JEFO__2016-06_ASR_Analytics_LLC.pdf
PDF 189 KB Posted
- Attached to
- Financial Internal Control Procedures Federal contract opportunity
- Solicitation number
- A16016
About this file
Justification for an Exception to Fair Opportunity
View the file
On GovTribe
Work with this file on GovTribe
- Download the original file
- Contacts named in this file
- Similar government files
- Ask GovTribe AI about this file
Text version
JUSTIFICATION FOR AN EXCEPTION TO FAIR OPPORTUNITY
Tracking No. Page 1 of 3 Treasury Standard Form – 1014 (Rev 10/15)
Prescribed by Treasury: DTAP 1016.505
1. Identification of the agency and the contracting activity.
2. Nature and/or description of the action being approved.
3.a A description of the supplies or services required to meet the agency’s needs.
3.b Estimated value.
4.a Identification of the exception to fair opportunity being used (Check the appropriate box that applies).
FAR 16.505(b)(2)(i)(A) – The agency need for the supplies or services is so urgent that providing a fair opportunity would result in unacceptable delays.
FAR 16.505(b)(2)(i)(B) – Only one awardee is capable of providing the supplies or services required at the level of quality required because the supplies or services ordered are unique or highly specialized.
FAR 16.505(b)(2)(i)(C) – The order must be issued on a sole-source basis in the interest of economy and efficiency because it is a logical follow-on to an order already issued under the contract, provided that all awardees were given a fair opportunity to be considered for the original order
FAR 16.505(b)(2)(i)(D) – It is necessary to place an order to satisfy a minimum guarantee.
FAR 16.505(b)(2)(i)(E) – For orders exceeding the simplified acquisition threshold, a statute expressly authorizes or requires that the purchase be made from a specified source.
FAR 16.505(a)(4) – The requirement is for an item peculiar to one manufacturer.
4.b Supporting Rationale.
Tracking No. Page 2 of 3
5. A determination that the anticipated cost to the government will be fair and reasonable.
6. Any other facts supporting this justification.
7. A statement of the actions, if any, the Requiring Activity and Contracting Activity may take to remove or overcome any barriers that led to restricted consideration before any subsequent acquisition for the supplies and services is made.
Tracking No. Page 3 of 3
8. Certifications and Approvals:
8.a Program Office Certification (Requiring Activity). I hereby certify that any supporting information and data provided (e.g., the Government’s minimum needs or requirements, or other rationale for the limited sources) and which form the basis for this justification for an exception to fair opportunity, are accurate and complete to the best of my knowledge and belief.
Name:____________________________________ Date: _____________________
Signature: ___________________________________ 8.b Small Business Specialist Determination (Contracting Activity). I have reviewed this justification for an exception to fair opportunity, including any attached documentation, if applicable, and concur / do not concur with the findings.
Name:____________________________________ Date: _____________________
Signature: ___________________________________ 8.c Contracting Officer Certification and Approval. I certify this justification for an exception to fair opportunity is accurate and complete to the best of my knowledge and belief. Therefore, unless additional approvals are required as prescribed below, as the authorized contracting officer for this acquisition, I hereby approve the processing of this requirement based on the authority specified in 4.a above.
Name:____________________________________ Date: _____________________
Signature: ___________________________________
9. Additional Approvals (if applicable):
9.a Advocate for Competition (if >$700,000 and <$13.5 million) (Contracting Activity). I have reviewed this justification for an exception to fair opportunity and find it to be accurate and complete to the best of my knowledge and belief. Therefore, unless additional approvals are required as prescribed below, as the ordering activity’s Advocate for competition, I hereby approve this justification based on the authority specified in 4.a above r.
Name:____________________________________ Date: _____________________
Signature: ___________________________________ 9.b Head of the Procuring Activity or Authorized Designee (if >$13.5 million and <$67.5 million) (Contracting Activity). I have reviewed this justification for an exception to fair opportunity and find it to be accurate and complete to the best of my knowledge and belief.
Therefore, unless additional approvals are required as prescribed below, as the head of the procuring activity or authorized designee, I hereby approve this justification based on the authority specified in 4.a above.
Name:____________________________________ Date: _____________________
Signature: ___________________________________ 9.c Senior Procurement Official (if >$67.5 million) (Contracting Activity). I have reviewed this justification for an exception to fair opportunity and find it to be accurate and complete to the best of my knowledge and belief. Therefore, as the senior procurement official, I hereby approve this justification based on the authority specified in 4.a above.
