ESBD_432148_1751314547130_04 - 3202500148 Attachment 4 PDAA.xlsx

XLSX spreadsheet 53 KB Posted

Attached to
Mobile Credential Wallet State and local contract opportunity
Solicitation number
3202500148
Issued by
Texas

About this file

This document is a Policy-Driven Adoption for Accessibility (PDAA) assessment form for the Texas Workforce Commission (TWC) Request for Offer (RFO) for a Mobile Credential Wallet, with Procurement Number 3202500148. The PDAA is a comprehensive questionnaire designed to evaluate a vendor's organizational approach to information and communications technology (ICT) accessibility, focusing on how vendors implement accessibility policies, practices, and commitments throughout their business processes.

The assessment covers six key areas: developing and maintaining an ICT accessibility policy, establishing organizational governance for accessibility, integrating accessibility criteria into business processes, addressing inaccessible ICT, ensuring relevant accessibility skills within the organization, and making accessibility information available to customers. Vendors are asked to self-assess their maturity across these domains by selecting responses that range from 0 (no plan) to 3 (fully implemented), with the goal of providing procurement organizations insight into a vendor's holistic approach to digital accessibility. The document includes detailed FAQs explaining the purpose of the PDAA, how the information will be used, and why accessibility policy implementation is important for state and federal procurement processes.

View the file

Other files for this state and local contract opportunity

Other files attached to Mobile Credential Wallet, newest first.
File Type Posted
ESBD_432148_1751314632089_07 - 3202500148 Attachment 7 Pricing Assumptions.pdf PDF
ESBD_432148_1751315016961_17 - 3202500148 Appendix A Texas Workforce Board Map.pdf PDF
ESBD_432148_1751314460255_01 - 3202500148 Attachment 1 TWC Vendor T&Cs (02-19-25).pdf PDF
ESBD_432148_1751314488707_02 - 3202500148 Attachment 2 Execution of Offer.pdf PDF
ESBD_432148_1751314507236_03 - 3202500148 Attachment 3 VPAT.pdf PDF
ESBD_432148_1751314599261_06 - 3202500148 Attachment 6 Pricing Worksheet.pdf PDF
ESBD_432148_1751314668933_09 - 3202500148 Attachment 9 HSP Form.pdf PDF
ESBD_432148_1751314841110_14 - 3202500148 Attachment 14 Sub W-9 & DD.pdf PDF
ESBD_432148_1751314869681_15 - 3202500148 Attachment 15 - How to fill out the PAR.pdf PDF
ESBD_432148_1751314431120_00 - 3202500148 RFO Mobile Credential Wallet.pdf PDF
ESBD_432148_1751314576317_05 - 3202500148 Attachment 5 SOW.pdf PDF
ESBD_432148_1751314697038_10 - 3202500148 Attachment 10 Evaluation Scoring Matrix.pdf PDF
ESBD_432148_1751314713878_11 - 3202500148 Attachment 11 Questions and Answers.docx DOCX document
ESBD_432148_1751314733411_12 - 3202500148 Attachment 12 Data Center Services.docx DOCX document
ESBD_432148_1751314819183_13 - 3202500148 Attachment 13 Cybersecurity.pdf PDF
ESBD_432148_1751314889004_16 - 3202500148 Attachment 16 Financial Questionnaire.pdf PDF
Show all 16

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

Cover Sheet Texas Workforce Commission (TWC)

Request for Offer (RFO)
Procurement Number: 3202500148

Mobile Credential Wallet

Response Package 1 - Attachment 4

Vendor Information and Communications Technology Accessibility Policy Assessment

Policy Driven Adoption for Accessibility

(PDAA)

Assessment

Vendor Information and Communications Technology (ICT) Accessibility Policy Assessment
This Information and Communications Technology (ICT) accessibility assessment is for vendor organizations to describe how they are currently implementing accessibility policy and practices within their organizations.
Please complete this form by checking a box for each topic that most closely match the current state of your organization. A completed example is available using the "Example" tab of the worksheet. This assessment is not a substitute for other requested accessibility information such as VPATs.

