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Mr. Chairman McCollum, Ranking Minority Member Mr.
Scott, thank you very much for the opportunity to submit
a statement to you about oversight of the Drug Enforcement
Administration. The first hearing I set up for members
of the House Judiciary Committee, in March 1980, was
a DEA oversight hearing. I have been following DEA's
activities and other drug policy matters for almost
20 years.
These are the key points I think the Subcommittee
should keep in mind.
(1) There is a need for Congressional oversight of
DEA's performance. (2) DEA is not being held accountable.
(3) DEA has been profoundly ineffective as demonstrated
by key measures. (4) DEA's priorities are misdirected.
(5) Federal drug enforcement is prima facie racist in
effect. (6) Race is a factor in profiling drug suspects.
(7) Case selection is driven by informants, not DEA
managers. (8) DEA can play an important role in fighting
violent crime domestically.
It is important to note at the outset that criticism
of DEA is not a disparagement, in the least, of the
courage and dedication of the individual men and women
of DEA. Drug enforcement is necessary. A great many
of the current crop of drug traffickers are among the
most dangerous and evil persons alive today, and they
must be fought by representatives of the law. The men
and women who engage in that dangerous fight deserve
our respect.
It is also important to make clear at the outset that
to be critical of DEA does not mean that one is not
100% committed to the objectives of our national drug
strategy — of raising children who never use drugs,
of having neighborhoods free of the crime and disorder
of drug trafficking and violence, of protecting the
public from the dangers of those under the influence
of drugs, of protecting governments and the administration
of justice -- here and abroad -- from corruption, and
of protecting the global economy from being undermined
by money laundering and racketeering.
Indeed, if one is indifferent to these objectives
there really is no need to pay any attention to DEA.
DEA is a bureaucracy. Unless its activities are carefully
overseen by the Congress, and its managers required
to account to the public for the agency's performance,
DEA will inevitably follow its own leadings, and not
those of the citizens
(1) There is a need for careful evaluation of DEA's
performance.
DEA has grown enormously. During the 1980s, when I
was counsel to this subcommittee, as you know Mr. Chairman,
then-Chairman William J. Hughes of New Jersey frequently
held hearings to examine DEA's policies and priorities.
Mr. Hughes prodded DEA, in the face of pressure to cutback
to meet government-wide budget balancing objectives,
to expand its cooperation with state and local law enforcement,
to expand its international program, and to more aggressively
address the problem of diverting legitimate pharmaceuticals
from legitimate medicine to abuse in the streets. Since
then, DEA's appropriation has grown from $280 million
in 1983 to $1.4 billion in 1999.
My understanding from communication with the committees'
document clerks is that neither the House nor Senate
Judiciary Committees have held hearings specifically
on DEA oversight in the past decade.
I commend you, Chairman McCollum, for convening this
hearing, and I encourage you to continue this work.
I especially commend you for requesting the General
Accounting Office to examine DEA's work in a number
of areas.
(2) DEA is not being held accountable.
Performance Measurement System of the National
Drug Control Strategy In 1998, the White House Office
of National Drug Control Policy (ONDCP) Director, Gen.
Barry McCaffrey, announced a detailed "Performance Measurement
System" for our national anti-drug strategy. Numerous
drug strategy "targets" would be reduced by various
percentages over five or ten years. Developing these
targets has been underway since 1996, but three years
later, there are still no baselines for most of those
targets.
In the report from GAO to you, GAO notes that DEA
has not developed either targets or baselines for its
role in the strategy. DEA has not collected data that
would support the strategy, such as the number of drug
trafficking organizations.
Failure to set baselines for reductions means that
the targets aren't real. How could anyone say with a
straight face to the American people and to the Congress
that America's anti-drug efforts are going to reduce
a variety of specific drug trafficking problems by specific
percentages over the next five and ten years when, at
the time these statements are made, the anti-drug agencies
do not know or cannot agree what the actual size of
those problems are? The 1999 National Drug Strategy
is based on the targets of ONDCP's Performance Measurement
System, and on that basis, the strategy is a fraud.
