August 8, Dear Mr. Ginman:

Similar documents
SIGAR. CONTRACTING WITH THE ENEMY: DOD Has Limited Assurance that Contractors with Links to Enemy Groups Are Identified and their Contracts Terminated

~ / 5 /3~ SEP MEMORANDUM FOR DISTRffiUTION. SUBJECT: Class Deviation- Prohibition on Contracting with the Enemy

DEPUTY SECRETARY OF DEFENSE 1010 DEFENSE PENTAGON WASHINGTON DC

SIGAR JULY. Special Inspector General for Afghanistan Reconstruction

Department of Defense INSTRUCTION

SUBPART ORGANIZATIONAL AND CONSULTANT CONFLICTS OF INTEREST (Revised December 29, 2010)

(Billing Code ) Defense Federal Acquisition Regulation Supplement: Defense. Contractors Performing Private Security Functions (DFARS Case

DFARS Procedures, Guidance, and Information

June 6, Major General Jeffrey N. Colt Deputy Commander, United States Forces Afghanistan

Report No. DODIG May 15, Evaluation of DoD Contracts Regarding Combating Trafficking in Persons: Afghanistan

DOD INSTRUCTION DIRECTOR OF SMALL BUSINESS PROGRAMS (SBP)

(Billing Code ) Payment in Local Currency (Afghanistan) (DFARS Case 2013-D029) Regulation Supplement (DFARS) to incorporate into the DFARS

Department of Defense INSTRUCTION

Department of Defense INSTRUCTION

Open DFARS Cases as of 5/10/2018 2:29:59PM

Department of Defense INSTRUCTION. SUBJECT: DoD Contractor's Safety Requirements for Ammunition and Explosives

SIGAR NOVEMBER 2017 SIGAR SP

THE UNDER SECRETARY OF DEFENSE 3010 DEFENSE PENTAGON WASHINGTON, DC

DEPARTMENT OF DEFENSE MISSION STATEMENT

Department of Defense DIRECTIVE. SUBJECT: Department of Defense Small Business and Small Disadvantaged Business Utilization Programs

POLICY: Effective for all solicitations issued after 21 June 2010 and in resultant contracts, except for acquisitions-.

DEPARTMENT OF THE NAVY OFFICE OF T HE ASSISTANT SECRETARY RESEARCH, DEVELOPMENT AND ACQUISITION 1000 NAVY PENTAGON WASHINGTON DC

FEDERAL CONTRACTS PERSPECTIVE Federal Acquisition Developments, Guidance, and Opinions

potential unfair competitive advantage conferred to technical advisors to acquisition programs.

GAO CONTINGENCY CONTRACTING. DOD, State, and USAID Continue to Face Challenges in Tracking Contractor Personnel and Contracts in Iraq and Afghanistan

(Revised January 15, 2009) DISCLOSURE OF INFORMATION (DEC 1991)

PART 21 DoD GRANTS AND AGREEMENTS GENERAL MATTERS. Subpart A-Introduction. This part of the DoD Grant and Agreement Regulations:

July 30, SIGAR Audit-09-3 Management Information Systems

The Other Transaction Authority Basic Legal Principles*

Part 1: Employment Restrictions After Leaving DoD: Personal Lifetime Ban

Department of Defense INSTRUCTION

DOD INVENTORY OF CONTRACTED SERVICES. Actions Needed to Help Ensure Inventory Data Are Complete and Accurate

ANNUAL POST-EMPLOYMENT CERTIFICATION & NOTIFICATION TO SENIOR OFFICIALS OF POST-GOVERNMENT EMPLOYMENT RESTRICTIONS UNDER 18 U.S.C.

Continuing Opportunities and Challenges in Afghanistan, Iraq, and Pakistan Contracting. David C. Hammond Robert S. Nichols Christopher E.

Department of Defense INSTRUCTION

Defense Federal Acquisition Regulation Supplement: Amendments. Related to Sources of Electronic Parts (DFARS Case 2016-D013)

SIGAR JANUARY 2013 SIGAR SP-13-2

World-Wide Satellite Systems Program

SIGAR NOVEMBER 2017 SIGAR SP OFFICE OF SPECIAL PROJECTS

(Billing Code ) Defense Federal Acquisition Regulation Supplement: Defense. Contractors Performing Private Security Functions (DFARS Case

ACTION: Notice of Proposed Amendments to SBIR and STTR Policy Directives.

