Field Operations Division, which responds to calls from the public and government

agencies, using a fleet of 15 rescue vans to pick up stray or homeless animals, animals that threaten public

safety, and sick, injured or dangerous wildlife.

 

According to CACC's Monthly Animal Activity Reports, during calendar year 2000 a total of 60,877 animals

came into its shelters-55,376 cats and dogs, and 5,501 other animals. Of these 60,877 animals, 14,270

were adopted, 677 were returned to their owners, and 41,203 were euthanized.

 

During calendar year 2000, CACC had a total budget from DOH of approximately $8.3 million. In addition to its

five animal facilities, CACC has an administrative office in downtown Manhattan. During calendar year 2000,

CACC employed approximately 170 people in its shelter, administrative, and executive functions.

 

Objectives

 

The objective of this audit was to evaluate the following two aspects of CACC's services:

 

the conditions under which animals are sheltered in CACC's facilities; and

the level and success of CACC's efforts to promote the adoption of animals from its shelters.

 

These two aspects of CACC's services are addressed in both CACC's contract and its mission statement.

Specifically, CACC's contract with DOH states that CACC "shall meet all its obligations under [the contract] in a

humane manner . . ." and that CACC "shall provide adoption services at the shelters and receiving facilities

and shall promote adoption as a means of placing animals." CACC's mission statement states that CACC "is

dedicated to providing humane care for all New York City animals in need . . . [and] the most humane care

possible to the hundreds of animals that are brought to our shelters each day" and "works . . . to reduce the

number of homeless animals through increased adoption, spay/neuter programs, animal rescue services

and by heightening awareness."

 

Other areas of CACC's services that were not covered by this audit are described in the body of this report

(page 4).

 

Scope and Methodology

 

The scope of this audit was CACC's shelter conditions and adoption efforts between January 1, 1999, and

June 30, 2001.

 

To obtain an overview of CACC's structure, services, operations, policies, and procedures, we interviewed all

members of CACC's executive and managerial staff, and two members of CACC's board of directors. We

reviewed CACC's written policies and procedures, the Monthly Animal Activity Reports that CACC is required to

submit to DOH, CACC's staff manual, CACC's 2000 Certified Public Accountant (CPA) report, and minutes for

meetings of CACC's board of directors from January 1999 through June 2001. We also attended three board

of directors' meetings. During the course of the audit, we reviewed CACC's personnel, disciplinary, financial,

and marketing files, as well as data in the CACC shelter management computer system, known as

"Chameleon."

 

To determine whether CACC is sheltering animals under humane conditions in compliance with its contract,

we visited CACC's five facilities a total of 15 times between February and April 2001.

 

To evaluate the success of CACC's adoption efforts, we analyzed the data in the CACC Monthly Animal Activity

Reports submitted to DOH for January 1999 through June 2001. To assess the level of CACC's efforts to

promote adoption as a means for placing animals, we interviewed executive and managerial staff regarding

adoption programs and marketing efforts, reviewed CACC's files on special events, off-site adoptions and

advertising, and reviewed the CACC website.

 

To evaluate CACC's use of volunteers to help improve shelter conditions and increase animal adoptions, we

interviewed executive and managerial staff and reviewed CACC's files on volunteer activities.

 

To determine how CACC's shelter operations, adoption efforts, reliance upon volunteers, and fundraising

compare to those of other shelters across the country, we conducted a telephone survey of 13 municipal

animal care and control centers in other major cities throughout the country. We also gathered information on

several New York City area shelters to determine how CACC compares to them in terms of staffing levels,

adoption efforts, reliance upon volunteers, and fundraising.

 

To determine the general public's level of awareness of CACC and its services, we conducted a telephone

survey of New York City residents.

 

To determine the level of user satisfaction with CACC's adoption and shelter services, we conducted

telephone surveys of CACC customers and rescue groups.

 

Since we were prevented from speaking to current shelter staff without a supervisor being present (See "Audit

Limitations"), we interviewed former CACC employees in order to obtain information on CACC's actual

practices.