DEA, with 25 years of experience as the lead agency,
should be in the front of the effort to accurately analyze
the scope of the drug problem and to present concrete
and realistic assessments of what can be achieved. Unfortunately,
DEA is not in the habit of being held accountable.
(3) DEA has been profoundly ineffective as demonstrated
by key measures.
Price and Purity of Drugs Sold in the U.S.
In the early 1980s, when I was counsel to the Judiciary
Committee and DEA Administrator Bensinger testified,
he pointed to the increasing price and decreasing purity
of heroin as evidence of DEA's successful efforts. Price
and purity are very important concrete measures of the
effectiveness of the anti-drug effort.
Price
Raising the price of drugs is good policy. Drug users
are price sensitive. Raising the price of drugs deters
experimenters. Higher prices limit the degree of drug
use, and encourage addicts to seek treatment.
Drug prices also measure the market. Higher prices
mean that drugs are scarcer, they are less available.
It means its takes more effort for drug users to find
drugs. High prices measure the risks traffickers face.
If a drug trafficker doesn't believe that his or her
cost of going to prison, or otherwise being harmed in
the market, is very great, the trafficker doesn't have
to charge very much.
Decreasing drug prices tell us the opposite. Falling
drug prices mean that drug traffickers face less risk.
Purity The purity of drugs on the street is also an
important indicator. Drugs are "cut," that is, they
are adulterated, to improve profits. If a seller is
not motivated to cut the drugs, that means he is quite
satisfied with the level of profit he is making. High
purity also indicates that traffickers are competing
against each other for customers. Higher purity is a
sign of trafficker health, not starvation.
Purity is also important as a public health matter.
While the adulterants used to cut drugs can often be
harmful in themselves, higher purity, particularly for
heroin, creates a greater risk of overdose. Heroin suppresses
respiration, and as DEA will tell you, the number of
overdoses from heroin is increasing.
Using DEA's data, reprinted in the 1999 National Drug
Control Strategy (Table 29, p. 131), the price of
a gram of pure heroin at retail has declined from $3,114.80
in 1981 to $1798.80 in 1998, not controlling for
inflation. This decline has been almost completely steady.
The average purity of retail heroin has increased
from 4.69% in 1981 to 24.49% in 1998. (See attached
table).
In March 1980, DEA began its oversight hearing by
proudly pointing out that during the 16 calendar quarters
from the beginning of 1976 through the end of 1979,
the retail purity of heroin had dropped from 6.7% to
3.8%. The price of heroin had increased from $1250 per
gram t o $2300 per gram.
Cocaine price and purity data has shows the same catastrophic
changes. The 1981 retail price for a pure gram of
cocaine was $328.70. Last year it had dropped to $169.25,
not controlling for inflation. Street level purity at
retail averaged 40.02% in 1981 and was up to 71.23%
in 1998.
Wholesale cocaine prices have dropped even more
dramatically. From a 1981 level of $191.35 per gram,
the price was down to $44.30 per gram in 1998, the lowest
level during the entire period. This number tells
us that at the wholesale level, drug traffickers have
continually evaluated the risks they face --primarily
of arrest, imprisonment and seizure of their assets
— as declining ones.
Price and purity are probably the most important hard
numbers available for accurately evaluating DEA's real
impact on the drug trade. By these measures, DEA's performance
has been worse than abysmal. Of course, it may not be
DEA's fault. As we know, markets around the world have
demonstrated that they are often highly independent
of government efforts to intervene in them. But at a
minimum, this data tells us that we are profoundly and
systematically failing in a key objective of our anti-drug
effort.
