Hello All,
Assume a stop work order is issued in a federal contract due to COVID and last for 90 days. After 90days the client cancelled the SWO. Now the time impact due to the 90days SWO is 120days. In that case, will the contractor eligible to claim the followings as per FAR 52.242-15?
Idle charges for the SWO period of 90 days
Indirect cost required for the extended period 120days
Please provide your thoughts