 

To determine the merit of allegations of animal mistreatment at CACC made by former employees and

rescuers, we attempted to review the personnel files maintained at CACC's administrative office, and the

disciplinary action notices, notes-to-file, and managers' logbooks kept at each of the three full-service

shelters.

 

To determine whether DOH's funding level and CACC's budget were sufficient to allow CACC to properly care

for and effectively promote the adoption of the animals in its shelters, we compared DOH's funding level of

CACC and the CACC calendar year 2000 budget to the standards of the Humane Society of the United States.

 

This audit was conducted in accordance with Generally Accepted Government Auditing Standards (GAGAS),

and included tests of the records and other auditing procedures considered necessary. This audit was

performed in accordance with the City Comptroller's audit responsibilities as set forth in Chapter 5, § 93, of the

New York City Charter.

 

Audit Limitations

 

Throughout the audit, CACC imposed obstacles that prevented us from conducting audit tests as we deemed

necessary. CACC prevented us from obtaining a complete and accurate view of its operations and from

obtaining all of the information necessary to develop a full set of constructive recommendations to help

improve its operations.

 

The limitations imposed by CACC included its refusal to allow us to interview staff members without a

supervisor being present, its refusal to allow us access to certain documents, and its delays in the production

of some other records. In addition, it was very difficult to arrange a meeting with the board of directors, and only

two members of the board eventually met with us. The audit limitations necessitate certain qualifications to our

findings, described below.

 

Since we were unable to independently interview any employees, such as kennel attendants, veterinarians,

veterinary technicians, and adoption counselors, who would have been able to give us direct, first-person

observations of CACC's actual daily operations, we could not obtain a full account of management problems,

inaccuracies in the organization's records, or possible misstatements of the organization's policies and

practices.

 

Because CACC denied us access to certain records that may have contained adverse information regarding

the conditions at CACC shelters and the treatment of the animals kept there, and delayed our access to other

records (providing the opportunity for the removal or alteration of records), our record review may not have

uncovered the full extent of the problems of animal abuse and neglect, accidental euthanasia, and poor

veterinary care described in this report.

 

In addition, since we could not interview all of the board members-who are ultimately responsible for

overseeing CACC's operations-we may have missed the opportunity to gain insight into the reasons for

some of the problems CACC is facing.

 

Results In Brief

 

CACC does not provide humane conditions for all of the animals in its shelters and has not made aggressive

efforts to increase adoptions of homeless animals. This report describes our findings in three main sections.

 

The first section, "Animals Are Not Always Sheltered under Humane Conditions," discusses the inadequacies

discovered during our visits to the shelters, including that dogs are rarely, if ever, exercised, animals were not

provided constant access to water, contagious animals were sometimes kept in the same wards as

non-contagious animals, and at the two larger shelters, animals' cages were not consistently spot-cleaned;

evidence that animals in CACC shelters are sometimes subjected to abuse and neglect; the fact that some

animals have been accidentally euthanized; and evidence of poor veterinary care in CACC shelters.

 

The second section, "CACC Has Not Made Aggressive Efforts to Increase Adoptions," presents recent CACC

adoption statistics and discusses some of the likely reasons that adoption levels are low and have not

improved over the last three years. These reasons include: limited public awareness of CACC and its

adoption services and a lack of aggressive efforts by CACC to improve public awareness; inadequate use of

off-site adoptions; inadequate efforts to ensure that the adoption process is encouraging to all potential

adopters; CACC's discouragement of some rescue groups that take animals from its shelters; the apparent

inappropriate limitation of the pool of animals available for adoption; and a lack of adoption services at

CACC's Queens and Bronx facilities.

 

The third section of the report, "Possible Causes of CACC's Shortcomings," discusses the fact that CACC

compounds the problem of under-funding by failing to aggressively raise funds on its own and by failing to

take sufficient advantage of volunteers. It also discusses a problem evidenced by CACC leadership apparently

interpreting the organization's mission more narrowly than it was originally conceptualized and failing to

aggressively pursue some of the goals outlined in its mission statement, such as, "providing humane care for

all New York City animals in need" and "reducing the number of homeless animals through increased

adoption."