DOD Anti-Counterfeit Rule Requires Immediate Action --By Craig Holman, Evelina Norwinski and Dana Peterson, Arnold & Porter LLP

DEPARTMENT OF THE NAVY OFFICE OF THE ASSISTANT SECRETARY (RESEARCH, DEVELOPMENT AND ACQUISITION) 1000 NAVY PENTAGON WASHINGTON DC

PART 21-DoD GRANTS AND AGREEMENTS--GENERAL MATTERS. Subpart A-Defense Grant and Agreement Regulatory System

(Billing Code ) Defense Federal Acquisition Regulation Supplement: Costs. Related to Counterfeit Electronic Parts (DFARS Case 2016-D010)

KDOT Procurement Guidelines for STP/CMAQ Funded Planning, Education, and Outreach Projects Effective 10/1/12

Department of Defense INSTRUCTION

Defense Federal Acquisition Regulation Supplement: Micro- AGENCY: Defense Acquisition Regulations System, Department of

The Contract Manager's Role

Department of Defense Policy and Guidelines for Acquisitions Involving Environmental Sampling or Testing November 2007

Open DFARS Cases as of 12/22/2017 3:45:53PM

Subcontracting Program Update August 2017

Department of Defense INSTRUCTION

Department of Defense DIRECTIVE

Updates: Subcontracting Program TRIAD

Report No. D July 14, Additional Actions Can Further Improve the DoD Suspension and Debarment Process

CENWD-ZA 04 February 2016

30 10 DEFENSE PENTAGON WASHINGTON, DC

DEPARTMENT OF THE NAVY NAVAL AIR SYSTEMS COMMAND RADM WILLIAM A. MOFFETT BUILDING BUSE ROAD, BLDG 2272 PATUXENT RIVER, MARYLAND

SIGAR OCTOBER. Special Inspector General for Afghanistan Reconstruction. SIGAR 14-6 Inspection Report. SIGAR 14-6-IP/Gardez Hospital

(Billing Code ) Negotiation of a Reciprocal Defense Procurement Memorandum of. Understanding with the Ministry of Defense of Estonia

ANNUAL CERTIFICATION BY PUBLIC FINANCIAL DISCLOSURE FILERS

OFFICE OF SPECIAL PROJECTS DEPARTMENT OF STATE ASSISTANCE TO AFGHANISTAN: $4 BILLION OBLIGATED BETWEEN 2002 AND 2013

Army Competition Advocacy Program

Department of Defense INSTRUCTION

Evaluation of DoD Contracts Regarding Combating Trafficking in Persons: U.S. European Command and U.S. Africa Command

FEDERAL CONTRACTS PERSPECTIVE Federal Acquisition Developments, Guidance, and Opinions

PRELIMINARY PLANNING AND DURATION OF PUBLIC-PRIVATE COMPETITIONS (SEC. 937)

Open FAR Cases as of 2/9/ :56:25AM

Commercial Solutions Opening Innovation in Contracting

CONTRACTING IN IRAQ AND AFGHANISTAN AND PRIVATE SECURITY CONTRACTS IN IRAQ AND AFGHANISTAN

SUBPART ACQUISITIONS IN SUPPORT OF OPERATIONS IN IRAQ OR AFGHANISTAN (Added September 15, 2008)

Procurement Division DoDEA Administrative Instruction May 4,2005 ADMINISTRATIVE INSTRUCTION

Bringing the Issues Posed by the DFARS PGI to Light

Department of Defense INSTRUCTION

DEPARTMENT OF THE NAVY OFFICE OF THE SECRETARY 1000 NAVY PENTAGON WASHINGTON, DC

GAO CONTINGENCY CONTRACTING. DOD, State, and USAID Contracts and Contractor Personnel in Iraq and Afghanistan. Report to Congressional Committees

DEPARTMENT OF THE NAVY OFFICE OF THE ASSISTANT SECRETARY (RESEARCH, DEVELOPMENT AND ACQUISITION) 1000 NAVY PENTAGON WASHINGTON, DC

Subj: IMPLEMENTATION OF THE DEPARTMENT OF THE NAVY SMALL BUSINESS PROGRAMS

DFARS Procedures, Guidance, and Information

SIGAR. $14.7 Million Warehouse Facility at Kandahar Airfield: Construction Delays Prevented the Facility from Being Used as Intended J U L Y

GAO DEFENSE CONTRACTING. Improved Policies and Tools Could Help Increase Competition on DOD s National Security Exception Procurements

January 28, Acquisition. Contract with Reliant Energy Solutions East (D ) Department of Defense Office of the Inspector General

Final Special Inspector General for Afghanistan Reconstruction

Army Needs to Improve Contract Oversight for the Logistics Civil Augmentation Program s Task Orders

Department of Defense INSTRUCTION

DEPARTMENT OF THE NAVY OFFICE OF THE ASSISTANT SECRETARY (RESEARCH. DEVELOPMENT AND ACQUISITION) 1000 NAVY PENTAGON WASHINGTON DC

409th CSB Thresholds. All best-value, negotiated, competitive acquisitions under FAR 15 (see DoD SSP doc for exceptions) and AFARS 5115.

