Thank you, Mr. Chair.
We thank you for this opportunity to discuss our chapter on selecting foreign workers under the immigration program. As you mentioned, I am joined today by Richard Flageole, Assistant Auditor General, and Suzanne Therrien, principal, who were responsible for the audit.
Canada has an ongoing need for permanent and temporary workers with various skills, and it must compete with other countries to attract them. It is critical that the government programs to facilitate the entry of these workers be designed and delivered in a way to ensure that the needs of the Canadian labour market are met.
We found that Citizenship and Immigration Canada had made a number of key decisions without first properly assessing the costs and benefits, risks, and potential impact on other programs and delivery mechanisms. Some of these decisions have caused a significant shift in the types of workers being admitted to Canada. We saw little evidence that this shift is part of any well-defined strategy to best meet the needs of the Canadian labour market.
In addition, we noted that evaluations of the programs we audited were either not updated or lacking. In our view, until CIC develops a clear vision of what each program is expected to contribute and evaluates the performance of its current programs, the department will not be able to demonstrate that its programming best meets the needs of the Canadian labour market.
The inventory of applications in the federal skilled worker category has almost doubled since our audit in 2000. In December 2008, more than 620,000 people had been waiting on average 63 months for a decision to be made on whether they had been granted permanent residency or not. Measures taken by CIC in 2008 to manage the inventory by limiting the number of new applications--for example, processing only those that meet new, more narrowly defined criteria--were not based on sufficient analysis of their potential effects.
While it is too early to assess the full impact of these measures, trends in the number of new applications received since the beginning of 2009 indicate the measures might not have the desired effect. For example, by the end of June 2009, the department had not experienced a significant reduction in the number of new applications. Citizenship and Immigration Canada will have to monitor the situation closely and might need to consider other strategies to manage the inventory. Failure to do so could result in the creation of another inventory of new applications that would prevent CIC from processing these within the six to 12 months it has forecast.
In addition, the department's ability to reduce the inventory of old applications prior to the introduction of ministerial instructions could be significantly impaired. At the time of our audit, Citizenship and Immigration Canada was unable to determine when this backlog would likely be eliminated or to define what would be a reasonable timeframe to do so. Their latest estimate in 2008 indicated that the backlog might not be eliminated for another eight to 25 years.
However, by the end of June 2009, this particular backlog had been reduced to about 452,000 people or by 29%. This reduction was possible because Citizenship and Immigration Canada processed mainly old applications. The department started processing the new applications for eligibility only in November 2008 when the ministerial instructions were finally published.
In June 2009, the overall inventory, which includes both old and new applications, still numbered approximately 594,000. This represents a decrease of only 6.5% in the overall inventory since the introduction of the ministerial instructions.
Our chapter also identified serious problems in the design and delivery of the Temporary Foreign Worker Program that is co-managed by CIC and Human Resources and Skills Development Canada. The Immigration and Refugee Protection Regulations state that before issuing a work permit to a temporary foreign worker, a CIC officer must assess, on the basis of an opinion provided by HRSDC, if the job offer is genuine and not likely to negatively affect the labour market in Canada. The regulations state the factors to consider in assessing labour market effects but are silent on how to assess whether a job offer is genuine. We found that CIC and HRSDC had not clearly defined their respective roles and responsibilities in making this assessment and how it is to be carried out. The genuineness of job offers was therefore rarely verified. As a result, work permits could be issued for jobs or employers in Canada that do not exist.
Furthermore, we found that there is no systematic follow-up by either CIC or HRSDC to verify that employers in Canada are complying with the terms and conditions, such as wages and accommodations, under which work permits are issued. This creates risks to program integrity and could leave many foreign workers, such as live-in caregivers and lower-skilled temporary foreign workers, in a vulnerable position.
Also, weaknesses in the practices for issuing labour market opinions raised questions about the quality and consistency of decisions being made by HRSDC officers. After our audit, regulatory modifications aimed at resolving some of these issues have been published in the Canada Gazette.
Citizenship and Immigration Canada has successfully introduced a number of initiatives and tools to address some of the inefficiencies that we reported in our 2000 audit. However, despite our recommendation to do so, the department has not yet implemented a quality assurance framework to obtain assurance that decisions made by its visa officers are fair and consistent.
Finally, we note that Citizenship and Immigration Canada and Human Resources and Skills Development Canada have implemented programs to facilitate the recognition of foreign credentials. At the end of our audit, the federal government was working with provinces and territories to develop a pan-Canadian framework for foreign qualification assessment and recognition.
Mr. Chair, we have raised a number of important issues in our chapter. We encourage the committee to request an action plan from Citizenship and Immigration Canada and Human Resources and Skills Development Canada and to follow up on what progress the departments have made in addressing our recommendation.
This concludes my opening remarks. We would be pleased to answer any questions the committee members may have.
Thank you.