All questions, inquiries, etc. regarding Vendor ICT Accessibility Policy (PDAA) should be included in RFO Section 3.3.3 Table 2: Question Template

Organization information
Organization name: ___________________________________________________
Organization address: _________________________________________________
Responder contact information: _________________________________________
Date of assessment completion: _________________
My organization is a (choose one or more if applicable)
Manufacturer: My organization develops and sells its own ICT products / services
Service Provider: My organization sells IT development services
Integrator: My organization develops customer solutions using a combination of products / services from manufacturers and products / components developed by my organization
Reseller or Catalog Supplier: Does not develop or have its own products, but offers COTS 3rd party products
For each criteria statement, please enter the number corresponding to your response in the shaded areas of the "Response" column for the status statement in each grouping that is most relevant to your organization today.
Responses
1. Develop, implement, and maintain an ICT accessibility policy.
0My organization has no plan to have an ICT accessibility policy. (If selected, skip to next section or provide comments at the end of this section)
1a. Having an ICT accessibility policy.
1My organization is developing an ICT accessibility policy.
2My organization is finalizing an ICT accessibility policy.
3My organization has approved an ICT accessibility policy.
1b. Having appropriate plans in place to implement and maintain the policy.
1My organization is developing plans to implement our ICT accessibility policy and ensure that it is maintained.
2My organization has completed planning for initial implementation and maintenance of our accessibility policy.
3My organization has approved plans for accessibility policy implementation and maintenance.
1c. Establishing metrics and tracking progress towards achieving compliance to the policy.
1My organization is identifying metrics that can be used to gauge policy compliance.
2My organization is collecting metrics and has begun designing progress reporting based on them.
3My organization is tracking progress on policy adoption and continues to refine the metrics.
Section 1 Comments (Provide any comments or additional information on this section here.)
2. Establish and maintain an organizational structure that enables and facilitates progress in ICT accessibility.
0My organization has no plan to develop a governance system to support ICT accessibility. (If selected, skip to next section or provide comments at the end of this section)
2a. Developing an organization wide governance system.
1My organization is investigating opportunities to improve organization wide governance for ICT accessibility.
2My organization is finalizing plans that will result in an organization wide governance system.
3My organization has approved plans for an organization wide governance system.
2b. Designating one or more individuals responsible for implementation.
2My organization has identified key individuals in the implementation process.
3My organization has assigned implementation duties and responsibilities to appropriate individuals.
2c. Implementing reporting/decision mechanism and maintain records.
1My organization is developing tools and procedures for tracking ICT accessibility issues.
2My organization is tracking and keeping records of ICT accessibility reporting and decisions.
3My organization uses reports to make organizational changes to improve ICT accessibility.
Section 2 Comments (Provide any comments or additional information on this section here.)
3. Integrate ICT accessibility criteria into key phases of development, procurement, acquisitions, and other relevant business processes.
Manufacturers: Address processes that pertain to your development of ICT products.
Service providers: Address processes that pertain to your development of ICT services.
Integrators: Address processes that pertain to your ICT integration services and solutions.
Catalog Vendor/Reseller: Address processes that pertain to your reseller or catalogue offerings.
0My organization has no plan to integrate accessibility criteria into key business processes. (If selected, skip to next section or provide comments at the end of this section.)
3a. Identifying candidate processes for criteria integration.
1My organization has a plan to identify and evaluate its key business processes for accessibility gaps.
2My organization has evaluated its key business processes for accessibility gaps and is developing plans to better integrate accessibility criteria into these processes.
3My organization has approved plans to integrate accessibility criteria into these processes.
3b. Implementing process changes.
1My organization has begun modifying its key business processes to integrate accessibility criteria.
2My organization has completed accessibility criteria modification for some of its key business processes and has begun using these modified processes.
3My organization has completed accessibility criteria modification for most of its key business processes and has begun using these modified processes.
3c. Integrate fully into all key processes.
2My organization has fully integrated accessibility criteria into all of its key business processes and is using these processes to improve the accessibility of its product / service offerings.
3My organization has fully integrated accessibility criteria ACROSS its key business processes and is using these integrated processes to improve the accessibility of its product / service offerings.
Section 3 Comments (Provide any comments or additional information on this section here.)
4. Provide processes for addressing inaccessible ICT.
Manufacturers: Address processes that pertain to your development of ICT products in 4a, 4b, 4c, and 4d.
Service providers: Address processes that pertain to your development of ICT services in 4a, 4b, 4c, and 4d.
Integrators: Address processes that pertain to your ICT integration services and solutions in 4a, 4b, 4c, and 4d.
Catalogue Vendor/Reseller: Address processes that pertain to your reseller or catalogue offerings in 4e.
0We do not have plans to provide processes for bringing ICT developed and sold by our organization into accessibility compliance. (If selected, skip to next section or provide comments at the end of this section.)
