Has anyone discussed how this effects or does not effect the use of Facebook, Instagram, YouTube or other similar platforms by many Federal Agencies in the promotion of their own agency? Would be interested in any view or comment, as none of those vendors are registered in SAM, therefore have not had to state whether or not the comply or do not comply to the clause.
FAR Council Implements Interim FAR Rule Prohibiting Contractor Use of Chinese Telecom Products
in SmallGovCon.com
A blog by Koprince Law LLC in General
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Has anyone discussed how this effects or does not effect the use of Facebook, Instagram, YouTube or other similar platforms by many Federal Agencies in the promotion of their own agency? Would be interested in any view or comment, as none of those vendors are registered in SAM, therefore have not had to state whether or not the comply or do not comply to the clause.