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Sunday, April 12, 2026

Designed to Fail: The SOML PforR Case Study (Nigeria P146583)


MDB Reform Platform  ·  Policy and Accountability Analysis

Designed to Fail: Governance Failure, Institutional Impunity, and Accountability in the World Bank’s Saving One Million Lives PforR (Nigeria P146583)

Keywords: Program-for-Results · PforR · Nigeria · Saving One Million Lives · P146583 · Fiduciary Systems · IEG · Accountability · World Bank Board · IDA · Sovereign Guarantee · Institutional Impunity · MDB Reform

Abstract The Nigeria Program to Support the Saving One Million Lives Initiative (SOML, P146583) was a $500 million Program-for-Results (PforR) credit approved by the World Bank Board in April 2015 and closed in January 2021 having disbursed $387.6 million. It was the largest PforR in the world at approval. The Independent Evaluation Group (IEG) rated its outcomes Moderately Unsatisfactory and its efficiency Negligible. The management-authored ICR rated it Moderately Satisfactory. No staff consequence has been documented. Nigeria will repay the full credit across 38 years regardless. This paper makes four arguments. First, SOML’s failures were designed in: the fiduciary assessment approved a programme in full knowledge of prior procurement fraud in the implementing ministry, absent internal audit, and state-level audit exclusion from the programme boundary. Second, the fraud that emerged in 2019 was visible in the audited accounts since 2017, was resolved by a PIM revision rather than investigation, and was recorded by the Bank as Moderately Satisfactory. Third, the internal incentive structure of the Bank — where career reward flows from project approval rather than development outcomes — is the engine of poor quality, documented in the IEG data and in the Raballand et al. analysis of TTL career trajectories. Fourth, the sovereign guarantee that ensures Nigeria repays regardless of outcome is the structural source of institutional impunity, compounded by a Board governance architecture that co-opts the Board into every approval and prevents it from holding management accountable for the results of what it approved. The reform agenda is precise: structural separation of the fiduciary assessment from the project team; independent ICR authorship; INT referral when ministry officials are implicated; partial debt relief funded from Bank net income when IEG documents institutional failure; and delegation of project approval to management so the Board can supervise the institution rather than endorse its individual transactions.
$500MIDA PforR credit. World’s largest PforR at approval, April 2015.
$387.6MDisbursed. Nigeria repays in full over 38 years regardless of outcomes.
MUIEG outcome rating: Moderately Unsatisfactory. Efficiency: Negligible. ICR self-rating: Moderately Satisfactory.
$0Disbursed from $20M Innovation Fund. Zero states earned DLI 5 (budget transparency) disbursements in any year.

Section 1The Programme and the Record

Nigeria contributes 14 percent of global maternal deaths and 13 percent of global under-five deaths annually. The Saving One Million Lives (SOML) initiative — launched by the Federal Government of Nigeria in October 2012 — was designed to reduce avoidable mortality through primary health care delivery at scale. The World Bank supported it through a $500 million IDA PforR credit: the Bank’s largest PforR at the time of approval. The programme disbursed funds to states based on measured improvements in six health coverage indicators across 36 states and the Federal Capital Territory.

The results, in the documents the Bank itself published, are unambiguous.

Combined health coverage declined from 232 to 217.9 percentage points between the 2016 and 2018 SMART surveys, against a target of 271. The Bank disbursed $101.3 million during this period, rating the programme Moderately Satisfactory (ISR Seq 05, February 2018).

Zero states earned DLI 5 disbursements (budget transparency) in any year of the programme. $0 of $20 million in the Innovation Fund was disbursed. The FMOH refused to engage with the Innovation Fund Manager.

The Independent Verification Agent was downgraded to Moderately Unsatisfactory in April 2019. Its judgements were described in the IEG review as “contentious and in several cases seen as incorrect by the World Bank itself.”

Performance bonuses of ₦98.6 million (~$321,000 at ₦306.75/$) were paid to senior FMOH officials from the IDA-funded programme account in 2018 — with an identical pattern in 2017 (~$303,000). Both appear in the FY2018 Audited Financial Statements signed by the Auditor-General for the Federation on June 17, 2019, with a clean unqualified opinion.

Programme expenditures charged to the IDA-funded Special Fund Account included a ₦467M incinerator (~$1.52M), ₦200M+ in FMOH staff welfare (~$655,000 in 2017 alone), laparoscopic equipment for tertiary teaching hospitals, and Hajj programme payments — none of which are primary health care interventions.