4a. Creating plans that include dates for compliance of inaccessible ICT.
1We are developing plans to identify and test ICT developed and sold by our organization.
2We have begun identifying and testing for accessibility in ICT products / services developed and sold by our organization and are developing plans that include dates for bringing inaccessible ICT into compliance.
3We perform accessibility testing on all products / serviced developed and sold by our organization, and have plans in place that include dates for bringing inaccessible ICT into compliance.
4b. Providing alternate means of access until the ICT is accessible.
0We do not have plans for providing alternate means of access for our organization's ICT offerings.
1We are developing plans for providing alternate means of access for our organization's ICT offerings.
2We are implementing methods providing alternate means of access for our organization's ICT offerings.
3We have fully implemented a repeatable process for providing alternate means for our organization's ICT offerings.
4c. Implementing a corrective actions process(s) for handling accessibility technical issues and defects
1We are developing a corrective actions process for handling accessibility technical issues and defects
2We are implementing a corrective actions process for handling accessibility technical issues and defects
3We have fully implemented an integrated corrective actions process for handling accessibility technical issues and defects.
4d. Maintaining records of identified inaccessible ICT, corrective action, and tracking.
1We plan to develop a record keeping system for tracking the accessibility status of current and future products / services.
1We plan to develop a record keeping process for corrective action tracking and handling of accessibility related issues / defects.
2We have a record keeping system for tracking the accessibility status of current and future products / services.
2We have a record keeping process for corrective action tracking and handling of accessibility related issues / defects.
3We have a record keeping system for tracking the accessibility status of current and future products / services and use this system to improve the accessibility of our offerings.
3We have a record keeping process for corrective action tracking and handling of accessibility related issues / defects and use this system to improve the accessibility of our offerings.
4e. Maintaining records of identified inaccessible ICT, corrective action, and tracking. (Catalogue Vendor/Reseller only)
1We have a plan to develop a record keeping system for obtaining and tracking accessibility documentation for vendor products and services offered through our organization.
2We have a record keeping system for obtaining and tracking accessibility documentation for vendor products and services offered through our organization.
3We have a record keeping system for obtaining and tracking accessibility documentation for vendor products and services offered through our organization, and use this system to improve the accessibility of our offerings.
Section 4 Comments (Provide any comments or additional information on this section here.)
5. Ensure the availability of relevant ICT accessibility skills within (or to) the organization.
0We do not have plans in place to define, identify existing, or acquire ICT accessibility skills. (If selected, skip to next section or provide comments at the end of this section.)
5a. Defining skills/job descriptions.
1We have defined general skills and knowledge needs for ICT accessibility.
2We have identified the fields of practice that require at least some level of accessibility knowledge and/or skills (examples include, but are not limited to: product manager, project manager, product/system designer, application architect, application developer, quality assurance tester, and /or training/instructional designer.)
3We have mapped key accessibility skills and knowledge needs to specific fields of practice.
5b. Identifying existing resources that match up and address gaps.
2We have performed a gap analysis correlating accessibility skills and knowledge and current resources.
3We have organized the gaps in order of priority.
5c. Managing progress in acquiring skills and allocating qualified resources.
1We have a high level management plan in place to acquire accessibility skills and/or allocate those resources.
1We have developed a training plan for in-house resources and identified external resources for training and/or augmentation.
2We have developed a process to track resource training and augmentation.
3All resources have the appropriate skills and continuous monitoring and improvement systems are in place.
Section 5 Comments (Provide any comments or additional information on this section here.)
6. Make information regarding ICT accessibility policy, plans, and progress available to customers.
0We do not have a plan to make our accessibility policy or other accessibility information publically available. (If selected, skip to next section or provide comments at the end of this section.)
6a. ICT Accessibility policy and VPAT documentation availability
1Our ICT accessibility policy is publicly available.
1Our accessibility policy and documentation (VPATs, etc.) for some products is publicly available or available upon request.
2Our accessibility policy and documentation (VPATs, etc.) for all released products is complete and publicly available or available upon request.
6b. Availability of other accessibility documentation beyond policy and VPATs
2We are beginning to make other accessibility technical information available such as how accessibility testing is performed.
3We make accessibility information available beyond policy and VPAT information including information on how accessibility testing is performed and other information that demonstrates our organization's capability to produce accessible product / services.
6c. ICT Accessibility policy and documentation availability
2We are implementing an accessibility support program within our organization to address questions related to our accessibility documentation.
3We have a fully implemented accessibility support program within our organization to provide requested documentation and address questions related to the accessibility of our products.
Section 6 Comments (Provide any comments or additional information on this section here.)
Results
0
Total Points0
Percent Complete0%