SIGAR. Department of State s Demining Activities in Afghanistan: Audit of Costs Incurred by the Mine Detection Dog Center M A R C H

Department of Defense INSTRUCTION

GAO IRAQ AND AFGHANISTAN. DOD, State, and USAID Face Continued Challenges in Tracking Contracts, Assistance Instruments, and Associated Personnel

DFARS Procedures, Guidance, and Information

THE UNDER SECRETARY OF DEFENSE WASHINGTON, DC

SIGAR APRIL Qala-I-Muslim Medical Clinic: Serving the Community Well, But Construction Quality Could Not Be Fully Assessed

Small Business Subcontracting Plans & Reporting

SUPPLEMENT TO SIGAR S APRIL 2018 QUARTERLY REPORT TO THE UNITED STATES CONGRESS

Department of Defense DIRECTIVE

March 5, The Honorable P. Michael McKinley U.S. Ambassador to Afghanistan. Dear Ambassador McKinley:

HOUSE OF REPRESENTATIVES BUY AMERICAN AMENDMENTS TO THE FY 2004 DEFENSE AUTHORIZATION BILL

SIGAR. Afghan National Defense and Security Forces: DOD Cannot Fully Account for U.S.-funded Infrastructure Transferred to the Afghan Government

Transcription:

August 8, 2013 Mr. Richard T. Ginman Director, Defense Procurement and Acquisition Policy Office of the Under Secretary of Defense for Acquisition, Technology, and Logistics Department of Defense Dear Mr. Ginman: Thank you for your memorandum dated May 14, 2013, regarding SIGAR s recent audit report on the Department of Defense s (DOD) implementation of Section 841 of the Fiscal Year 2012 National Defense Authorization Act (FY2012 NDAA), which prohibits contracting with the enemy. 1 As you noted in your memorandum, DOD s Office of Defense Procurement and Acquisition Policy (DPAP) concurred with five of our seven recommendations and described specific steps it is taking to address them. In particular, your memorandum described DPAP s efforts to improve DOD s visibility over active contracts in Afghanistan; prevent duplication of data collection efforts; and ensure that Heads of Contracting Activity (HCA) have the information needed to respond to legal challenges and financial liabilities that result from exercising their Section 841 authorities. SIGAR welcomes these actions and believes they will improve DOD s ability to ensure U.S. taxpayer funds do not end up in the hands of insurgents or others in opposition to coalition forces. However, I was particularly troubled by DPAP s refusal to concur with our recommendation to require prime contractors to certify that they do not have subcontracts with the enemy. You objected to SIGAR s recommendation on the grounds that the Clinger-Cohen Act prohibits new certification requirements unless those requirements are specifically imposed by statute or approved by the Administrator of the Office of Procurement Policy. Your objection ignores the fact that the Clinger-Cohen Act also permits agencies to issue new certification requirements when they are approved in writing by the agency head, in this case the Secretary of Defense. 2 Moreover, requiring this certification would be consistent with DOD's obligation to award contracts only to "responsible" parties. If a company is subcontracting with the enemy, how can it be responsible? The FAR requires that no award is to be made to a contractor unless a contracting officer makes an affirmative determination of responsibility. 3 Prime contractors are responsible for determining the responsibility of their subcontractors and prospective contractors may also be required to 1 SIGAR 13-6, Contracting with the Enemy: DOD Has Limited Assurance that Contractors with Links to Enemy Groups Are Identified and their Contracts Terminated, April 11, 2013. 2 41 U.S.C. 1304(b)(3). 3 FAR 9.103(b),