The Programme Implementation Manual — the document governing $388M in disbursements — was hosted on a government website that lapsed when the programme closed. The domain is now a cryptocurrency gambling site. Neither the original PIM nor the revised “fiduciary-fix” PIM of December 2019 is publicly accessible.

The IEG review rated PDO outcomes Moderately Unsatisfactory and efficiency Negligible. The ICR, authored by the Bank team, rated the programme Moderately Satisfactory. The divergence between the two documents is not analytical. It is institutional.

Section 2Designed to Fail: What Was Known at Approval

SOML’s most striking feature is not that it failed — it is that the Bank’s own appraisal documents predicted the failure in detail. The Integrated Fiduciary Systems Assessment (IFSA), March 2015, documented the following before the Board voted:

Primary Source — IFSA, Para 44 (March 2015)

“In 2014, the GAVI audit report highlighted significant vulnerabilities in the procurement management and control processes in the health sector: lack of segregation of duties; splitting procurement packages to circumvent thresholds; payment to suppliers who had not delivered goods; several different suppliers sharing the same address — an apparent sign of collusion; inflated costs (sometimes twice) on procurement of goods.”

World Bank Integrated Fiduciary Systems Assessment, Nigeria SOML PforR P146583, March 31, 2015

The Bank knew. It approved a $500 million PforR of the same ministry twelve months later, and concluded in the same IFSA that SOML was “a perfect candidate for financing under the Bank’s PforR instrument.”

The Technical Assessment noted LGA accountability was “extremely opaque and lacked any systematic reporting, let alone being subject to effective accountability against budgets.” Budget execution variance in the Bank’s own reference states ran from 54 to 128 percent. The Programme Action Plan committed to establishing an independent internal auditor and a dedicated procurement officer. Neither was ever appointed: the FY2018 audit records explicitly that “the programme had no standing Procurement Officer and Internal Auditor.”

Most consequentially, the IFSA deliberately excluded state-level audit from the programme boundary (Para 30): “the audit reports of the States will not be required due to the definition adopted on Program boundaries.” This decision meant that ₦16.2 billion (~$52.9M at ₦306.75/$) in state performance grants — the programme’s primary accountability instrument — appeared on the balance sheet as a single unaudited line: “Others — Performance Grant to States: Non-Current Assets.” Eighty-three percent of the first year’s disbursements were never independently examined. The Auditor-General for the Federation, rated D+ by the 2019 Nigeria PEFA assessment, issued clean unqualified opinions on statements with this gap for five consecutive years.

The PEFA assessment rated the Office of the Auditor-General for the Federation D+ on external audit quality (PI-30) in 2019. This is the same institution that issued unqualified audit opinions on SOML financial statements — statements that excluded $52.9M in state performance grants from audit scope — for five consecutive years. The Bank accepted these opinions as fiduciary assurance. This is the “use of country systems” argument in practice.

Section 3Zero Accountability: The Institutional Chain of Non-Consequence

When the bonus payments and procurement allegations could no longer be managed internally, the Bank’s December 2019 Restructuring Paper acknowledged “payment of performance bonus to high level Federal Ministry of Health officials and allegations of fraud in the use of program funds and procurement processes.” The resolution: a new Programme Implementation Manual deemed “satisfactory to the Bank,” and an upgrade of the Implementation Progress rating from Moderately Unsatisfactory back to Moderately Satisfactory. No INT referral. No independent investigation. No debarment. The revised PIM — the instrument used to resolve acknowledged fraud — was never disclosed publicly.

There is a structural reason for this. The project team has no institutional incentive to refer cases to INT. A referral opens an investigation that may implicate the team’s own supervision record. It delays ratings upgrades. It creates a public record of management failure. A PIM revision and a rating upgrade achieve the same institutional objective — programme continuation — without any of those costs. The result is a systematic reduction of the funnel to INT: fraud that passes through poorly designed fiduciary assessments, is concealed in state-level audit exclusions, and is resolved through internal management instruments never reaches the integrity system at all.

Raballand, Roundell and Mallberg (2015) — Key Findings

“There appears to be little direct correlation between a poorly performing project and task leader career trajectory.”

“Over-ambition and neglect of incentives and behavioural biases in projects may be possible as long as task leaders are not accountable for project designs and outcomes. The TTL at appraisal will never close a project — different incentives at entry and at closing.”