FAQs

Frequently Asked Question (FAQ) for Vendors regarding Policy-Driven Adoption for Accessibility (PDAA)
1. What is PDAA?
Policy-driven Adoption for Accessibility (PDAA) is a tool that Vendors can use to demonstrate the extent to which their organization has implemented accessibility best practices within operations. The PDAA concept is based on the following principles:
· Integrating accessibility policies and practices into their business and culture enables organizations to drive themselves towards the creation of accessible offerings over the long term.
· Enabling products for accessibility requires integrating accessibility criteria into all phases of a product life cycle, and other business processes where accessibility plays a role.
· Many state and federal agencies are required by law to procure or develop accessible offerings based on technical standards. Gaps in Vendor internal governance systems and leadership commitment inhibit their ability to meet these standards.
· Agency procurement organizations need assurances that vendors have the ability to produce accessible offerings and continue to improve them over time.
2. Why are buying organizations requesting information on company accessibility policy?
Making an organization’s information and communications technology (ICT) offerings accessible to people with disabilities requires commitment in many areas of that organization. PDAA data helps buying organizations understand a Vendor’s accessibility policy, progress and commitment to accessibility holistically.
A mature accessibility policy implementation signals that the Vendor is fully aware of the implications of accessibility requirements and is prepared to resolve any issues in a timely manner with minimal friction. It also makes it more likely that the Vendor understands that accessibility is more than meeting a set of technical guidelines or standards, and that usability will be a factor in how they go about meeting the technical requirements. Accessibility that is planned, designed, and built in from the beginning consistently results in a friendlier product for all users, including those with disabilities.
3. Why is PDAA information important to the buying organization?
The requested information provides insight into Vendors’ ability to develop accessible commercial off the shelf (COTS) and non-COTS offerings, which can increase the procuring organizations’ confidence in the accuracy of Vendor’s accessibility documentation.
Current ICT accessibility reporting formats such as VPATs (Voluntary Product Assessment Templates) only apply to COTS products and services. In many cases, Vendor VPATs lack credibility due to limited knowledge about their offerings’ accessibility. Additionally, there is no standard reporting format for non-COTS offerings such as development services for websites, web applications, system software, etc.
4. How will this information be used?
The initial completed form will establish a baseline for where a vendor stands with regard to its ICT accessibility policy. The baseline illustrates the depth and maturity of the Vendor’s support for accessibility policy and practices as illustrated via the PDAA Maturity Model (Link on next line. If prompted for a password, select "cancel")
(http://publishingext.dir.texas.gov/portal/internal/resources/DocumentLibrary/PDAA%20Maturity%20Matrix.pptx)
The questionnaire may also be included in future solicitations so that progress can be assessed. The Vendor responses from the questionnaire may be considered as an element in Vendor selection; however, this would be determined by the procuring organization.
Additionally, Vendor organizations can use the results as a roadmap for implementing their organization-wide ICT accessibility initiatives, which will help ensure that programs and processes are in place to facilitate the development of future accessible offerings.
5. We already submit VPATs as part of solicitation responses. Is that adequate?
No. VPATs (Voluntary Product Assessment Templates) are product-specific. PDAA is a holistic presentation of the organization’s approach to accessibility. The expectation is that organizations with mature approaches to PDAA will greatly improve the levels of accessibility in products. It should also result in well documented, accurate VPATs, improving their value in product-level assessments
6. What is the PDAA Maturity Model?
Based on the Capability Maturity Model (CMM) concept, the PDAA Maturity Model (Link on next line) provides buying organizations and vendors with a simple dashboard or matrix to track and demonstrate Vendors’ progress toward full system-wide support of accessibility.
(http://publishingext.dir.texas.gov/portal/internal/resources/DocumentLibrary/PDAA%20Maturity%20Matrix.pptx)
7. Where can I obtain more information on Accessibility Policy implementation for my organization?