Name:____________________________________ Date: _____________________
Signature: ___________________________________
INSTRUCTIONS FOR
[In general, each justification for an exception to fair opportunity shall contain sufficient information and data to justify the proposed action thereby be able to stand on its own. This type of detail is critical in order to enable a reviewer to clearly understand the requirement and the rationale for supporting this justification. If the requirement involves classified or sensitive information, ensure the proper steps are taken to protect the information (e.g. marking). In the event of conflict between this template and applicable regulatory coverage, the more stringent requirement shall be followed.
1. Identification of the agency and the contracting activity. [Provide the name of requiring agency and the name of the actual requiring activity (e.g. Treasury’s Washington, DC Office – Central IT Division). Provide the name of the contracting agency and the name of the actual contracting activity (e.g. Treasury’s West Virginia Office – Contracting Division for IT).]
2. Nature and/or description of the action being approved. [Describe the type of action being issued (e.g. new award, contract modification or brand name). Identify the contemplated contract type (e.g. firm fixed price). Provide the name, address, socio-economic status and contract number of the proposed contractor.
If a contract modification, include the contract no., task/delivery order number (if applicable), and nature of why the modification is required)
If brand name, state this justification & approval is covering only the portion of the acquisition which is brand-name.
If known include the requisition number.]
3.a A description of the supplies or services required to meet the agency’s needs:
[Provide a clear, concise description of the supplies or services to be procured. Include a statement regarding the delivery schedule and/or the period of performance, inclusive of all option periods and award terms. If applicable, state the associated contract line or subline items the supplies or services are being procured against. For supplies, include details such quantity and a brief description of the items (e.g. twelve (12) laptops).
For brand name, provide the name of the brand, model number and other specific details associated with the brand name item(s) being procured; name(s) of known sources that can provide the brand name.]
3.b Estimated value. [State the total estimated dollar value of the order, inclusive of all options, award terms and other monetary incentives. If applicable, provide separately for each option, award term and other monetary incentive a general description (e.g. option period 1 – April x, 201x through March x, 201x) and the associated individual dollar amount. These separate dollar amounts should add up to the total estimated dollar value; however if there is a difference then provide a discussion as to why they don’t.
For brand name also provide the total estimated dollar value of the portion of the order, inclusive of all options, award terms and other monetary incentives, that is brand name.
For modifications provide the total dollar value of the proposed modification, the current total dollar value of the contract.
Include a statement that refers to the Independent Government Cost Estimate for specific details.]
4.a Identification of the exception to fair opportunity being used. Check the applicable exception being used for this justification.
4.b Supporting Rationale. [Provide a clear and concise description of the rationale for the use of the authority being cited above, including a demonstration that the proposed contractor’s unique qualifications or the nature of the acquisition requires use of the exception cited. For example, for
• FAR 16.505(b)(2)(i)(A) Describe the nature or circumstances of the urgency surrounding the agency’s need; how any follow-on work will be competed or how such urgency will be mitigated in the future; describe the extent and impact of the unacceptable delay (e.g.
quantitative data, dollars that would be lost, the impact to schedule) if fair opportunity was provided. Provide supporting rationale and a concise description of the extent, nature, and impact of the potential harm to the Government.
• FAR 16.505(b)(2)(i)(B) Describe what makes this contractor the only responsible source.
For example, (i) does the proposed contractor have facilities or equipment that are specialized or unique that are vital to the effort?; (ii) Is the proposed contractor the only one that can meet critical schedule(s) required by the Government?; (iii) Does the proposed contractor have prior experience or expertise of a highly specialized nature that is vital to the effort?; (iv) Does the contractor have an exclusive licensing agreement?.
Fully explain why any other supply or service provided by another vendor will not satisfy the Government’s need. Also, describe any type of market survey and analysis efforts conducted to support this conclusion.
• FAR 16.505(b)(2)(i)(C) If the logical follow-on exception is used, the rationale shall describe why the relationship between the initial order and the follow-on is logical (e.g., in terms of scope, period of performance, or value). Provide the estimated cost and/or time savings that will result from the non-competitive award, and explain the basis for the estimate.
• FAR 16.505(b)(2)(i)(D) If the satisfy a minimum guarantee exception is used, specify the amount of that guarantee, and, if applicable, the amount that has been ordered to date.
Discuss why the minimum was not otherwise met and any actions the Government took to meet that minimum.
• FAR 16.505(b)(2)(i)(E) If the statute exception is used, cite the statute along the specific language from the statute and how it applies to this order.
