2. Procurement Rules and Practices

Requiring Paper Submisison for Contract Proposal

For all the contracts we had bid on, we were required to submit the proposals and revisions in multiple paper copies. This mandate delays the communication between us and the contracting agencies and it consumes a lot of paper. An electronic submission system can streamline this into a much more efficient and environmentally friendly process.

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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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1 vote

2. Procurement Rules and Practices

Accountability in Procurement Timelines

Establish upfront timelines for procurements and establish a performance metric or incentive for meeting those timelines. There is currently no incentive to meet procurement schedules. Extensions and delays should be the exception, not the norm. Delays are not only inefficient to meeting the mission goals but the longer cycles also hinder innovation and cost money. Industry requires predictability to manage their ...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 votes

2. Procurement Rules and Practices

Improve collaboration between buyers, procurement, suppliers

Issue: The Relationship between Buyers, Acquirers, and Suppliers is increasingly silo-ed and divisive versus engaged in collaborative problem solving. Recent events and articles have highlighted the need for increased collaboration and alignment between business/IT sponsors, procurement organizations, and suppliers/contracts. PSC’s Commission Report, “From Crisis to Opportunity”, as well as NCMA’s recent article, “Becoming ...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

Answers

Question 1: How can we make doing business with the government easier and less costly for small businesses, minority businesses, new entrants, and non-traditional government contractors? Answer 1: So far I have not encountered any costs with trying to start a business, because I am doing extension research first. I do see there are a lot of costs to get started. Question 2: If you are a small business, minority ...more »

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3. Small Business Participation

SAM system

I have been trying to get paid for a service I provided to the federal government awhile ago. Previously, I had an account on the CCR system. I have been trying to migrate it to the SAM system, without success. I have called the SAM help lines (there seem to be a few of them) many times. The main purpose of the representatives seems to be to upsell callers for a $599 service to facilitate the registration process. So, ...more »

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2 votes

2. Procurement Rules and Practices

Increase the Transparency of Decision Making Process

As a small business, we had a gap of 4 months just for an office to exercise an option on our IDIQ. Despite our requests, it was not clear who was responsible for each step in the process and where things fell down. Revealing the steps, person responsible and due dates will prevent small businesses from suffering when government people don't do their job. Somehow, government acquisition people need to be held accountable. ...more »

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17 votes

3. Small Business Participation

Improve Codes Used on FBO Announcements

FBO should list correct Product and Service Codes from the FPDS Manual found at http://www.acquisition.gov/PSC%20Manual%20-%20Final%20-%2011%20August%202011.pdf If the codes could be validated before posting, it would help small businesses locate appropriate opportunities. For example, it would be easier for a roofer to locate a roofing contract if the FBO announcement is coded with a 'Y' or 'Z' designation, instead ...more »

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9 votes

3. Small Business Participation

Clarity Needed for Intellectual Property Rights - GSA Schedules

Issue: Intellectual property rights as currently set forth in GSA Schedule contracts are unclear, cumbersome and unduly burdensome for contractors. The End User License Agreement (EULA) requirements remain unclear in IT Schedule 70. As such, each license agreement must be reviewed by the contracting officer and legal counsel. Recommendation: A basic set of terms should be developed that identify the key requirements ...more »

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38 votes

3. Small Business Participation

Restrictive Experience Requirements - GSA Schedules Program

Issue: Restrictive experience requirements under the GSA Schedule program. For example, under IT Schedule 70 a company must have been in business for at least two years to be eligible for a contract. The GSA Schedule experience requirements limit access to new, innovation companies providing cutting edge technologies. It is an unnecessary barrier to entry to the federal market place. Recommendation: Eliminate the mandatory ...more »

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33 votes