Contractor Can’t Use Pandemic as Excuse for not Delivering Gloves Needed for Pandemic; ORSA Technologies, LLC v. Department of Veterans Affairs, CBCA No. 7141February 16, 2022
Protester Lacked Standing Due to Unrebutted Conflict of Interest; CACI, Inc-Federal v. United States, COFC No. 21-1823CFebruary 16, 2022
Protester Fails to Marshal “Hard Facts In Support of Alleged Conflict; Halfaker and Associates, LLC, GAO B-420279.2 et al.February 16, 2022
Board of Contract Appeals Lacks Jurisdiction Over Software Company’s License Breach Claim When Software Was Sold Via ResellerFebruary 16, 2022
Unavailable Key Personnel: Differing Legal Standards at the GAO and Court of Federal ClaimsFebruary 16, 2022
President Biden’s Executive Order Mandates Project Labor Agreements for All “Large-Scale” Federal Construction ProjectsFebruary 16, 2022
Huntington Ingalls Considers Industrial Base Investment, as Sub Construction Lags BehindFebruary 16, 2022
Protesters’ Mere “Assumptions, Inferences, and Speculation” About Awardee’s Compliance with Subcontracting Limitations Not Enough to Sustain Protest; Blueprint Consulting Services, LLC, d/b/a Excelicon, Trillion ERP Venture Tech LLC, GAO B-420190 et al.February 15, 2022
Additional Strengths Not Merited When Protester’s Proposal Merely Met But Didn’t Exceed Solicitation Requirements; Gritter Francona, Inc., GAO B-420140.2, B-420140.4February 15, 2022
Business Disregarded SBA’s Requests for Documentation, Loses Its 8(a) Status; In the Matter of Geotechnical Innovation, PLLC, SBA No. BDPT-598February 15, 2022
Another Ticking Clock: Additional District Court Preliminarily Enjoins EO 14042 | Increasing Need for OMB Update on GA Court Clarification OrderFebruary 15, 2022
Protester Should Have Sought to Clarify “Scrivener’s Error” in Solicitation Amendment; Candor Solutions, LLC, GAO B-420308 et al.February 14, 2022
Protester that Received Highest Possible Ratings Has Hard Time Arguing It Deserved More Strengths; 22nd Century Technologies, Inc., GAO B-420139February 14, 2022