(http://dir.texas.gov/View-Resources/Pages/Content.aspx?id=39#Procurement)
Or contact the Statewide EIR Accessibility Coordinator via Email at:
statewideaccessibilitycoordinator@dir.texas.gov
For government organizations/agencies
8. What is PDAA?
Policy-driven Adoption for Accessibility (PDAA) is a tool that Vendors can use to demonstrate the extent to which their organization has implemented accessibility best practices within operations. The PDAA concept is based on the following principles:
· Integrating accessibility policies and practices into their business and culture enables organizations to drive themselves towards the creation of accessible offerings over the long term.
· Enabling products for accessibility requires the integration of accessibility criteria in all phases of a product life cycle, and other business process where accessibility plays a role.
· Many state and federal agencies are required by law to procure or develop accessible offerings based on technical standards, but gaps in internal governance and commitment by industry inhibits the adoption and implementation of these standards.
· Agency procurement organizations need assurances that vendors have the ability to produce accessible offerings and continue to improve them over time.
9. Does the PDAA replace VPATs?
No. VPATs (Voluntary Product Assessment Templates) are product-specific. PDAA is a holistic presentation of the organization’s approach to accessibility. VPATs are still a valuable tool at the product level, and the expectation is that vendors with mature approaches to PDAA will have accurate and informative VPATs.
10. Why a “maturity model” of evaluation?
Successfully enabling an organization for ICT accessibility requires implementation within various areas of an organization. As with any organization-wide initiative, implementation cannot occur all at once. The PDAA Maturity Model is used to gauge progress towards the complete implementation of PDAA core criteria. (Link on next line. If prompted for a password, select "cancel")
(http://publishingext.dir.texas.gov/portal/internal/resources/DocumentLibrary/PDAA%20Maturity%20Matrix.pptx)
11. Why should we support vendors who have mature PDAA practices?
A mature accessibility policy implementation signals that the vendor is fully aware of the implications of accessibility requirements and is prepared to resolve any issues in a timely manner with minimal friction. It also makes it more likely that the vendor understands that accessibility is more than meeting a set of technical guidelines or standards, and that usability will be a factor in how they go about meeting the technical requirements. Accessibility that is planned, designed, and built in from the beginning consistently results in a friendlier product for all users, including those with disabilities.
12. How should we score PDAA information?
In general, the PDAA questionnaire is meant to ensure that the same information is collected from all bidders, and how the agency uses that information will depend on circumstances.
While scoring has not yet been established for PDAA, the responses from the questionnaire may be used as criteria in selecting offerings or Vendors by the procuring organization.
PDAA evaluation is an area that will need some practical experience, and we hope that organizations will share what they learn.
13. Where does the PDAA information fit within the procurement process?
Using consistent information in evaluating bids is a key element of open and competitive public procurements. The information given in a PDAA report can help judge the ability of a Vendor to: complete a VPAT correctly, produce accessible custom ICT offerings (web sites, web applications, software, etc.), resolve accessibility defects when discovered, and otherwise be a partner in helping you meet your compliance obligations. The specific role of PDAA responses may be determined in part by the procurement laws, policies and practices for your organization.
14. What happens if the vendor claims the information is confidential or a trade secret?
Vendors often claim this for information required in procurements. Your organization’s procurement laws, policies, or practices may already address how you handle such claims.
15. What other states are using the PDAA model?
The PDAA model is in its early stages. A coalition of states are working with several national associations to harmonize the criteria for this model, and for obtaining and evaluating PDAA information. The goal is for more states and other government entities to adopt the PDAA model in their procurement processes.
16. Where can I obtain more information on Accessibility Policy implementation for my organization?
(http://dir.texas.gov/View-Resources/Pages/Content.aspx?id=39#Procurement)
Or contact the Statewide EIR Accessibility Coordinator at:
statewideaccessibilitycoordinator@dir.texas.gov