 

Lastly, under "Other Issues," we discuss the facts that: CACC's board violated its bylaws by meeting and

voting on certain items without the required quorom present; CACC's board appears to have violated the letter

and spirit of the Open Meetings Law by speaking at almost a whisper and thereby preventing attendees from

hearing their discussions; and CACC's contract with DOH does not include specific and measurable

performance requirements or standards.

 

Many of the findings in this report are supported by the results of our surveys of individuals acquainted with

CACC's operations (former employees, customers, and individuals from rescue groups who work with CACC)

in addition to our document reviews, observations, and interviews with CACC management. In total, six of eight

former employees, 36 of 59 rescuers, and 14 of 33 customers we surveyed criticized aspects of CACC's

operations and management. Their allegations and the results of our testing painted a similar picture-that of

a shelter system in which: inadequate resources and staffing levels prevent the provision of some of the basic

necessities for humane animal care; the frustrations of over-worked or unqualified employees are sometimes

taken out on the animals; opportunities to help animals and increase adoptions are squandered; and,

perhaps most notably, the status quo is perpetuated by a management that is not truly committed to all

aspects of the organization's contract and mission, namely, to provide high quality, humane, animal care and

place as many animals as possible in adoptive homes.

 

Notes Regarding Exit Conference

 

An exit conference with DOH and CACC officials was held on March 4, 2002. Three issues raised during this

meeting should be mentioned here.

 

First, DOH noted an inconsistency between our finding that animals in CACC's care are not always sheltered

under humane conditions, and the results of its own inspections of CACC facilities. To illustrate this point,

DOH provided us with reports of 531 inspections of CACC facilities that were conducted by DOH veterinarians

and public health sanitarians between January 1, 1999 and June 30, 2001. As DOH stated, those inspection

reports did not reveal any cases of poor veterinary care or inhumane treatment. However, we do not believe

that this is necessarily inconsistent with the findings in our report, because DOH veterinarians and public

health sanitarians evaluate conditions in the shelters and the quality of care differently than we did. During

their inspections, DOH veterinarians and health sanitarians look at 13 different areas, including floors,

washrooms, wards, and infirmaries (many of which were not covered by our audit.) However, just as we did

not cover in our audit all the areas that they cover in their inspections, they do not evaluate all of the conditions

that we did (for example, how many animals had access to water at the time of the inspection). In addition,

their inspections evaluate conditions more generally than we did, resulting in "yes" or "no" answers for

conditions such as, "cages washable and clean," and "separate, adequate, clean area provided for sick

animals"; in contrast, we counted the number of cages that were soiled, and the number of wards in which

healthy and contagious animals were housed together. Lastly, DOH inspections cover a specific point in time,

and therefore could not have identified the instances of poor veterinary care, accidental euthanasia, and abuse

and neglect that we uncovered through our review of CACC's records and our surveys of past employees,

rescuers and customers. Thus, while DOH's inspection reports show that DOH has monitored CACC facilities

through frequent on-site inspections, they are not comparable to the type of review that we conducted and

therefore neither contradict nor are inconsistent with the findings in this report. (In response to this audit, DOH

officials used the above-mentioned inspection reports to formally disagree with our finding regarding

inhumane conditions. We therefore conducted a more thorough analysis of DOH's inspection process and

reports, and the results of that analysis, which concluded that the process and reports are flawed, are

described starting on page ES-11 of this report).

 

The other two issues worth discussing were raised by CACC. First, CACC's executive director repeated a prior

claim that the mission statement quoted in this report is not CACC's mission statement. In response, we

pointed out that we quoted CACC's mission statement exactly as it appears on the organization's website and

in its Report 1998 & 1999. Therefore, the mission statement as cited in this report was quoted directly from

CACC's own description of its mission statement. Shortly after the exit conference, CACC's mission statement

was removed from its website.

