Sunday, October 13, 2024

PilieroMazza: 2022 NDAA Makes Significant Changes to Federal Procurement Policy

“On December 27, 2021, President Biden signed the FY22 National Defense Authorization Act (NDAA) into law, authorizing more than $700 billion in defense spending.  The NDAA also contains several provisions that shape federal procurement policies and forecast areas that Congress believes warrant attention in the future.  PilieroMazza examines three themes in this year’s NDAA that contractors should know to take advantage of contract opportunities and maintain compliance requirements.

  1. Continued Support for Domestic Preferences and Supply Chain Security

Congress sent a clear signal that it supports the recent trend of strong domestic preference requirements and remains concerned about China’s influence over the federal supply chain.  In one extreme, the NDAA prohibits certain procurements of Chinese goods.  For example, the it amends the U.S. Code to prohibit the Secretary of Defense from purchasing personal protective equipment (PPE) from China, Russia, Iran, or North Korea, absent a waiver from the Secretary.  (Sec. 802).  The law broadly defines PPE to include everything from gloves to face masks, which could present sourcing problems as many of these items are manufactured primarily in China.  The NDAA also prohibits using authorized funds to procure goods produced with labor from China’s Xinjiang Uyghur Autonomous Region in response to the human rights issues reported in that area. (Sec. 848)…”

“2. Focus on Small Businesses

Although not as robust as previous years, the NDAA contains several significant provisions addressing small businesses.  First, the NDAA directs SBA’s Office of Hearing and Appeals to decide all appeals related to HUBZone status challenges.  (Sec. 864).  Second, the NDAA orders the Pentagon to report on the effects of the Cybersecurity Maturity Model Certification (CMMC) framework on small business concerns.  (Sec. 866).  The report must detail estimated costs of compliance, expected changes to the number of small businesses in the defense industrial base, and efforts to mitigate negative effects.  This provision is a big win for small businesses since it forces the Pentagon to consider the ripple effects to the lower-tiered small businesses as it revamps the CMMC program.  In addition, the NDAA now requires companies to report in SAM within two days of receiving a final determination that the company does not qualify as a small business concern or fall within other socio-economic programs.  (Sec. 862)…”

“3. Procurement of Innovative Technologies and Commercial Contracting

Continuing a trend, the NDAA also includes provisions to make it more efficient for the government to procure innovative technologies.  For example, the NDAA authorizes a pilot program allowing DOD to procure four emerging technologies using newly developed, unique acquisition mechanisms.  The program’s purpose is to improve the transition speed of emerging technologies into acquisition programs or into operational use.  (Sec. 833).  A separate pilot program is authorized to establish a competitive, merit-based program to accelerate procurement and handling of innovative technologies with preferences for small business and non-traditional contractors. (Sec. 834).  It also singles out small businesses for a pilot program to develop technology-enhanced capabilities for special operation forces.  (Sec. 851)…” Read the full article here.

Source: 2022 NDAA Makes Significant Changes to Federal Procurement Policy – By Kevin Barnett, December 27, 2021. PilieroMazza.

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Jackie Gilbert
Jackie Gilbert
Jackie Gilbert is a Content Analyst for FedHealthIT and Author of 'Anything but COVID-19' on the Daily Take Newsletter for G2Xchange Health and FedCiv.

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