“Strong incentives for behaviours which reinforce problems of the fallacy of planning and the optimism bias, creating limited learning and improvements to avoid the mistakes of the past.” Eighty percent of TTLs report that lending pressure crowds out learning. There is no obvious link between project rating and TTL career trajectory.

Raballand, G., Roundell, T., and Mallberg, M. (2015). “Bank Staff Incentives and Public Sector Reform Projects.” Presentation, World Bank, Washington DC.

SOML is Raballand’s analysis made concrete. The TTL who designed the programme and supervised it for six years to a Moderately Satisfactory ICR rating is credited with managing the world’s largest PforR. The Programme Action Plan commitments — independent internal audit, procurement officer, quarterly budget reporting — were never implemented, were documented as “implementation challenges” in the ICR, and generated no formal consequence for anyone in the management chain.

The IEG data confirms this at portfolio level. Of 92 unique Nigeria operations evaluated since the 1970s, 40 percent were rated below Satisfactory — the minimum acceptable threshold. In the FY2015–2024 cohort alone, 10 of 39 operations ($1.99 billion committed) fell below Satisfactory, and in 8 of those 39 ($1.49 billion) the Bank’s own performance was independently assessed as inadequate. The Water GP returned to the same failed programme three times across fifteen years — NUWSRP Phase 2 (MU), Phase 3 (MU), and SURWASH already MU in active supervision. No documented consequence for any team involved in any of these outcomes.

Section 4The Structural Architecture of Failure

4.1 The Approval Machine: Fiduciary Teams as Co-opted Participants

The institutional pathway of a PforR from concept to Board approval creates a specific dynamic that produces the SOML outcome reliably. Once the Country Management Unit allocates funds and the Global Practice takes technical ownership, the programme’s approval is institutionally predetermined. The fiduciary and governance specialists who join the project team face a precise career dilemma: concluding that a $500 million programme should not proceed — because, for example, the implementing ministry has a documented fraud finding, thirty states have no fiduciary assessment, and the auditor is D+-rated — requires an escalation that is structurally unusual and professionally costly.

The term used inside the Bank for specialists who raise concerns that impede approval is “roadblock.” The IFSA’s conclusion that SOML was “a perfect candidate for financing under the Bank’s PforR instrument” is not dishonest in this institutional context. It is the output of a system that rewards completion and penalises obstruction. By the time the PAD reaches OPCS review, the government has been told the programme is proceeding, the IDA allocation is committed, and the Regional VP has endorsed. Stopping it would require escalation across multiple layers of institutional self-certification. No one escalates.

4.2 The ICR as Managed Self-Evaluation

When a programme closes poorly, the institutional energy of the GP shifts from programme improvement to ICR management. The Implementation Completion Report is authored by the team — typically the TTL — whose career it benefits to produce a Moderately Satisfactory rating. The techniques are professional, not dishonest: baseline selection, regional disaggregation to surface positive sub-group stories, framing that converts “$0 of $20M Innovation Fund disbursed” into “implementation challenges,” and narrative structures that comply with ICR requirements while supporting an MS conclusion.

The IEG ICRR provides an independent check, and in the SOML case partially fulfilled this function — finding PDO outcomes MU and efficiency Negligible. But the ICRR’s findings sit in a separate report. For portfolio databases, country strategy papers, Board briefings, and future project appraisals, SOML is an MS operation. The rating that propagates through the system is the managed one, not the honest one.

4.3 The Board as Co-Conspirator

The World Bank’s Board of Executive Directors approves approximately 300 operations per year as a resident body. The 2009 Zedillo Commission named the problem: “The Board attempts an impossible trinity of roles: political representation of member state interests, technical banking supervision, and management oversight. No board in the world can perform all three simultaneously.” The co-optation consequence, documented by Brar (2026) across 8,764 operations in the IEG database, is categorical: the Board approved all operations. It held management formally accountable for the development results of none of them.

SOML illustrates the mechanism. The Board approved in April 2015 — receiving an IFSA that documented prior fraud, absent internal audit, and the exclusion of state-level audit. Having approved, the Board could not scrutinise the December 2019 fraud acknowledgment without implicating its own prior endorsement. The institutional response was the one the co-optation argument predicts: note the restructuring paper, accept the rating upgrade, continue. The Board is not a passive victim of this dynamic. It approved an accountability architecture that guaranteed its own distance from ground-level failure — and approved it again, implicitly, each time it received an ISR rating of Moderately Satisfactory while the programme deteriorated.