&"-,Bold"Mobile Credential Wallet RFO Procurement Number: 3202500148&KFF0000 Texas Workforce Commission (TWC) Policy-driven Adoption for Accessibility (PDAA) mailto:statewideaccessibilitycoordinator@dir.texas.govmailto:statewideaccessibilitycoordinator@dir.texas.gov Example Policy Driven Adoption for Accessibility (PDAA) Organization Self Assessment Attachment 4

This Information and Communications Technology (ICT) accessibility assessment is for vendor organizations to describe how they are currently implementing accessibility policy and practices within their organizations.
Organization information
Organization name: __Company X_________________________________________________
Organization address: ___________1111 State Blvd. Anytown, TX 78701______________________________________
Responder contact information: _______myemailaddress@yahoo.com__________________________________
Date of assessment completion: ____1/1/15_____________
My organization is a (choose one or more if applicable)
Manufacturer: My organization develops and sells its own ICT products / services
Service Provider: My organization sells IT development services
Integrator: My organization develops customer solutions using a combination of products / services from manufacturers and products / components developed by my organization
Reseller or Catalogue Supplier: Does not develop or have its own products, but offers COTS 3rd party products
For each criteria statement, please enter the number corresponding to your response in the shaded areas of the "Response" column for the status statement in each grouping that is most relevant to your organization today.
Responses
1. Develop, implement, and maintain an ICT accessibility policy.
0My organization has no plan to have an ICT accessibility policy. (If selected, skip to next section or provide comments at the end of this section)
31a. Having an ICT accessibility policy.
1My organization is developing an ICT accessibility policy.
2My organization is finalizing an ICT accessibility policy.
3My organization has approved an ICT accessibility policy.
31b. Having appropriate plans in place to implement and maintain the policy.
1My organization is developing plans to implement our ICT accessibility policy and ensure that it is maintained.
2My organization has completed planning for initial implementation and maintenance of our accessibility policy.
3My organization has approved plans for accessibility policy implementation and maintenance.
31c. Establishing metrics and tracking progress towards achieving compliance to the policy.
1My organization is identifying metrics that can be used to gauge policy compliance.
2My organization is collecting metrics and has begun designing progress reporting based on them.
3My organization is tracking progress on policy adoption and continues to refine the metrics.
Section 1 Comments (Provide any comments or additional information on this section here.)
2. Establish and maintain an organizational structure that enables and facilitates progress in ICT accessibility.
0My organization has no plan to develop a governance system to support ICT accessibility. (If selected, skip to next section or provide comments at the end of this section)
32a. Developing an organization wide governance system.
1My organization is investigating opportunities to improve organization wide governance for ICT accessibility.
2My organization is finalizing plans that will result in an organization wide governance system.
3My organization has approved plans for an organization wide governance system.
32b. Designating one or more individuals responsible for implementation.
2My organization has identified key individuals in the implementation process.
3My organization has assigned implementation duties and responsibilities to appropriate individuals.
2c. Implementing reporting/decision mechanism and maintain records.
31My organization is developing tools and procedures for tracking ICT accessibility issues.
2My organization is tracking and keeping records of ICT accessibility reporting and decisions.
3My organization uses reports to make organizational changes to improve ICT accessibility.
Section 2 Comments (Provide any comments or additional information on this section here.)
3. Integrate ICT accessibility criteria into key phases of development, procurement, acquisitions, and other relevant business processes.
Manufacturers: Address processes that pertain to your development of ICT products.
Service providers: Address processes that pertain to your development of ICT services.