Drug Availability to Teenagers
In one sense, I'm sure that you would agree that DEA's
most important performance measure ought to be how hard
it is for kids to get drugs. For 24 years we've been
asking high school teenagers to tell us how easy they
believe it is for them to get various drugs. This is
obviously subjective. And because most of the respondents
do not actually use the drugs they are reporting about,
as an actual measure of availability, it is of very
limited accuracy. It is a case in which the trend is
probably much more important than the actual percentage.
Mr. Chairman, last year America's high school seniors
said, "Heroin and crack cocaine have never been easier
to get!"
35.6% of the nation's high school seniors reported
heroin was "fairly easy" or "very easy to get," the
highest percentage since the survey was commenced in
1975. 43.8% said the same about crack cocaine, the highest
percentage since 1989. This was reported in HHS'
Monitoring the Future survey released last winter,
reporting on the survey from the spring of 1998 (Table
11, Long-Term Trends in Perceived Availability of Drugs
by Twelfth Graders) (attached).
(4) DEA's priorities are misdirected.
The need for a more effective international enforcement
effort
These failures are, in some sense, ironic. Heroin and
cocaine come to the U.S. from abroad. The management
of heroin and cocaine production, smuggling and distribution
is more complex than for other drugs. And heroin and
cocaine trafficking organizations pose much greater
threats to legitimate governments around the world.
They are wealthier and have access to larger, better
trained, better paid armies or paramilitary forces than
organizations involved in other drugs. Seriously curtailing
these organizations is important not only for drug enforcement
purposes but for the protection of democracy and the
global economy from corruption.
Evaluating the international assets available for
a comprehensive, international anti-drug fight, DEA
and other Federal agencies are the probably the only
highly equipped, highly trained, mostly-honest agencies
that can effectively target global drug and crime organizations.
It is not realistic to think that Mexican or Colombian
law enforcement agencies will effectively or substantially
combat drug trafficking organizations at any time in
the foreseeable future.
But DEA is going in the wrong direction. DEA is increasing
its efforts on insignificant defendants and cases that
can best be handled by the more than 620,000 sworn officers
and 240,000 civilian employees of state and local law
enforcement agencies around the nation. DEA is wasting
scarce, precious resources. Almost 40% of DEA's effort
is targeted on local cases, and that percentage has
roughly doubled in the past decade.
The mistake of a Federal focus on local drug traffickers
One consequence of the over-Federalization of local
law enforcement, and local drug enforcement, is that
appropriate Federal law enforcement doesn't take place.
You can't expect the Orange County, Florida, Sheriff
or the Isle of Wight County, Virginia, Sheriff, or even
the Florida Department of Law Enforcement or the Virginia
State Police, to investigate drug trafficking organizations
in Mexico and Colombia or money laundering in Grand
Cayman. When you ask DEA to investigate crack dealing
organizations in Orlando or Richmond, you are wasting
very scarce Federal assets. There are over 600,000 state
and local law enforcement officers in America but only
4,515 DEA Special Agents. There is space to incarcerate
1.8 million persons in America's state and local prisons
and jails, but only 130,000 persons in Federal prisons.
When you direct DEA and the Department of Justice
to lock up a street-level crack dealer in Federal prison
for 20 years after a Federal investigation and Federal
court trial, you have wasted some of the most precious
assets in the world available for fighting the global
plague of crime, violence and corruption that is intrinsic
to drug prohibition.
We need almost every Federal anti-drug agent focused
on the international, high-level drug trafficking organizations
if we are at all serious about fighting drugs through
enforcement.
The Federal focus on low-level offenders
DEA always claims to be fighting the highest level traffickers,
but the results of Federal drug enforcement efforts
are seen in who goes to prison -- overwhelmingly
low-level offenders. Last year, two-thirds of Federal
drug prisoners didn't meet the very low quantity thresholds
required to be sentenced to a ten-year mandatory minimum.
Only 41 defendants, out of over 20,266 prosecuted for
drug offenses, were sentenced under the Federal drug
kingpin statute. Almost fifteen times that number (601
defendants) were sentenced for simple possession. At
least 174 were imprisoned for a mean sentence of 19.6
months for this offense.