4.4 The Sovereign Guarantee: The Source of Impunity

Nigeria is a blend country. The $387.6 million it drew down under SOML will be repaid in full across 38 years at IDA concessional rates, regardless of whether a single additional child survived its fifth birthday because of the programme. The Bank earns its spread on every dollar repaid. This is not incidental to the accountability failure. It is its foundation.

In a commercial lending relationship, the lender bears financial consequences when its own design failures contribute to poor outcomes. The World Bank bears none. A poorly designed $500M operation, a well-designed $500M operation — the financial return to the institution is identical. The sovereign guarantee insulates the Bank from every consequence of its own institutional failures, creating the condition in which Raballand’s finding — no correlation between project quality and TTL career trajectory — is a rational equilibrium, not a management failure.

The Core Proposition

Nigeria will repay $387.6 million over 38 years for a programme that: disbursed $0 of its $20M Innovation Fund; achieved zero state compliance with its budget transparency DLI; paid performance bonuses to senior ministry officials from IDA funds; was resolved with a PIM revision rather than an investigation; closed with both PIMs inaccessible to the public; and was rated Moderately Satisfactory throughout.

The Bank earns its spread on every dollar repaid. No staff consequence is documented. No financial consequence attaches to the institution. The 40% all-time below-Satisfactory rate in Nigeria, the 26% rate in the FY2015–2024 cohort, the Water GP returning three times to the same failed programme — none of this changes the Bank’s financial position by a single dollar.

This is not a management failure. It is an incentive structure performing exactly as designed.

Section 5What Must Change: Eleven Specific Reforms

5.1 Design and Fiduciary Quality

Structurally separate the IFSA from the project teamThe Integrated Fiduciary Systems Assessment must be conducted by specialists who report to OPCS or a Chief Risk Officer, not to the TTL or Practice Manager. The IFSA should reach an independent conclusion, not certify a conclusion the approval machine has already reached.
Publish the FSA before Board voteAll Fiduciary Systems Assessments for PforR operations above SDR 100 million must be disclosed as standalone documents with a 30-day public comment period before the Board votes. The classification of the full FSA as Official Use Only while the programme proceeds is structurally insulating management from accountability.
Register the PIM as a Bank documentThe Programme Implementation Manual must be registered in the World Bank Documents & Reports portal with version control and date stamps. A document governing $500 million in disbursements cannot be hosted on a government website that lapses when the programme ends.
Enforce PAP commitments as disbursement conditionsProgramme Action Plan commitments — internal auditor, procurement officer, quarterly budget reporting — must be enforceable conditions of disbursement, not aspirations recorded in the ICR as “implementation challenges.”

5.2 Audit and Evaluation

Require independent audit of subnational performance paymentsWhere performance payments to subnational entities exceed 50% of total financing, the audit scope must cover those payments. Auditing the PMU while state grants sit as unaudited balance sheet assets is not an audit of the programme.
Independent ICR authorship for large operationsFor operations above SDR 100 million, the ICR must be authored independently — not by the TTL or GP team whose career it benefits to produce an MS rating. The ICRR’s findings should replace the ICR’s self-assessment in portfolio databases.
Mandate INT referral when implementing ministry officials are implicatedResolution of fraud allegations through PIM revision and rating upgrade — as in SOML’s December 2019 restructuring — must not be available when the implementing entity’s own officials are alleged to have misused programme funds. This requires explicit policy, not guidance.

5.3 Board Governance

Delegate project approval to the President for standard operationsThe Board should cease approving individual operations below SDR 200 million, delegating to the President. Board approval should be reserved for large, high-risk, or FCS operations. This structural change — adopted by AIIB, NDB, and EIB — frees the Board to supervise the institution rather than be co-opted into endorsing its individual transactions.
Establish an annual Presidential portfolio performance reviewThe Board must hold the President accountable annually for IEG-validated outcome rates disaggregated by instrument, region, and Global Practice. Where rates fall below agreed thresholds, a corrective action plan must be submitted within 90 days. The current system — receiving IEG findings through the RAP without formal management accountability — must end.