Integrators: Address processes that pertain to your ICT integration services and solutions.
Catalog Vendor/Reseller: Address processes that pertain to your reseller or catalogue offerings.
0My organization has no plan to integrate accessibility criteria into key business processes. (If selected, skip to next section or provide comments at the end of this section.)
33a. Identifying candidate processes for criteria integration.
1My organization has a plan to identify and evaluate its key business processes for accessibility gaps.
2My organization has evaluated its key business processes for accessibility gaps and is developing plans to better integrate accessibility criteria into these processes.
3My organization has approved plans to integrate accessibility criteria into these processes.
33b. Implementing process changes.
1My organization has begun modifying its key business processes to integrate accessibility criteria.
2My organization has completed accessibility criteria modification for some of its key business processes and has begun using these modified processes.
3My organization has completed accessibility criteria modification for most of its key business processes and has begun using these modified processes.
33c. Integrate fully into all key processes.
2My organization has fully integrated accessibility criteria into all of its key business processes and is using these processes to improve the accessibility of its product / service offerings.
3My organization has fully integrated accessibility criteria ACROSS its key business processes and is using these integrated processes to improve the accessibility of its product / service offerings.
Section 3 Comments (Provide any comments or additional information on this section here.)
4. Provide processes for addressing inaccessible ICT.
Manufacturers: Address processes that pertain to your development of ICT products in 4a, 4b, 4c, and 4d.
Service providers: Address processes that pertain to your development of ICT services in 4a, 4b, 4c, and 4d.
Integrators: Address processes that pertain to your ICT integration services and solutions in 4a, 4b, 4c, and 4d.
Catalogue Vendor/Reseller: Address processes that pertain to your reseller or catalogue offerings in 4e.
0We do not have plans to provide processes for bringing ICT developed and sold by our organization into accessibility compliance. (If selected, skip to next section or provide comments at the end of this section.)
34a. Creating plans that include dates for compliance of inaccessible ICT.
1We are developing plans to identify and test ICT developed and sold by our organization.
2We have begun identifying and testing for accessibility in ICT products / services developed and sold by our organization and are developing plans that include dates for bringing inaccessible ICT into compliance.
3We perform accessibility testing on all products / serviced developed and sold by our organization, and have plans in place that include dates for bringing inaccessible ICT into compliance.
34b. Providing alternate means of access until the ICT is accessible.
0We do not have plans for providing alternate means of access for our organization's ICT offerings.
1We are developing plans for providing alternate means of access for our organization's ICT offerings.
2We are implementing methods providing alternate means of access for our organization's ICT offerings.
3We have fully implemented a repeatable process for providing alternate means for our organization's ICT offerings.
34c. Implementing a corrective actions process(s) for handling accessibility technical issues and defects
1We are developing a corrective actions process for handling accessibility technical issues and defects
2We are implementing a corrective actions process for handling accessibility technical issues and defects
3We have fully implemented an integrated corrective actions process for handling accessibility technical issues and defects.
34d. Maintaining records of identified inaccessible ICT, corrective action, and tracking.
1We plan to develop a record keeping system for tracking the accessibility status of current and future products / services.
1We plan to develop a record keeping process for corrective action tracking and handling of accessibility related issues / defects.
2We have a record keeping system for tracking the accessibility status of current and future products / services.
2We have a record keeping process for corrective action tracking and handling of accessibility related issues / defects.