provide written evidence of a subcontractor s responsibility. 4 To be determined responsible, a contractor must, among other things, have a satisfactory record of integrity and business ethics. 5 SIGAR believes that contractors that knowingly contract with the enemy do not have the integrity and business ethics necessary to do business with the U.S. government. 6 Moreover, the FAR already permits contracting officers to require that contractors provide certification of responsibility. 7 Therefore, unless DOD can explain to the Congress and U.S. taxpayers how a contractor that knowingly contracts with supporters of the insurgency has the integrity and business ethics to warrant a government contract, DOD should require contractors to certify that they do not have subcontracts with the enemy. Contrary to your memorandum, Section 842 is no substitute for a Section 841 certification. While Section 842 authorizes the Secretary of Defense to investigate after the fact whether funds available under the contract are being provided directly or indirectly to the enemy, a Section 841 certification would impose an affirmative obligation on contractors before the fact to help prevent contracting with the enemy. Moreover, there is no indication that DOD is using the oversight authority granted by Section 842. In fact, DOD reported to Congress that it did not take any action under Section 842 during fiscal year 2012. DOD s apparent reticence to use this authority demonstrates the need for requiring contractors to certify that they do not have subcontracts with Section 841 designees. A certification requirement would put contractors on specific notice that they need to stand behind the determinations they make regarding the responsibility of their subcontractors. 8 In sum, Section 841 was specifically intended to prohibit contracting with the enemy. SIGAR believes that DOD should immediately exercise its authority to enforce this prohibition. To do otherwise is contrary to both law and common sense. I note also that DPAP only partially concurred with SIGAR s recommendation to enforce DOD s own regulation requiring insertion of a no-contracting-with-the-enemy clause in DOD contracts. Your response for this partial concurrence is that DPAP is accountable for DOD procurement policies and regulations, while the HCAs are responsible for ensuring that contracting personnel under their jurisdiction include all required clauses. In my view, the fact that multiple HCAs are involved is not an adequate justification for not taking action on this important matter. SIGAR s recommendations were addressed to the Secretary of Defense and we assume that senior DOD officials will take whatever action is necessary to implement the Section 841 prohibition against contracting with the enemy. If DOD is either unable 4 FAR 9.104-4(a). 5 FAR 9.104-1(d). 6 Recent court cases support this principle. See, e.g., NCL Logistics Co. v. United States, 109 Fed. Cl. 596, 608 (2012); Ettefaq-Meliat-Hai-Afghan Consulting, Inc. v. United States, 106 Fed. Cl. 429, 440 (2012) 7 FAR 9.104-6. 8 False certification would also permit DOD to take action under the False Claims Act. See Harrison v. Westinghouse Savannah River Co., 176 F.3d 776 (4 th Cir. 1998).

or unwilling to do so, please notify me immediately so that I can formally report this fact to the relevant Congressional committees, as required by Section 5(d) of the Inspector General Act of 1978, as amended. Sincerely, John F. Sopko Special Inspector General for Afghanistan Reconstruction Enclosure

ACQUISmON. TECHNOLOGY AHO LOGIS'TlC$ OFFICE OF THE UNDER SECRETARY OF DEFENSE 3000 DEFENSE PENTAGON WASHINGTON, DC 20301-3000!JAY 14 2013 MENfORANmJM FOR SPECIAL II\ SPECTOR GENERAL FOR AFGIIANISTAN RECONSTRUCTTON THROUUH: DIRECTOR, ACQUISITION RESOURCES Al\TD ANALYSIS ~~\\\".:) SUBJECT: Responst: to SIGAR Audit 13-6 on ''Contracting with the Enemy: DoD Has Limitt:d Assuronce That Contractors with Links to Enemy Groups Are Identified and Their Contracts Terminated~ (Report o. SICIAR-13-6) As requested, I am providing responses to the geneml content and recommendations contained in the subject report. Re~ommendarion I : Require all Heads of Agency in the Central Command (CENTCOM) theater of operations, including Afghanistan, develop a standard mechanism for distributing Section 841 notification letters to their Head of Contracting Activities (HCAs). Response: Concur. Defense Procurement and Acquisition Po l i~.:y (OPAP) will update Defense Federul Regulation Acquisition Supplement (OF ARS) Deviation 2012-00005 to require contracting officers to check the "Identified entities undc;.'t :-IDAA FY2012 Section 841" list on the CENTCOM website prior to awarding conrmcts. See the DPAP response to Recommendation 4 below. Recommendation 2: Require all HCAs with contract~ in the CENTCOM theater of operations, including Afghanistan, to develop a standard mechanism for distributing Section 841 notification letters to all prime contractors. Response: Concur. DPAP will update DFARS Class Deviation 2012-00005 to require contrncting officers to distribute section 841 notification letters to all prime contractors performing in the CF.\ITCOM theater of operations. Recommendation 3: Direct HCAs to require prime contractors to certily that they do not have subcontracts with Section 841 designees. Response: Non-Concur. The Clinger-Cohen Act prohibits requiring a certification hy a contractor or offeror, unless it is specifically imposed by statute or approved by the Administrator of the Office of Federall'rocurt:mt:nt Policy (Ref: FAR Subpart 1.1 07). When necessary, HCAs can gain visibility over their Sl.Jbcontraets by the statutory authority provided in section 842 of the FY2012 NDAA. Along with section 841 offy2012 NOAA, Dr:ARS Class Deviation 2012-00005 implemented section 842, which allows conlntcting 1550 Crystal Drive, 9th Floor Arlington, Virginia 22202 Mailing 2530 Crystal Drive Arlington, Virginia 22202-3940 Tel 703 545 6000 www.sigar.mil

