Sunstrider Posted May 11, 2019 Report Share Posted May 11, 2019 Synopsis of proposed FMS contract actions is exempted at FAR 5.202(a)(3). That said, shift gears to synopsis of contract awards IAW FAR Subpart 5.3. Once executed, is there a requirement to synopsize FMS contract awards? I often see DoD public announcement of FMS contract awards valued at $7M or higher, so this is why I ask. Link to comment Share on other sites More sharing options...
ji20874 Posted May 11, 2019 Report Share Posted May 11, 2019 I have never assumed that an exemption from pre-solicitation synopsis automatically provides an exemption from post-award synopsis. Rather, each has its own list of exceptions. There is some overlap, but the two lists are not identical. Link to comment Share on other sites More sharing options...
C Culham Posted May 11, 2019 Report Share Posted May 11, 2019 2 hours ago, ji20874 said: I have never assumed that an exemption from pre-solicitation synopsis automatically provides an exemption from post-award synopsis. Rather, each has its own list of exceptions. There is some overlap, but the two lists are not identical. Wait! Is not there a difference between synopsis of award and public announcement (FAR 5.303)? If yes a FMS of $4M or more for non DoD agencies is to be publically announced is it not? Link to comment Share on other sites More sharing options...
formerfed Posted May 11, 2019 Report Share Posted May 11, 2019 12 hours ago, Sunstrider said: I often see DoD public announcement of FMS contract awards valued at $7M or higher, so this is why I ask. I know it’s confusing but a FMS solicitation is exempt but the contract award is not. I assume the award notices in the GPE don’t really happen much though through neglect or just forgetting. However there is a requirement for Congressional notification of DoD awards over $7 million. That includes FMS and that’s why you see those published outside of the GPE process http://farsite.hill.af.mil/reghtml/regs/far2afmcfars/fardfars/dfars/dfars205.htm#P60_1211 and because that’s a Congressional notification, it doesn’t get overlooked Link to comment Share on other sites More sharing options...
Sunstrider Posted May 27, 2019 Author Report Share Posted May 27, 2019 On 5/11/2019 at 11:44 AM, formerfed said: I know it’s confusing but a FMS solicitation is exempt but the contract award is not. I assume the award notices in the GPE don’t really happen much though through neglect or just forgetting. However there is a requirement for Congressional notification of DoD awards over $7 million. That includes FMS and that’s why you see those published outside of the GPE process http://farsite.hill.af.mil/reghtml/regs/far2afmcfars/fardfars/dfars/dfars205.htm#P60_1211 and because that’s a Congressional notification, it doesn’t get overlooked I had a hunch it was required, as there was no explicit exception for the contract award synopsis. Interestingly enough, DSCA emphasizes this: https://www.dsca.mil/contracting/guide/award/step-3-part-1 I suspect the pre-award synopsis exception at FAR 5.202(a)(3) is to mitigate the already tedious FMS acquisition process. But that's just my opinion... Link to comment Share on other sites More sharing options...
here_2_help Posted May 27, 2019 Report Share Posted May 27, 2019 50 minutes ago, Sunstrider said: I suspect the pre-award synopsis exception at FAR 5.202(a)(3) is to mitigate the already tedious FMS acquisition process. But that's just my opinion... If you think the process is tedious, you should see it from the contractor's perspective .... Link to comment Share on other sites More sharing options...
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