 

Second, CACC's executive director claimed that CACC cannot use volunteers more than it does because of

prohibitions imposed by the employees' union. She stated that she would provide us with correspondence

between CACC and the union documenting this fact, as well as with a copy of the union contract. The

correspondence she described was never provided, and after reviewing the union contract, our attorneys

concluded that the contract is very clear regarding this issue and directly contradicts the executive director's

claim that CACC is limited in its use of volunteers. Specifically, the contract gives CACC the unlimited right to

utilize volunteers as it sees fit, as long as the use of volunteers does not cause the layoff of any regular

employee or prevent the replacement of a regular employee who leaves or is terminated.

 

Recommendations

 

The audit resulted in 41 recommendations, the most significant of which are summarized below.

 

While additional funding will most likely be impossible to obtain in the near future, given New York

City's financial situation after the September 11th attack on the World Trade Center, we recommend

that, if it ever becomes possible, DOH consider amending CACC's contract to fund the hiring of

additional kennel attendants and veterinary staff.

 

CACC should take the following steps, and/or DOH should monitor CACC to ensure that these steps are

taken:

 

Ensure that: dogs are walked; all animals have constant access to water; animals' cages are kept

clean; animals are put only into dry cages; and cats, dogs, contagious, and nursing animals are kept in

separate areas.

Investigate the possibility of obtaining additional interns through area colleges to supplement staff in

providing animal care.

Immediately terminate any employee who physically abuses any animal.

Provide more supervision of CACC employees, particularly the kennel attendants, who are directly

responsible for the care of the animals.

Provide additional training on and increase supervision of the euthanasia process to ensure that all

control procedures are followed.

Quickly terminate any veterinary staff members who are found to be unqualified or who consistently

provide poor care.

Evaluate the performance of all veterinary technicians and determine whether there is an advantage to

employing licensed technicians. If there seems to be an advantage, CACC should consider hiring only

licensed veterinary technicians in the future.

Implement a process to monitor and evaluate the performance of contracted veterinary clinics.

Ensure that the photographs posted by CACC on Petfinder are clear and attractive.

Increase CACC's outreach, public education, and advertising efforts. CACC should speak to other

shelters to obtain ideas, and pursue relationships with local media outlets and enter into partnerships

with private companies willing to sponsor special events or advertising campaigns.

Increase CACC's participation in adoption events and expand its off-site adoption program.

Develop a formal customer service quality assurance program as required by the contract with DOH.

Work more cooperatively with rescue groups interested in helping CACC place animals. CACC should

ensure that all employees understand the importance of maintaining good working relationships with

these groups, that they treat rescuers professionally and courteously, and that they return calls from

rescuers in a timely fashion.

Make the PET application process less cumbersome and less paper intensive, and inform rescue

groups by letter that: CACC is implementing the PET program incrementally; it plans to eventually

provide PET applications to all rescue groups; and it will not stop working with those rescue groups

that have not yet received PET applications.

Ensure that all animals initially given a "4" status are re-evaluated for temperament.

Cease the practice of limiting the adoption of older animals.

Use its Bronx and Queens receiving centers to show adoptable animals until the opening of the

planned full-service shelters in the Bronx and Queens.

Plan and implement additional fundraising efforts. CACC should contact other non-profit animal

shelters to obtain ideas regarding effective fundraising methods.

Aggressively increase its number of volunteers through a stronger recruitment effort aimed at

individuals interested in the care of animals. CACC should consider enlisting the aid of rescue groups

and other area animal welfare organizations in recruiting volunteers.

Expand duties available to volunteers to include more direct animal care, such as dog walking, cage

cleaning, and cat grooming.

 

We also recommend that:

 

CACC's board of directors and executive management convene to discuss the organization's mission,

to determine whether the current mission statement accurately reflects CACC's purposes, and to

reconcile its organizational and management philosophy with its contract and stated mission. If the

board and executive management determine that the current mission statement is accurate, then they

must develop a plan for the organization to change direction and bring its operations in line with the

pursuit of all of the goals in its mission statement. If the board and management decide that they are

not interested in pursuing all of the goals in CACC's mission statement, they should change the

mission statement accordingly, and negotiate any necessary amendments to CACC's contract with

DOH.

