Proposed Rule Clarifies Requirement for Justifications for 8(a) Sole Source Contracts

A proposed rule published in today’s Federal Register would amend the Federal Acquisition Regulation to clarify the guidance for sole-source 8(a) contract awards exceeding $22 million. This rule would implement a recommendation by the Government Accountability Office regarding the need for additional guidance on when an 8(a) justification is required. The proposed guidance would clarify […]
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