The proposed rule is unclear as to whether under the GSA Schedules' new set-aside procedures, regarding whether an order or BPA could be made on a sole source basis to either a HUBZone firm or a SDVOSB. The rules seem to imply this, but perhaps that's at the GSA Contract level and not at the order or BPA level. I hope the final rule will clarify.
The clauses I'm referring to that imply the single source are at 52.219-3 and 52.219-27, and the new implementation language in FAR Parts 19.308 and 19.1407.
Comment on FR Doc # 2011-27786
This is comment on Rule
Federal Acquisition Regulation: Set-Asides for Small Business; FAR Case 2011-024
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