As a state certified DBE firm for the last 18 years, I endorse the proposed improvements to 49 CFR Part 26. I have experienced great frustration, time and expense to become certified in other states and the process has actually discouraged me from expanding the services of my company due to this process.
The PNW "cap" should be adjusted to $1.31 million but there should still be limitations on excluding assets in retirement savings. Elimination of such assests can lead to abuse. I have found that not all states in which I am certified, and until recently even myself, understood that assests in IRAs and 401k plans are allowed to be adjusted for withdrawal expense and tax penalties.
Fred C. Cooper
This is comment on Rule
Disadvantaged Business Enterprise: Program Improvements
View Comment
Related Comments
View AllPublic Submission Posted: 05/11/2010 ID: DOT-OST-2010-0118-0002
Jul 09,2010 11:59 PM ET
Public Submission Posted: 05/18/2010 ID: DOT-OST-2010-0118-0004
Jul 09,2010 11:59 PM ET
Public Submission Posted: 05/18/2010 ID: DOT-OST-2010-0118-0005
Jul 09,2010 11:59 PM ET
Public Submission Posted: 05/18/2010 ID: DOT-OST-2010-0118-0006
Jul 09,2010 11:59 PM ET
Public Submission Posted: 05/19/2010 ID: DOT-OST-2010-0118-0008
Jul 09,2010 11:59 PM ET