• FAR 16.505(a)(4) State the brand name product’s unique attributes (be specific and use technical terms, if necessary), provide an explanation of the proposed brand name item(s) unique qualifications and why no other similar product will suffice, including why other companies’ similar products lacking the particular feature do not meet, or cannot be modified to meet, the agency’s needs; why (if applicable) the nature of the acquisition requires the use of the brand name product. Provide an estimate of the cost and/or delay the Government would incur if other than the brand name item is used for this requirement.
Do not simply take information from a vendor’s website or other such marketing information to use as the basis as to why they are unique. Also, describe any type of market survey and analysis efforts conducted to support this conclusion.
5. A determination that the anticipated cost to the government will be fair and reasonable.
[Provide a narrative of the measures performed by the contracting officer to ensure the costs or pricing will be fair and reasonable. Provide any information, such as commercial pricelists or prior acquisition history that will help the contracting officer determine that the anticipated cost or pricing is fair and reasonable. This paragraph should always begin with a sentence similar to: “The contracting officer determines that the anticipated (insert cost or pricing) will be fair and reasonable based on….”.]
10. Any other facts supporting this justification. Examples might include:
• If the justification is based on an urgent and compelling need, there may be additional data or estimated costs that further support the extent and nature of the harm to the government in delay in award will cause or
• If acquisition of a patented or copyrighted product is based on the representation of the intellectual property holder that has not been licensed for resale]
11. A statement of the actions, if any, the Requiring Activity and Contracting Activity may take to remove or overcome any barriers that led to restricted consideration before any subsequent acquisition for the supplies and services is made. [Describe actions taken, or that may be taken, to remove or overcome any barriers to competition before any subsequent acquisitions for the supplies or services required (e.g. overcoming challenges to restrictive data markings, data rights, preparation of a performance based work statement). If planning or in the midst of a competition, include information regarding this action (e.g. estimated date when the competitive procurement will occur or award to be made).]
[INSTRUCTIONS: Ensure that the below begin on a separate page. Each review must be preceded by lower level approval(s), e.g., over $67.5 million all approvals are required. IN NO CASE WILL AN INDIVIDUAL SIGN MORE THAN ONE APPROVAL LEVEL. Retain only those signature blocks applicable to the dollar range of the acquisition being justified.
A supplemental justification is required if any of the following revisions occur between approval of the original justification and award or modification of the order: an increase in dollar value beyond the authority approved in the justification; a change in the competitive strategy that further reduces competition; or any type of change in requirement that affects the basis of the justification.]
Additional.
1. Tracking No.: This field is completed as prescribed by Bureau procedures.
| 1 Identification of the agency and the contracting activity: Requiring Agency: Treasury/Office of Financial Stability (OFS). Contracting Activity: Treasury, IRS Office of Treasury Procurement Services (OTPS). |
| 2 Nature andor description of the action being approved: A new Time and Materials task order is proposed as a follow on action to ASR Analytics LLC (ASR) current Task Order 0001. ASR's principle place of business is 1389 Canterbury Way, Potomac, MD 20854. ASR's contract number is TOFS-11-D-0001 and it is a small business. In accordance with FAR 16.505(b)(2)(i)(C) the Contracting Officer is requesting an exception to the fair opportunity process so that Task Order 0004 may be issued to ASR Analytics (ASR) in the interest of economy and efficiency, because it is a logical follow-on to Task Order 0001. Task Order 0001 was competed and awarded under the ASR contract. ASR provides financial internal controls support services such as audit services necessary to provide unqualified statements of assurance for the Federal Manager's Financial Integrity Act (FMFIA), Appendix A of OMB Circular A123, and accounting models for direct loans and loan guarantees consistent with the requirements of Federal Financial Accounting Standards Number 2. |
| 3a A description of the supplies or services required to meet the agencys needs: The agency requires financial internal controls support services such as audit services necessary to provide unqualified statements of assurance for under the Federal Manager's Financial Integrity Act (FMFIA), Appendix A of OMB Circular A123, and accounting models for direct loans and loan guarantees consistent with the requirements of Federal Financial Accounting Standards Number 2. Analysis, research, control models and supporting activities related to achieving and maintaining an unqualified audit opinion of financial statements and statement of assurance of internal control processes are also required. The period of performance shall be one year from the date of award; Approximately January 31, 2016 to January 30, 2017. |
