I just finished reading the DoDOIG audit report criticizing DCMA ACOs for failing to use cost analysis to evaluate contractor FPRPs, for failing to tailor requests for field pricing assistance so that DCAA could issue audit reports in time to meet agency-imposed deadlines, and for failing to properly document their files.
http://www.dodig.mil/pubs/documents/DODIG-2015-006.pdf
I'm finding a couple of fundamental flaws in the IG's logic about the application of FAR Part 15 to contractor FPRPs. Anybody else see what I see?
H2H