CACC's board of directors should comply with the Open Meetings Law and ensure that all board

members, officers, and invited speakers speak audibly so that members of the public who attend the

board meetings may hear what is said.

DOH should amend CACC's contract to include specific and measurable performance requirements

and/or standards for all appropriate service-related areas.

 

Agency Response

 

The matters covered in this report were discussed with officials from CACC and DOH during and at the

conclusion of this audit. A preliminary draft report was sent to DOH officials on December 31, 2001, and a

revised pre-draft was distributed and discussed at an exit conference held on March 4, 2002. On April 19,

2002, we submitted a draft report to DOH with a request for comments. We received a written response from

DOH on May 6, 2002.

 

In its response, DOH stated that it "disagrees with the report's main findings: that animals are not sheltered

under humane conditions and often receive poor veterinary care." However, DOH agreed with our

adoption-related findings stating, "CACC has not been as successful as hoped in the area of increasing

adoptions." DOH also agreed with our other findings, stating that its own on-site monitoring, which was

expanded in July 2001, "to include a comprehensive review of all contractual requirements . . . has found

deficiencies in CACC's . . . customer service, volunteer program and education and outreach efforts." DOH

also committed itself to increasing its site visits to four times a year, effective July 2002. DOH's response is

discussed in detail in the body of this report and is included in its entirety as an Addendum to this report.

 

DOH also appended a 28-page response from CACC to its own response. In its lengthy response, CACC took

strong exception to nearly every aspect of the audit's methodology and conclusions. Specifically, CACC

alleged that:

 

"Many of the conclusions reached in this audit are not credible, as evidenced by: the

antagonistic tone throughout the audit; the use of words and phrases of an inflammatory nature;

the failure to use experts in areas requiring specialized knowledge; the slanting of the data

presented; the inadequacy of the sample taken; the failure to make explicit the significant

differences between CACC and the organizations with which it is compared in the audit; the

failure to credit CACC's significant accomplishments; and the use of anecdotal information

from unnamed sources holding clear potential for bias against CACC."

 

Moreover, CACC alleged that there was "political influence in the audit process," claiming that the audit was

"motivated by the political interest of [former Comptroller Alan Hevesi]." CACC further alleged that "the audit

was conducted during the Mayoral campaign in which Alan Hevesi was a candidate who supported the special

interest group's call for the abolition of CACC." CACC's executive director also stated, "CACC is surprised . . .

that Comptroller William Thompson could be so ill served by his staff both in reporting and the issuance of this

audit; one that was clearly motivated by the political interests of his predecessor."

 

In addition, CACC claimed that the audit was not conducted in accordance with GAGAS. Specifically, CACC

alleged that:

 

"The auditors established their own criteria for evaluating the performance of CACC ignoring

technical standards for care . . . [The Comptroller's Office] assigned auditors with no known

skills or knowledge in the areas of humane animal care, veterinary medicine or labor law . . .

samples were neither random or statistically significant . . . the subject audit is neither objective

nor balanced . . . [auditors] failed to provide a reasonable perspective for the findings they

recorded as they have repeatedly failed to provide the proper context for the frequency of

occurrences . . . four different scopes suggest that the auditors knowingly ignored the

Governmental Auditing Standards relating to audit planning and that CACC was not afforded

proper due process."

 

Obviously, there is a stark contrast between the audit's findings and CACC's response, and in order to present

and discuss fully CACC's position on the matters presented in this audit, a separate section has been added

at the end of this report entitled "Discussion of CACC's Response." The Comptroller's Office, after carefully

reviewing CACC's response, has concluded that CACC's arguments are invalid, that they are based upon

distortions and misrepresentations, and that the audit's findings should not be changed. The full text of

CACC's response is included along with DOH's, as an Addendum to this report. The "Discussion of CACC's

Response" begins on page 73.

