As a lease contracting officer (LCO), I'm wanting to get feedback on a current situation. Referencing the Competition in Contracting Act (CICA), does this apply in situations where a federal agency is already occupying commercial space (converse to a new requirement, solicitation and bidding process)? In other words, is GSA required to advertise a new lease opportunity on the open market, or can a Justification for Other than Full and Open Competition (JOFOC) apply when an agency wants to "stay in place"?