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🔒 Members Only · Protests & Claims BriefYou’ve reached the member portion of this brief.Members read the full analysis and the source documents in every Brief, six days a week.
Update on Challenge to the Constitutionality of the SBA 8(a) Program
Greenhouse Gas Reporting Coming Soon to Federal Contractors
Pentagon’s Annual Weapon Test Report Reverses Classification, Details Major Program Challenges
Why 2023 Is Shaping Up to Be a Rough Ride for Federal Contractors
You Heard Right, the Next Potential Government Shutdown Is Coming into View
If the Solicitation Requires Expertise on Agency Policy, Don’t Cite Rescinded Policy Statements to Demonstrate Your Expertise
Be Careful When Arguing the Agency Misinterpreted the Solicitation. You May Convince the Court You’ve Waived a Challenge to a Patent Ambiguity.
Agency Said the Record Needed Further Development So It Hadn’t Delayed in Taking Corrective Action. Why Did GAO Disagree and Recommend Protest Costs?
Attention SBIR Applicants…Remember that Affiliation Rules Still Apply
Law to Create One Stop Shop for Small Businesses Questions
No More Non-Competes? FTC Proposes Rule Banning Nearly All Non-Compete Agreements with Workers
Newly Enacted Legislation Calls for Updates to the FAR’s OCI Rules
DOD Items Worth $220B Unaccounted For, GAO Says
Procurement Expectations for FY23
The Escalating Costs of Government Regulations
Nightmare Fuel: Attorney’s EPDS Account Had Been Deactivated So He Emailed the Protest to GAO. Why Did GAO Still Refuse to Consider It?
Agency Didn’t Implement the Corrective Action It Promised. Why Did GAO Let It Slide?
Protester Had Higher Adjectival Ratings than the Awardee on More Technical Subfactors. How Was the Awardee Still Technically Superior?
If the Agency Says Your Proposal Didn’t Satisfy a Requirement, But You Think It Did, Your Protest Better Cite the Portions of the Proposal that Meet the Requirement
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