 

As stated earlier, DOH disagreed with the audit's "main findings: that animals are not sheltered under

humane conditions and often receive poor veterinary care." In support of that position, DOH argued:

 

"These findings are contrary to observations by DOH Veterinarians and Sanitarians. DOH has

been closely monitoring the operations of CACC, the contractor that provides services to the City

under contract, since its inception, January 1, 1995. From that date through April 2002, DOH has

closely monitored CACC's contract performance and conducted over 1,200 inspections of

CACC facilities. During these inspections, DOH did not observe evidence of inhumane

treatment or substandard veterinary care cited in your audit. Although the audit notes on pages

ES7 and ES8 that differences in review methodologies may have yielded different results, the

training and experience of the DOH staff who conducted these inspections provide us with a

high degree of assurance that the animals in CACC's charge are appropriately cared for. While

DOH did not see evidence of such deficiencies, the Department is nonetheless concerned by

the audit's findings.

 

"During the audit period from January 1, 1999 through June 30, 2001, DOH conducted over 531

inspections of CACC facilities. Copies of these inspection reports were provided to the

Comptroller's Office at the March 4, 2002 meeting. . . . These inspections included frequent

unannounced visits that investigated the physical plant, ward conditions, humane treatment,

rabies observation of biting animals, compliance with applicable laws and regulations, record

keeping and other activities that affect shelter operations. During site visits, DOH Veterinarians

inspected all caged animals and reviewed medical records.

 

"Based on the observations by DOH Veterinarians and Sanitarians during these inspections,

we disagree with the findings of poor veterinary care and inhumane treatment reported in the

audit. Specifically, DOH did not observe any cases of poor veterinary care, contagious animals

being caged in general wards with healthy animals or inhumane treatment during 531

inspections conducted by DOH Veterinarians and other staff during the audit period. The

auditors may have drawn other conclusions about the handling of contagious animals based

on a misunderstanding of how cage cards are used by CACC. In addition, we also monitor

animal bite cases and found no instances where these animals were accidentally euthanized."

 

The intent of this audit was to review CACC's compliance with its contract's requirements, not DOH's

monitoring of CACC. That is why only a cursory review was made of the 531 inspection reports that DOH

provided, and why that review concluded (as stated in the "Notes to Exit Conference" section of this report) that

there was no apparent inconsistency between DOH's inspection results and ours, mostly because of

apparent differences in the inspection methodology. However, in its response, DOH uses those reports as the

foundation for its disagreement with our findings regarding inhumane conditions, and we therefore conducted

a more thorough analysis of those DOH reports in order to evaluate the validity of DOH's argument. The

results of our analysis lead us to conclude that if those inspection reports are truly reflective of DOH's

monitoring of CACC, then DOH's monitoring process has significant weaknesses, as discussed further

below.

 

No Criteria For Inspection Ratings: When DOH officials first argued at the audit exit conference that its

own inspection reports showed a different picture of shelter conditions than ours, we asked them what

criteria their staff use when they conduct inspections and enter "yes" or "no" ratings on the inspection

sheets. DOH officials could not provide any specifics on what would lead their staff to answer "yes" or

"no" to each of the questions on the inspection reports, and stated that they do not have written criteria

or standards for use by the DOH Veterinarians and Sanitarians when they perform such inspections. It

is therefore clear that the DOH inspection reports are subjective in nature and may not be a reliable

source to illustrate shelter conditions. (See Appendix III for a sample inspection report.)

 

Inspection Reports Indicate Near Perfect Performance: Each of the 531 inspection sheets that DOH

gave us contains 13 rating categories (e.g., "Floors," "Washrooms," "Wards," and "Infirmary") and those

categories include a total of 37 "yes/no" questions (e.g., "Cages washable and clean" in the "Wards"

category), for a total of 19,647 questions on the 531 reports. Of those 19,647 total questions, 18,216

had an accompanying "yes/no" entry (some were left blank), and of those 18,216 with an entry, 17,855,

i.e., 98 percent, were answered "yes," indicating a near perfect performance.