| 3b Estimated value: The estimated value is $1,373,923 for a one year period of performance. |
| box that applies: Off |
| providing a fair opportunity would result in unacceptable delays: Off |
| unique or highly specialized: On |
| original order: Off |
| guarantee: Off |
| statute expressly authorizes or requires that the purchase be made from a specified source: Off |
| 4b Supporting Rationale: The logical follow-on exception to fair opportunity is proposed for Task Order 0004 given that the scope of work is almost identical in terms of scope to that of the original Task Order 0001. The Statement of Work for Task Order 0001 is being used for Task Order 0004 with only minor modifications. For Task Order 0004, there is a slight decrease in the number of TARP Assets requiring management, and ASR's use of previously established audit models and frameworks results in fewer hours required for this time and material order. ASR's familiarity with the internal processes for the Office of Financial Security (OFS) provides performance efficiencies, which also supports the reduction of labor hours estimated for Task Order 0004 from that of the last period of performance under Task Order 0001. The previous year's expenditure was $2,775,261 which will be reduced by approximately 50%, $1,373,923, for the one year period of performance for Task Order 0004. The reduced hours are attributable due to ASR's familiarity with the audit models and internal processes currently in place. |
Task Order 0004 will directly follow the period of performance for Task Order 0001. It is unlikely that the cost savings described in the above paragraph would be recouped by competing the work. The principle work relies on the familiarity with the audit models, compliance frameworks, and internal processes of the TARP assets under scrutiny. Familiarity and expertise is required to establish the processes and fulfill the requirements necessary for OFS to provide unqualified statements of assurance for Federal Managers’ Financial Integrity Act (FMFIA) and Appendix A of OMB Circular A 123, statements of substantial compliance with the Federal Financial Management Improvement Act (FFMIA); and, for credit reform accounting, expert knowledge is needed of the Statement of Federal Financial Accounting Standards No. 2: Accounting for Direct Loans and Loan Guarantees. Award to another contractor would result in substantial duplication of effort due to the necessity of the awardee familiarizing itself with the internal processes of the TARP assets under management and the details of loan guarantees and Direct Loans. Lastly, there have been no performance issues with ASR's execution of the work under Task Order 0001.
5 A determination that the anticipated cost to the government will be fair and reasonable: The contracting officer determines that the anticipated pricing will be fair and reasonable based on the following points:
a. The original IDIQ Contract was competed, as was Task Order 0001, and the pricing was found to be fair and reasonable.
b. The current Option Year pricing included an escalation factor of 2.5% over the previous Option Year. The Employment Cost Index of the Bureau of Labor Statistics for this profession shows the total compensation escalation for the past 12 months as 2.1%. Therefore, ASR's contract pricing has risen in line with the commercial market price for these services.
c. A cost comparison of the IGCE, which utilized ASR's labor rates for the last year of its IDIQ contract, and ASR's GSA Schedule pricing indicated that the IGCE is 9.6% less than the ASR GSA Schedule price for the task order.
| 6 Any other facts supporting this justification: A task order for Internal Controls was competed in 2012 among four small business awardees holding Financial Services IDIQ contracts and two proposals were received. The task order solicitation basis was best value Award was made to ASR for Task Order 0001 which had a base year and two one-year options. This Task Order will expire on January 31, 2016. Due to ASR's stellar performance on Task Order 0001, a follow-on award to ASR ensures economy and efficiency. | |
| 7 A statement of the actions if any the Requiring Activity and Contracting Activity may take to remove or overcome any barriers that led to restricted consideration before any subsequent acquisition for the supplies and services is made: The next acquisition for these services should be preceded by a sources sought notice. Market research could be performed during an "industry day " after drawing the attention of industry associations and firms with known expertise to the upcoming event.. | |
| Name: Piyavuth Bhutrakarn | |
| Date: | |
| 2015-12-04T09:48:02-0600 | |
| Piyavuth Bhutrakarn |
| justification for an exception to fair opportunity including any attached documentation if: Off | |
| concur: Off | |
| Name_2: Latonya D. Richardson-Bowman | |
| Date_2: | |
| 2015-12-08T20:42:51-0500 | |
| LaTonya D. Bowman |
| Name_3: Seraphina Hanan | |
| Date_3: | |
| 2015-12-07T08:42:59-0500 | |
| CBYLB |
| Name_4: Sydney C. Broach | |
| Date_4: 12/10/2015 | |
| 2015-12-10T13:47:28-0600 | |
| Sydney C. Broach 10CDB |
| Name_5: |
| Date_5: |
| Name_6: |
| Date_6: |
| Text1: Control No. FO 2016-06 |
File details come from the government source that posted it. Updated .