2. Procurement Rules and Practices

budget

if Congress stopped requiring procurment to spend their full budget every year, gov't would be more creative with their spending and more careful. Now it's - we have the money, give it to them; and when the money ois gonem the project stops. When we negotiate, we should SAVE money to use on something else FOR something else to get more bang for the buck and spread more money around to small businesses.

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3. Small Business Participation

standardization of small business verification

Standards need to be established to for how buyers are completing their due diligence as it relates to verification of classifications. If the government worked to align its practices between systems, regulated/verified information submitted, and created a more holistic structure of classifications, the government would see better practices, overall increased compliance, and enhanced utilization of small businesses. ...more »

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2. Procurement Rules and Practices

Vendor accountability

The government should be less reluctant to bar vendors with poor federal contract past performance from participating in federal business opportunities, or should otherwise provide a centralized resource for reporting and reviewing past performance on federal contracts. The bar for being placed on EPLS is alarmingly high. While it makes sense that the government would be cautious and judicious in adding a registered contractor ...more »

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2. Procurement Rules and Practices

Communicating Procurement Rules to Vendors

The federal procurement community should create a document that outlines the most common regulations with which buyers must comply, in a way the average (non-contracting) person could understand. This would give vendors more insight into why contracting officers make the decisions they do, leading to less frustration and fewer questions. This would also create more accountability on part of the purchasing agent to with ...more »

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2. Procurement Rules and Practices

New contractor registration process

The government may be able to increase the likelihood of new vendor participation (particularly among small businesses) if it lowers the ‘barrier of entry’ to doing business with the government through contractor registration simplification. One of the most common complaints from Sellers new to Federal procurement is the process of needing to register with multiple databases (DUNS, SAM, ORCA, IPP) before a vendor can ...more »

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2. Procurement Rules and Practices

Procurement Improvements Beyond the FAR

Certainly there are many changes to the FAR possible to improve its shortcomings. Beyond that, however, Contract Specialists, Administrative Contracting Officers, legal contract reviewers, and the many program staff members that provide input to Procurement can improve the acquisition process. There are no hindrances to government personnel coming together to create internal metrics, to improve accountability, timeliness ...more »

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3. Small Business Participation

Publish Reports for Agencies attempt for Small Biz set asides

Government has been doing great things on setting up policies like "Cloud First". Same must be considered for "Small Business First" for each and every procurement and have those evaluation/findings report publish to small business so, businesses can improve on how decisions were made. This provides opportunity for small business to improve and extend services as expected.

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2. Procurement Rules and Practices

LPTA Should Only Be Used For Commodities

Use of Lowest Price Technically Acceptable (LPTA) source selection procedures has increased considerably in recent years and in many cases it is being used inappropriately when the government is not acquiring commodity goods and services. If the product or service cannot be well defined, so that all competitiors are effectively competing on supplying the same product or service, LPTA shouls not be used. Also, if there ...more »

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3. Small Business Participation

Expand Utilization Goals to Include More than Dollar Volumes

The current structure for agency reporting relevant to small business utilization goals is flawed, in that it allows agencies to grossly misinterpret the intent of the these goals. Agencies are required to report dollar volumes at this time. This is an accurate representation of whether or not the dollars are going to small businesses, but it is not an accurate representation of how many small businesses are receiving ...more »

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3. Small Business Participation

Credit subcontracting dollars towards socioeconomic goals.

Mid-tier businesses have valuable government contracting experience and power the economy by subcontracting with small business concerns. Prohibiting these dollars from counting towards an agency’s socioeconomic goals artificially reduces the apparent government investment in such companies. As a result, SBA goals are treated with heightened importance, creating greater exclusion of sources in open competition and increasing ...more »

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3. Small Business Participation

Increase agency discretion in defining & using size standards.

Agencies should have more flexibility and discretion in defining and using size standards by NAICS code and ownership category to solve the ‘mid-tier trap’ that limits participation and reduces the value created by the small business program. Some departments have recently recognized the value and challenges of mid-tier businesses, many of which are successful graduates of the small business program. When successful ...more »

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3. Small Business Participation

Need More NAICS Opportunities for WOSBs

I noticed there are not a lot of different opportunities available for WOSBs across various NAICS codes. I receive alerts from FBO for my NAICS codes. However, I haven't received many that are set aside for WOSBs. There needs to be more opportunities across different NAICS codes. I know there are many NAICS codes that are eligible for WOSB set aside, but I haven't seen many contracts advertised that fall under many of ...more »

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