5.4 Financial Accountability

Outcome-linked partial debt relief when IEG documents institutional failureWhere IEG rates a programme below Satisfactory and documents that Bank institutional failures materially contributed — unenforced PAP, undetected fraud, inadequate fiduciary design — a defined proportion (5–15%) of the outstanding credit balance should be written down, funded from Bank net income. This is not punitive: it is the minimum condition for aligning the Bank’s financial interests with development outcomes.
Career consequence linkage for documented management failuresIEG assessments documenting specific Bank management failures must be formally recorded in the relevant staff performance files. Operations with such assessments must be ineligible for use as positive portfolio evidence in promotion decisions for the relevant TTL, Practice Manager, and Country Director for five years following the assessment. The Raballand finding — no correlation between project quality and TTL career trajectory — is a policy choice, not an inevitability. It can be changed.

Section 6Conclusion

The Saving One Million Lives Programme for Results was designed to fail. The IFSA certified as “a perfect candidate” a programme whose implementing ministry had been implicated in procurement fraud twelve months earlier. The Programme Action Plan committed to mitigations — internal audit, procurement officer, quarterly budget reporting — that were never implemented. The audit covered $1.9 million of PMU expenditure and excluded $53 million in state performance payments from its scope. Performance bonuses to senior ministry officials were in the audited accounts six months before the Bank publicly acknowledged them. When acknowledged, they were resolved with a PIM revision. The rating remained Moderately Satisfactory. The PIMs are lost.

This outcome was not produced by bad luck or difficult conditions. It was produced by an institution whose internal reward structure compensates approval and penalises obstruction; whose ICR process allows the GP to manage the permanent record of its own work; whose Board is co-opted into every approval and therefore cannot hold management accountable for results; and whose sovereign guarantee insulates it from every financial consequence of its own institutional failures.

Raballand documented the incentive structure in 2015. Brar documented the portfolio consequences in 2026. The IEG has documented the outcome pattern annually for a decade. The SOML case documents all of it at project level, with source citations from the Bank’s own public record.

Nigeria’s children and mothers paid for this programme. They will continue paying, through sovereign debt service, for 38 years. That debt should carry a record of what it failed to achieve — and a commitment from those who govern the institution that accountability for institutional failure will not remain, as it has for twenty-five years, the one reform that the institution consistently declines to make.


References and Primary Sources

Primary Documents — World Bank P146583

World Bank (2015a). Program Appraisal Document — Nigeria SOML PforR. Report No. 94852-NG. March 31, 2015.

World Bank (2015b). Integrated Fiduciary Systems Assessment — Nigeria SOML PforR. March 31, 2015. [Standalone public disclosure. Full FSA classified Official Use Only as Annex 5 of PAD.]

World Bank (2015c). Technical Assessment Report — Nigeria SOML PforR. March 31, 2015.

World Bank (2018). Implementation Status Report — Sequence 05. February 15, 2018.

World Bank (2019). Disclosable Restructuring Paper — P146583. December 18, 2019. [First public acknowledgment of bonus payments and fraud allegations.]

OAuGF (2018). SOML Audited Financial Statements — FY2016. Abuja: Office of the Auditor-General for the Federation.

OAuGF (2019). SOML Audited Financial Statements — FY2018. Signed June 17, 2019 by A.M. Ayine FCA. [Contains Note 6 — PMU incentives/bonuses; Note 7 — FMOH staff welfare, incinerator, laparoscopic equipment, Hajj payments.]

World Bank (2022a). Implementation Completion and Results Report — P146583. September 14, 2022.

IEG (2022b). Implementation Completion Report Review — P146583. 2022. [PDO outcome: Moderately Unsatisfactory. Efficiency: Negligible.]

Other Sources

Brar, P. (2026). Revised World Bank FCV Strategy: Suggestions for Consideration. February 2026. [Public comment, Phase II FCV Strategy consultation. Covers 7,772 projects, $109.3bn IDA commitments.]

Raballand, G., Roundell, T., and Mallberg, M. (2015). “Bank Staff Incentives and Public Sector Reform Projects.” Presentation, World Bank, Washington DC. [Core finding: no direct correlation between poorly performing projects and TTL career trajectory.]

PEFA Secretariat (2019). Nigeria PEFA Assessment 2018. [PI-30 External Audit: OAuGF rated D+, sub-scores D on follow-up and timeliness.]

Weaver, C. (2008). Hypocrisy Trap: The World Bank and the Poverty of Reform. Princeton University Press.

Zedillo Commission (2009). Repowering the World Bank for the 21st Century. Report of the High-Level Commission on Modernization of World Bank Group Governance. Washington DC: World Bank.

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