INSIGHTi
OMB Releases 21st Century Integrated Digital
Experience Act Guidance
November 27, 2023
On September 22, 2023, the White House Office of Management and Budget (OMB) released
Memorandum M-22-23, which contains guidance for agencies on implementation of the 21st Century
Integrated Digital Experience Act (21st Century IDEA;
P.L. 115-336). The law establishes agency
requirements for website modernization, digitization of forms and signatures, and customer service and
digital service delivery. According to th
e House report on the 21st Century IDEA, the law aligns with a
2018 President’s Management Agenda goal to prioritize “improving the usability and dependability of
digital services offered by the government by leveraging technology.”
OMB released implementation guidance on the act more than four years after the law’s enactment on
December 20, 2018. This Insight identifies key components of the guidance, areas where the guidance
may intersect with other statutes or OMB directives, and considerations for Congress.
Website Modernization
Memorandum M-22-23 emphasizes
user-centered design principles for public-faci
ng agency websites,
including web applications. Agencies are expected to define the “core customer,” “segmented group,” or
“user” for every website. Further, agencies are to identify these users’ wants and needs and engage actual
users from the public in the design and development of websites to reduce burden. The memorandum
specifies ways agencies should use research, engage users, and make websites accessible to the widest
possible range of people, including to individuals with disabilities as required b
y Section 508 of the
Rehabilitation Act of 1973 (29 U.S.C. §794d). The memorandum also stipulates that agencies should test
the readability of website content;
use plain language; and use a consistent visual design and agency
brand identity across websites, digital services, email, text, and social media.
The memorandum also establishes the expectation that agencies will make “data-driven” design and
development decisions using feedback surveys and web analytics and requires agency participation in the
General Services Administration’s (GSA’s)
Digital Analytics Program. In 2011, OMB issued a
memorandum detailing a “fast track” clearance process for certain types of customer feedback methods,
including website usability studies, under t
he Paperwork Reduction Act of 1995 (P.L. 104-13).
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OMB states that agencies are required by the 21st Century IDEA to use the website standards developed
by GSA, which are reflected in t
he U.S. Web Design System. Agencies are also advised to optimize their
websites for search engines and ensure they contain “rich, descriptive metadata” to maximize
discoverability.
Digitization of Forms and Signatures, Privacy
Memorandum M-22-23 broadly requires agencies to digitize their forms, offer digital and traditional
service channels for customers, and adopt and accept electronic signatures. OMB directs agencies to
prioritize the digitization of forms that have the greatest impact on the public, and where agencies are
unable to do so, agencies must document the reasons why digitization is not an option and identify
potential solutions to aid in the conversion process.
Consistent with the 21st Century IDEA provision that
individuals without access to or ability to use digital channels are “not deprived of or impeded in access to
those digital services,” OMB also requires agencies to maintain a traditional access method (such as in-
person or paper-based service) in addition to a digital access method.
The guidance appears to be in dialogue with earlier directives from the Government Paperwork
Elimination Act (Title XVII of
P.L. 105-277) and the Creating Advanced Streamlined Electronic Services
for Constituents Act of 2019 (CASES Act
; P.L. 116-50) to encourage agency adoption and acceptance of
digital signatures on forms. However, Memorandum M-22-23 does not appear to incorporate the remote
identity-proofing and authentication discussion from the CASES Act guidance i
n Memorandum M-21-04,
issued in November 2020. Although the law requires the guidance to provide agencies with a process to
estimate the costs associated with digitization processes, Memorandum M-22-23 does not appear to
explicitly provide such criteria.
Customer Service and Digital Service Delivery
In Memorandum M-22-23, as well as
Executive Order 14058, OMB and the President define
customer
experience as “the public’s perceptions of and overall satisfaction with interactions with an agency,
product, or service.” OMB states that digital service delivery is crucial to agencies’ customer experience
strategies. To implement these strategies, OMB instructs agencies to apply the customer experience
principles described i
n OMB Memorandum A-11, collect customer feedback data, provide transparency to
users, use th
e Digital Services Playbook, and build cross-functional teams that “have expertise in human-
centered design and agile development practices.”
Section 7 of the 21st Century IDEA instructs agencies to maintain as much standardization as practicable
with other agencies to ensure a cohesive digital experience across the federal government. In this
memorandum, OMB instructs agencies to increase standardization by streamlining and consolidating
legacy IT systems and enabling data sharing among agencies and with state and local governments.
Additionally, agencies are instructed to use government-wide resources and programs, many of which
reside in GSA. These programs includ
e Digital.gov, which centralizes resources and best practices for the
implementation of the 21st Century IDEA and assistance with digital services procurement.
Issues for Congress
I
n Section IV of Memorandum M-22-23, OMB provides several implementation deadlines for agencies,
GSA, and the Chief Information Officers Council. For example, OMB states that, to the extent
practicable, agencies should address the memorandum’s requirements “when designing new or
redesigning existing websites and digital services” within 180 days. In the time since enactment of the
21st Century IDEA, Congress and the executive branch have advanced policies relating to identity
authentication and digitization of forms and public interactions. Given OMB’s delay in issuing guidance
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to agencies, Congress may consider oversight options related to agency adherence to the implementation
deadlines described in the memorandum and whether OMB’s guidance is consistent among digital issue
areas.
Author Information
Meghan M. Stuessy
Natalie R. Ortiz
Analyst in Government Organization and Management
Analyst in Government Organization and Management
Dominick A. Fiorentino
Analyst in Government Organization and Management
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