officers to examine Lhe records of the contractor. or any of its subco nlnl~;tors to ensure funds available under the contracts arc not I) subject to extonion or corruption, or 2) provided directly or indirectly to the enemy. Reco mmenda tion 4: Require all DoD contracting agencies and prime contractors v.>ith contracts in lhe CENTCOM theater of operations to use an information system. such as the Joint Contingency Contracting System or the CENTCOM wehsite, to track the section 841 designations. Response: Concur. DPAP and GI::NI"COM have coordinated and agreed to utili7.c the CEI\TCOM website as the information system in which to post the entities idcnti1ied in the CEl\TCOM Commander's Section 841 notific.:ation letters for contracting agencies and auu1orizcd prime contractors with contracts in the CP. TCOM theater of operations. This v.111 be implemented in the DFARS Class Deviation IJ2012-0000S update. R ecommendation 5: Enforce DF ARS Class Deviation 2012-00005 tha1 require~ the Section ll41 c lause be induth:d in c.ontracts, unless HCAs provide justification Jor exemption. R esponse: Partially Concur. The Director, DPAP is accountable for l)ol) procurement policies and regulations. It is the HCAs' responsibility to ensure that contracting personnel under their juri~di~:tion include all required clauses. In the DFARS C lass Deviation #20l2-00005 update, DPAP will amplify the importance o f induding section 841 clauses in all non solicitations. Recommendation 6 : To prevent duplication of data collt:ctiun efforts, we recommend that the Director of the Office of Defense Procurement and Acquisition Policy, in coordination wilh the Commander of U.S. Central Command, formally as~ign either the Office of Defense Procurement and Acqui~i tion Policy or CENTCOM the responsibility tor centrally tr.tcking, at a minimum, the number and value of contracts, grants, and cooperative agreements HCAs have restricted, terminated, or voided using their Section 841 authorities. Response: Concur. DPAP and CENTCOM have agreed to: l ) CENTCOM CCJ4 will centrally collect the sections 841 and 842 actions, resulting from CENTCOM Section 841 notification letters; 2) DPAP will use the CE:-.rTCOM datahnsc to prepare an annual report to Congress on the results of sections 841 and 842 authorities used during each calendar year. Recommendation 7: To ensure that IICAs have the information needed to respond to any legal challenges and financial liabilities resulting from exercising Section 841 authorities, we recommend that the Director of the Office of Defense Procurement and Acquisition Policy, in coordination wilh relevant agency contracting offices, develop and distribute guidance to HCAs about actions to take once they have restricted, terminated, or voided a contract under Section 841. R cspon~e: Concur. DPAP agrees with the recommendation that contracting officers require guidance to take neces~ary actions resulting from the USCF:NTCOM section 841 notification letters. Such guidance is already provided in the Federal Acquisition Regulation (F/\R) 49. Termination ot'cuntrdcts and FAR Part 9, Contractor Qualifications. FAR subparts 49.101, 2 1550 Crystal Drive, 9th Floor Arlington, Virginia 22202 Mailing 2530 Crystal Drive Arlington, Virginia 22202-3940 Tel 703 545 6000 www.sigar.mil

Authorities and Responsibilities and 49.105, Duties of Termination Contracting Officer Aller lssuance of Notice of Termination, pro.,ide contracting olliccrs with their specific responsibilities and detailed guidance for contract/subcontract termination actions. Please contact.\1s. Kyoung Lee. ;ruo~tioo ;, requ;red. 4.J, if additional 3 1550 Crystal Drive, 9th Floor Arlington, Virginia 22202 Mailing 2530 Crystal Drive Arlington, Virginia 22202-3940 Tel 703 545 6000 www.sigar.mil