I am concerned about the reliance and time table placed on DCAA for this rule. We haven't received hardly any business system audits since 2003. The one business system audit we received recently was based on data from 2007. DCAA could not tell us if those conditions or deficiencies noted in 2007 were still in effect or not. DCAA stated they would have to do a follow-up audit on the system. How long is that going to take? How long are we supposed to impose withholds while waiting on DCAA to determine if a CAP is acceptable or that the deficiencies are corrected? We are still waiting on follow-up answers on this from DCAA. Furthermore, the contractor has shown us that they have completed their corrective action plan, but have yet to hear whether DCAA believes the deficiency was adequately corrected.
Comment on FR Doc # 2010-30953
This is comment on Proposed Rule
Defense Federal Acquisition Regulation Supplement: Business Systems-Definition and Administration
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