 

Of even greater interest were the answers to the seven questions in the "Wards" category and

the two questions in the "Operations" category, questions that are most similar to the areas

tested by the auditors. These questions included: "Cages not overcrowded"; "Cages washable

and clean"; "Cages intact"; "Animals in appropriate cages"; "Clean, appropriately filled cat litter

pans provided"; "Temperature appropriate"; "Ventilation adequate"; "Veterinary protocols

adhered to"; "Food protocols adhered to." Of the 3,717 questions in the "Wards" category, 3,536

had an accompanying "yes/no" entry, and of those 3,536 with an entry, 3,528, i.e., 99.8 percent,

were answered "yes," indicating a close-to-perfect rating. Equally astonishing is that 100

percent of the 907 questions with entries in the "Operations" category were all answered with a

"yes", indicating a perfect rating.

 

What makes such inspection report results even more dubious, however, is the context in which

they were derived. On the one hand, the audit determined that CACC's performance was

deficient in many areas, and DOH agreed, stating that "DOH monitoring has found deficiencies

in CACC's adoption process, customer service, volunteer program and education and outreach

efforts." On the other hand, DOH argues that such an organization, that is widely known to be

under-funded and under-staffed, that does poorly in terms of recruiting volunteers, that needs to

improve customer relations and fund raising, and whose adoption efforts need improvement,

otherwise performs perfectly in terms of treating animals humanely and providing appropriate

veterinary care. We are not convinced.

 

Other Obvious Flaws in the Inspection Reports: When reviewing the 531 reports provided by DOH, we

noted that 932 of the 19,647 questions were not answered at all and were left blank: specifically, in the

"Wards" category, 181 questions were not answered, and in the "Operations" category, 121 questions

were not answered. This indicates that these areas were not evaluated during the inspections. In

addition, the DOH inspector did not sign 39 of the 531 inspection reports, and the reviewer did not sign

31 of the 531 inspection reports.

 

Likely Advance Announcements of Inspections: One of the most disturbing outcomes of our review of

DOH's inspection reports, and one that casts even more doubt upon their validity, is the fact that some

of the former CACC employees we were able to contact during this review stated that they knew of the

DOH inspections ahead of time and took special steps to prepare for them.

 

We were able to contact four of the former employees we identified through CACC personnel

files (these people stopped working for CACC between December 2000 and June 2001) and

five of the former employees who either contacted us or whom we contacted as part of the

background research for this audit, to ask them whether they knew of inspections in advance.

Three of these nine former employees stated that they knew when inspections were soon to

occur. One stated: "When we were expecting inspectors, we stepped it up a little-did a little

more than normal in terms of cleaning up the kennels, washing down the halls, disinfecting,

etc. . . . The manager would make it aware to me that inspectors were coming. I would have to

inform all kennel staff, and there were times when I would ask additional staff to stay on or

come in." He went on to state: "There were also surprise inspections, which we were notified

about on the morning of. With these we had to run around to do everything, make calls to get

additional people in, do everything in a hurry."

 

The second person stated that, in addition to the fact that the shelter staff knew of and prepared

for inspections ahead of time, once the inspector arrived, "He would go to the manager's office

first for an hour or so, and the foreman would go around to make sure that everything was

ready."

 

The third person recalled a few inspections that the shelter staff knew about beforehand. She

stated that the staff were instructed to "pull it together," and that on the day of the inspection,

management scheduled more people to be at work to take care of the kennel areas.

 

In summary, we believe that the evidence of animal mistreatment that we found during the course of this audit

supports our conclusion that inhumane conditions existed, in circumstances we describe, at CACC's shelters.

We do not believe that the evidence that DOH provided to refute our findings is credible. This audit supports its

finding of inhumane treatment on real documents found at CACC itself, and cites instances of inhumane

animal treatment, accidental euthanasia and substandard veterinary care based upon CACC's own

documents. We found such documents in the personnel files maintained at CACC's administrative office and

in the disciplinary action notices, notes-to-files, and managers' logbooks kept at the shelters. As mentioned in

the "Audit Limitations" section of this report, we had only limited access to these documents; therefore, it is

very likely that there are more instances that we could not uncover. In its response, DOH stated that it "does not

agree with the findings of inhumane treatment and substandard veterinary care," but never addresses the hard

evidence we provide in the audit.


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