(5) Federal drug enforcement is prima facie racist
in effect.
If these performance failures weren't bad enough,
Federal drug enforcement (particularly cocaine enforcement)
is prima facie a racist enterprise. In 1998, less
than one in four Federal drug defendants was white.
It is inconceivable that in a nation dominated by whites
that such a lucrative industry is not also dominated
by whites. Indeed, looking at all Federal crimes, except
for immigration crimes (dominated by Hispanics trying
to illegally enter the United States, 91.2%), and Federal
enforcement of violent crimes on Indian reservations
(such as sexual abuse, assault, murder, manslaughter,
and burglary), whites are much more frequently accused
of violating Federal criminal laws than other racial
groups. Whites were typically 40, 50, or 70 or 80% of
sentenced Federal offenders – for crimes such as firearms,
auto theft, forgery, bribery, money laundering, gambling,
pornography, arson, etc., as well as antitrust (100%
white) or food and drug (82.6% white).
The largest category of Federal prosecutions for hard
drugs is crack cocaine, 4,890 persons sentenced to prison
in FY1998. These prisoners were 84.8% black, 8.7% Hispanic,
0.7% other, and 5.7% white.
Federal cocaine prosecutions are dominantly against
people of color. Only 12.3% of all new Federal cocaine
prisoners in 1998 were white. 85.2% of all black Federal
drug defendants were charged with cocaine offenses.
Black cocaine defendants were 27.8% of all Federal drug
offenders sentenced to prison in 1998.
Black cocaine defendants were 11.3% of all persons
sentenced to Federal prison in 1998 for all crimes.
Bear in mind that drug use is overwhelmingly a white
phenomenon in America. In 1997 there were 10.3 million
white current drug users and only 1.8 million current
black drug users. There were 970,000 white current cocaine
users, and only 342,000 black current cocaine users,
according to the National Household Survey.
American citizens who are prosecuted are overwhelmingly
black Americans. 93% of Federal crack cocaine defendants
are American citizens. For other types of drugs, one-quarter
to one-half of the Federal defendants are non-citizens.
The crack cocaine defendants targeted by the Federal
government — overwhelmingly black -- are overwhelmingly
low-level offenders. 63.1% of the crack defendants were
street-level dealers, bodyguards, couriers or mules.
Only 5.5% of the crack defendants were identified as
high-level offenders by the U.S. Sentencing Commission
in its 1995 study. The percentage of high-level crack
defendants was the lowest for all categories of drugs.
From the universe of more than 1.5 million persons
arrested for drug offenses in America in a year, all
of whom could be prosecuted in Federal court, the selection
of overwhelmingly low-level offenders (in contradiction
to the goals of the National Drug Control Strategy,
and common sense) who are overwhelmingly black — for
sentences that are the longest imposed for all classes
of drugs -- suggests that there is a pattern or practice
of racial discrimination in the selection of cases.
Sadly these defendants are on average six years younger
than other Federal drug traffickers.
Why is this possible? Because DEA and the Justice
Department have no system-wide review of cases to assure
that only appropriate cases are investigated and prosecuted
and that racial factors do not enter into investigations
and prosecutions.
(6) Race is a factor in profiling drug suspects.
In Maryland in the early 1990s, the State Police circulated
an "intelligence report" that drug couriers were black
males and black females. In 1993, the Maryland State
Police (MSP) denied it used racial profiling. In 1995,
MSP agreed to stop racial profiling, and to record data
on those they stopped. But according to an Associated
Press computer analysis of this data in May 1996, African-Americans
were stopped by the Maryland State Police on Interstate
95 in numbers completely disproportionate to their numbers
among all motorists -- 73% of all stops, but only 25%
of the state population, only 20% of the state's licensed
drivers, and only 17% of the drivers along the studied
stretch of I-95.
On April 9, 1999 Attorney General Reno asked law enforcement
to study whether drug searches are based on racial profiles.
