Decision to Set Aside Procurement for SDVOBs Was Unobjectionable; KPMG LLP, GAO B-420388, B-420388.2March 14, 2022
Contractor Can’t Prove Differing Site Condition When It Misinterpreted Contract Specifications; Phillips & Jordan, Inc. v. United States, COFC No. 15-1301March 14, 2022
Protester Entitled to Fees at Rate Higher than Statutory Limit Due to Increase in Cost of Living; WorldWide Language Resources, Inc.– Costs, GAO B-418767.4March 14, 2022
No PIA Violation Where Awardee Obtained Protester’s Information as Part of their Prime-Sub Relationship on Incumbent Contract; Mitchco International, Inc. v. United States, Fed. Cir. 2021-1556March 10, 2022
Court Perplexed as to How Protester Could Move for Judgment on the Administrative Record Without Citing the Record; Facility Healthcare Service, Inc. v. United States, COFC No. 21-1978CMarch 9, 2022
Protester Not Prejudiced If It Also Benefited from Agency’s Error; G4S Secure Integration LLC v. United States, COFC No. 21-1817CMarch 9, 2022
GAO Recommends Protest Costs Even Though Agency Took Corrective Before Deadline to File Agency Report; Amaze Technologies, LLC, GAO B-419919.2March 8, 2022
Protester Was not an Actual or Prospective Bidder and Thus Was Not an Interested Party; Colsa Corporation v. United States, COFC No. 21-1912CMarch 8, 2022
Awardee Had Access to Non-Public Information But It Wasn’t Competitively Useful; Science Applications International Corporation, GAO B-419961.3, B-419961.4March 7, 2022
Criminal Convictions of Awardee’s Principals Didn’t Preclude Affirmative Responsibility Determination; Second Street Holdings LLC, 600 Second Street Holdings LLC, and Seven Hundred 2nd Street Holding LLC, GAO B-417006 et al.March 4, 2022
Agency Properly Rejected Proposal for Lack of Active SAM Registration, CGS-ASP Security JV LLC, GAO B-420497March 4, 2022
Agency Not Required to Disregard Past Performance Reference Protester Submitted in Favor of Information Protester Didn’t Provide; Theodor Wille Intertrade GmbH, GAO B-419269.4 et al.March 2, 2022
Agency Reasonably Rejected SBIR Proposal that Wasn’t Directed to Any Specific “Area of Interest”; Front End Analytics, LLC, GAO B-420024.2 B-420024.3March 1, 2022
Agency Decision to Take Corrective Action in Response to Second Protest Doesn’t Make Initial Protest “Clearly Meritorious”; WILL Technology, Inc.–Costs, GAO B-419815.6March 1, 2022
Federal Circuit Reverses COFC, Reaffirms that Protester Has Standing If They Would Have Opportunity to Participate in New Procurement; VAS Realty, LLC v. United States, Fed. Cir. 2021-1962February 28, 2022
Agency Appropriately Penalized Offeror for Typos in Proposal; Zermount, Inc, GAO B-420174, B-420174.2February 28, 2022
Preference for Contractor with Nuclear Safety Experience Was Not Unduly Restrictive; Government and Military Certification Systems, Inc., GAO B-4210241.2February 28, 2022
Protester Already Had an Outstanding Rating, So Agency’s Failure to Assign Additional Strengths Wasn’t Prejudicial; Chevo Consulting, LLC, GAO B-20242, B-420242.2February 25, 2022
Protester Didn’t Challenge Eligibility of Intervening Offeror And Thus Was Not an Interested Party to Raise Additional Protest Grounds; Kearney & Company, PC, GAO B-420331, B-420331.2February 25, 2022
Agency Improperly Based Award Decision on Quotation Composed of Submission from Two Different Vendors; Softrams, LLC; Chags Health Information Technology, LLC, GAO B-419927.4 et al.February 24, 2022