3We have a record keeping system for tracking the accessibility status of current and future products / services and use this system to improve the accessibility of our offerings.
3We have a record keeping process for corrective action tracking and handling of accessibility related issues / defects and use this system to improve the accessibility of our offerings.
34e. Maintaining records of identified inaccessible ICT, corrective action, and tracking. (Catalogue Vendor/Reseller only)
1We have a plan to develop a record keeping system for obtaining and tracking accessibility documentation for vendor products and services offered through our organization.
2We have a record keeping system for obtaining and tracking accessibility documentation for vendor products and services offered through our organization.
3We have a record keeping system for obtaining and tracking accessibility documentation for vendor products and services offered through our organization, and use this system to improve the accessibility of our offerings.
Section 4 Comments (Provide any comments or additional information on this section here.)
5. Ensure the availability of relevant ICT accessibility skills within (or to) the organization.
0We do not have plans in place to define, identify existing, or acquire ICT accessibility skills. (If selected, skip to next section or provide comments at the end of this section.)
35a. Defining skills/job descriptions.
1We have defined general skills and knowledge needs for ICT accessibility.
2We have identified the fields of practice that require at least some level of accessibility knowledge and/or skills (examples include, but are not limited to: product manager, project manager, product/system designer, application architect, application developer, quality assurance tester, and /or training/instructional designer.)
3We have mapped key accessibility skills and knowledge needs to specific fields of practice.
35b. Identifying existing resources that match up and address gaps.
2We have performed a gap analysis correlating accessibility skills and knowledge and current resources.
3We have organized the gaps in order of priority.
35c. Managing progress in acquiring skills and allocating qualified resources.
1We have a high level management plan in place to acquire accessibility skills and/or allocate those resources.
1We have developed a training plan for in-house resources and identified external resources for training and/or augmentation.
2We have developed a process to track resource training and augmentation.
3All resources have the appropriate skills and continuous monitoring and improvement systems are in place.
Section 5 Comments (Provide any comments or additional information on this section here.)
6. Make information regarding ICT accessibility policy, plans, and progress available to customers.
0We do not have a plan to make our accessibility policy or other accessibility information publically available. (If selected, skip to next section or provide comments at the end of this section.)
36a. ICT Accessibility policy and VPAT documentation availability
1Our ICT accessibility policy is publicly available.
1Our accessibility policy and documentation (VPATs, etc.) for some products is publicly available or available upon request.
3Our accessibility policy and documentation (VPATs, etc.) for all released products is complete and publicly available or available upon request.
36b. Availability of other accessibility documentation beyond policy and VPATs
2We are beginning to make other accessibility technical information available such as how accessibility testing is performed.
3We make accessibility information available beyond policy and VPAT information including information on how accessibility testing is performed and other information that demonstrates our organization's capability to produce accessible product / services.
36c. ICT Accessibility policy and documentation availability
2We are implementing an accessibility support program within our organization to address questions related to our accessibility documentation.
3We have a fully implemented accessibility support program within our organization to provide requested documentation and address questions related to the accessibility of our products.
Section 6 Comments (Provide any comments or additional information on this section here.)
Results
Company X
Total Points60
Percent Complete100%

Bid Package 6 DIR-CPO-TMP-444 &"-,Bold"&30EXAMPLE

Company X 0.3

File details come from the government source that posted it. Updated .