Eleven days later, in New Jersey, where racial profiling
was formally in violation of state policy, then-Attorney
General Peter Verniero issued a report conceding that
on the New Jersey Turnpike racial profiling is "real,
not imagined." 77.2% of the motorists searched were
black or Hispanic, while 21.4% were white. New Jersey
is 74% white, 13% black and 9% Hispanic. Two New Jersey
State Troopers have been indicted for falsifying reports
to make it appear that black motorists they stopped
were white. These practices exist in many jurisdictions.
While black drug users are about 15% of the nation's
population, they have been between 36% and 40% of those
arrested for drug offenses during this decade.
In Esquire magazine in April 1999, journalist Gary
Webb, on assignment as an investigator for the California
legislature, wrote of DEA's role in "Operation Pipeline,"
a program to stop the transportation of illegal drugs
over the nation's highways. Webb writes that participants
in Operation Pipeline understood that blacks and Hispanics
were presumptively more likely to be stopped.
I commend the Members who voted in the 104th Congress
for H.R. 118 to study the racial and ethnic data on
traffic stops. As I noted above, whites are the dominant
segment of the population that uses drugs. Race is neither
a legitimate nor logical proxy for suspicion of drug
use or drug trafficking. But the truth is that race
has been one of the bases police around the nation have
used to make decisions about whom to investigate for
a drug offense.
(7) Case selection is driven by informants, not DEA
managers.
In practice, how are most Federal drug prosecutions
initiated? An informant provides information to a DEA
Special Agent or other law enforcement officer about
drug trafficking. Cases start with informants.
Many of DEA's problems are due to the fact that informants
– who, if they are to have any information that is at
all significant must actually be in the drug trade –
have more impact on case selection than DEA managers,
the Justice Department, or ONDCP. As long as you provide
information about low-level and mid-level traffickers,
you can make a good living as a DEA informant. Rep.
John Conyers, when he was chairman of the then-Committee
on Government Operations, developed information about
the numerous Federal informants making six-figure incomes.
If you are making a good living as an informant on low-level
Federal cases -- the ones that dominate the Federal
trial docket -- how powerful are the incentives to provide
information about the highest-level traffickers? If
you do so, your life is in jeopardy. Low-level, if not
minor traffickers are much less likely to try to have
you killed, and the compensation from the government
is just as great.
(8) DEA can play an important role in fighting violent
crime domestically.
DEA needs to limit its domestic operations to high-priority
matters. Drug traffickers who engage in murder are certainly
high-priority targets. An example of the valuable role
DEA has played fighting violent drug gangs was its cooperative
effort in Operation Ceasefire in Boston. That effort
has practically eliminated youth gang homicide. The
operation, with important direction by David Kennedy
of the John F. Kennedy School of Government at Harvard
University, identified the numerous youth drug gangs
operating in Boston, and the patterns of conflict between
them. The gangs were contacted and told that while enforcement
against all of their illegal activities would continue,
if they engaged in any homicides they would be the focus
of an extraordinarily intense enforcement that would
destroy them. One gang, Roxbury's Intervale Posse, greeted
this warning with contempt, and engaged in several murders.
DEA brought in out-of-town personnel and conducted a
sufficient number of buys to indict and arrest on August
29, 1996, 15 members of the gang for Federal drug offenses
carrying long mandatory minimums. Soon some of the defendants
identified the killers, and the murders were solved.
Very importantly, Operation Ceasefire gained credibility
thus saving many lives. (See David M. Kennedy, "Pulling
Levers: Chronic Offenders, High-Crime Settings, and
a Theory of Prevention," 31 Valparaiso University Law
Review 449 at 467, Spring 1997).
DEA, when it is selective, can play a very important
role in support of state and local law enforcement.
Mr. Chairman, DEA has an important role to play, but
it is not playing it. Without oversight by the Congress,
DEA will not be held accountable to the public which
it serves. I commend you and Mr. Scott for holding this
hearing today.
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