3. Small Business Participation

Campaign 3: Participation by small and minority businesses and non-traditional government contractors - We know many businesses lack the resources and expertise to participate in the Federal marketplace. We welcome feedback – especially by entities that are not participating in Federal contracting – to understand what steps we can take to make your participation possible.

We welcome feedback on how to increase participation in Federal contracting.

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?

Question 2: If you are a small business, minority owned business, or new entrant, what features of the federal acquisition system are most helpful and which are least helpful to you?

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

"Bundling" and Small Business

It would be beneficial if the end users were cognizant of what they were asking vendors to bid on. There have been many "E-Buy" solicitations that we have passed on because tossed into the package of furniture is some oddball piece that locks the bid into a larger firm that will only work with their "preferred" dealers and effectively garnering the entire package. Making it mandatory for the requestor to select product ...more »

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16 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

3. Small Business Participation

Burdensome Ordering Procedures for BPAs

Issue: The overly complex, burdensome ordering procedures for the establishment of Blanket Purchase Agreements (BPAs) under the GSA Schedules program. Specifically the preference for multiple award BPAs over single award BPAs. The strong preference of multiple award BPAs undermines the ability of customer agencies to achieve best value outcomes using the GSA Schedules program. It essentially limits the tools in the tool ...more »

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41 votes

3. Small Business Participation

PRC Removal and Multiple Award Schedule Pricing Reform

Issue: Reform the MAS Pricing Policies. Specifically, eliminate the Price Reduction Clause (PRC), GSAR Clause 552.238-75. The current MAS pricing policies do not reflect current practices in the commercial market place. The pricing policies are inconsistent with the statutory and regulatory mandates for competition at the order level. The increased transactional and contract administration costs for compliance with the ...more »

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51 votes

3. Small Business Participation

Extensive Data Collection Requirements

Issue: Extensive data collection requirements via the Federal Acquisition Regulation combined with an explosion in data reporting for agency specific procurement programs and the Federal Strategic Sourcing Initiative (FSSI). These data reporting requirements are increasing costs and risks for contractors across the federal procurement enterprise. Costs that are ultimately borne by customer agencies through higher prices ...more »

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43 votes

3. Small Business Participation

Regulatory Burden

Over the last decade, the number of laws, regulations and provisions that apply to commercial item have dramatically increased. For example, in 1996 under 52.212-5(b) there were 17 provisions of law or executive orders identified as applicable to commercial item contracts. In 2012, the number has climbed to 51. The resulting explosion of statutes and regulations applicable to commercial item contracting increases complexity, ...more »

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22 votes

3. Small Business Participation

FSSI Small Business Participation Percentages are Deceptive

The Federal Strategic Sourcing Initiative (FSSI) should be on every small business federal contractor's list of issues to quickly be educated upon. The FSSI has been identified as a procurement vehicle which it is expected will be applied to over 90% of all Federal Government Spending. In a nutshell, FSSI awards contracts to a select few while leaving the vast majority at-risk of losing government business. For example, ...more »

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10 votes

3. Small Business Participation

SB Contract Award & SB Contracting Goals Credit

Small Businesses operating in the federal marketplace often find themselves competing against Large Businesses who hold long term Multiple Award Contracts (MACs) that they obtained while they were a small business (SB). These large businesses may be able to compete as a SB in SB Set-Asides, even though they no longer qualify as a SB for the applicable NAICS code per SBA size determination regulation. For example, the ...more »

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6 votes

3. Small Business Participation

Better Data Structure between FBO & FPDS

Many procurements recur every 3-5 years with small deviations in the requirements. FBO provides today's snapshot of opportunities while FPDS provides the historical view - GSA should consider ways to structure data in these systems to better connect today's opportunities with its historical predecessor(s). By understanding how a particular contract unfolded previously could help new entrants better position themselves ...more »

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6 votes

3. Small Business Participation

Quick Reference Guides for Contracting Officers

Contracting Officers/Specialists get comfortable processing set aside contracts of a particular type. Some are more comfortable with the WOSB program versus SDVOSB or HUBzone and naturally gravitate towards what they know. We continually face the comment of "if you bring me an 8(a), I can make this happen quickly but I can't give you an estimate for how long it may take otherwise" SBA has an incomplete set of practical ...more »

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6 votes