![]() Part of exercising the option is to update contract clauses 52.212-4 and 52.212-5. Each contract has a $20 Billion contract limit.Ĭontract Ceiling Limit: The current available ceiling for any given contract is a minimum of. The base contracts were awarded for 5 years with one 5 year option for a total of 10 years. It is recommended to post requirements to multiple groups for maximum competition.Īll SEWP V Contracts have an effective ordering period of through April 30, 2025. Per Fair Opportunity as required by FAR Part 16, all Contract Holders within any one individual group must be considered (the SEWP on-lineĪutomatically provide the Fair Opportunity groupings when selecting Contract Holders). Note that each competed group has the same scope which provides overlap among all contracts and groups. Group D was a full and open competition and consists of both small and large businesses. Group C was a small business set-aside for Small Businesses. Group B(2) was a small business set-aside for Service Disabled Veteran Owned Small Businesses (SDVOSB). Group B(1) was a small business set-aside competition for HUBZone businesses. Groups B, C, and D consists primarily of Value Added Resellers. Group A was a full and open competition and consists primarily of large and small OEM’s/manufacturers. Groups A, B(1), B(2), C and D were awarded through a competitive process. SEWP is divided into 5 Groups of contracts. Michelle Litteken, the author of this blog, is Counsel in the Firm’s Government Contracts Claims and Appeals, Government Contracts, False Claims Act, and Litigation & Dispute Resolution practice groups.NOTE: Upon clicking on a Contract Holder name from the list, the base contract can be found in the “Contract Documents”. If you have questions about protests or other concerns related to government contracting, please contact a member of PilieroMazza’s Government Contracts Group. Understanding the rules that apply to task order protests can give a contractor an advantage. In this competitive environment, every procurement can be critical. There is no jurisdiction for a size protest of a task order unless the Contracting Officer explicitly requires offerors to recertify. In many procurements, offerors certify their size and status when the GWAC or IDIQ is awarded. Instead, to file a size protest, the solicitation must have required offerors to recertify their size. For a size protest, there is no minimum award value requirement.And, the protest may be filed with the agency, GAO, or the COFC. A disappointed offeror may protest the award of a task order issued under an FSS contract, regardless of the award value. If a task order is awarded under a General Services Administration Federal Supply Schedule (FSS) contract, the dollar limits discussed above do not apply.There is a narrow exception to the limits in Numbers 1 and 2 if a protester argues that the task order increases the scope, period, or maximum value of the master contract, the protest may be filed with GAO, the agency, or the COFC, and there is no minimum value requirement.The Court of Federal Claims (COFC) does not have jurisdiction to hear the protest, and agency-level protests are also not allowed. Protests of task orders issued under GWACs and IDIQs can only be filed at the Government Accountability Office (GAO).If the task order is awarded under a civilian agency contract vehicle, the awarded value must exceed $10M. If the task order is awarded under a Department of Defense GWAC or IDIQ, the awarded value must exceed $25M. ![]() If a task order is issued under a GWAC (e.g., Alliant 2, CIO-SP3, SEWP) or an IDIQ contract, the award can be protested only if the awarded value of the task order exceeds a minimum dollar threshold.Below are five things contractors should know about task order protests. Understanding these rules is essential for any government contractor competing for task order awards. Although a task order may be similar to a contract in many respects, the rules that apply to protesting the award of a task order are different. Because of the push toward category management and the growth in government-wide acquisition contracts (GWAC) and indefinite delivery, indefinite quantity (IDIQ) contracts, many of the procurements involve task orders. With the fiscal year coming to a close, federal agencies are issuing notices of award and disappointed offeror letters.
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