Contractor Community – December 2022

ASA Platinum Sponsor COMPASS Congratulates ASA Members on Making the “COMPASS Select List”

COMPASS by Bespoke Metrics recently announced The COMPASS Select List, which recognizes the top subcontractors in COMPASS based on transparency and performance across Finance, Business, and HSE metrics.

The ASA would like to recognize and congratulate the ASA subcontractors who made the 2022 COMPASS Select List, which can be found here.

As we face economic uncertainty, we expect the volume and enforcement of prequalification to increase. In addition to a standardized prequalification to meet all your data request needs, COMPASS provides Subcontractors on the Select List a 2022 Select Badge, a public profile page, and a media page to promote your strength and expertise to supplement your prequalification and business development efforts.

For our members looking to get on The COMPASS Select List or learn how to promote their Badge, please contact COMPASS at info@compass-app.com or 1-800-689-6819.

ASA Awards Deadline is December 31st!

ASA Awards program is an incredible opportunity to shine a light on your company or another company in your area!

Awards available include:

  • ASA Certificate of Excellence in Ethics
  • ASA National Construction Best Practices Awards
  • President’s Award
  • Subcontractor Federal and State Advocate Awards
  • Attorney’s Council Awards
  • John H. Hampshire Distinguished Lifetime Service Award
  • Timmy L. McLaughlin Exemplary Leadership Award
  • ASA Outstanding Service Award
  • ASA Chapter and Chapter Leadership Awards
  • ASA Safety Award

Applications are due December 31st!  Click here to learn more about the awards program.

Construction Conversations Podcast with ConsensusDocs

ConsensusDocs invites you to check out their latest Construction Conversations Podcast.  Their latest episode features a conversation with Tracy Hart, President of Tarlton Corporation, Dirk Haire, Co-Chair of Fox Rothschild, and Brian Perlberg of the Associated General Contractors of America (AGC).

In this podcast they discuss how the construction industry is often a family affair. Explore how current events shape the future of construction and how the industry continues to morph and pivot in today’s economic environment.

Click here to listen and learn more.

ASA FY23 NDAA Priorities

ASA, along with the Construction Industry Procurement Coalition (CIPC), shared their suggestions and proposals for the Fiscal Year (FY) 2023 National Defense Authorization Act (NDAA) with the House and Senate Armed Services Committee Leadership, along with the leadership of both chambers, which included the following inclusions and exclusions. We requested the exclusion of the following:

  • House Sec. 319 – This section would require the tracking and reduction of greenhouse gas emissions from third-party, non-public sources such as vendors, contractors, and manufacturers—having a major impact on the supply chain and small businesses seeking to work on Department of Defense projects. The technology and expertise currently do not exist to support this section on a large scale.
  • Senate Sec. 827 – This section would dramatically change the long-established system for progress payments, and proposes an unworkable formula that will harm federal procurement, needlessly draw out project close times, and seriously risks harming flow-down payments to subcontractors and small businesses.
  • House Sec. 868 and House Sec. 5817 – These sections create new Blacklisting requirements for contractors, similar to Fair Pay and Safe Workplaces (E.O. 13673) that Congress stopped from being implemented. These sections would usurp long established existing rules for debarment and suspension, and blunt bureaucratic solutions for which there is a lack of statistically significant evidence of a systemic problem. The Federal Acquisition Regulation (FAR) already provides a number of avenues – like suspension or debarment – for federal agencies to deal with “bad actors” that willfully or repeatedly violate the law. Federal agencies already have broad discretion to suspend or debar contractors for a wide range of improper conduct indicating a lack of business integrity.
  • House Sec. 2825 – This section attempts to correct a significant issue of non-standardized base access that causes inefficiencies leading to loss of taxpayer dollars, but the section has key deficiencies that risks making the issue worse. For example, one of the many challenges with military construction projects located on a base is getting large delivery trucks access to drop off construction materials. Under this section if a delivery driver traveled across the country to deliver materials to a base that driver would be unable to make such a delivery unless the driver is deemed fit to enter after a screening not less than 24 hours and not more than 14 days.
  • House Sec. 2882 – This section is largely duplicative of established law and U.S. Army Corps of Engineers policy, but also adds the risk of publishing federal contractors’ proprietary information. The section requires the Army Corps to investigate worker and third-party complaints, certify payrolls, and make such payroll information publicly available.
  • House Sec. 5851 – This section would impose unnecessary reporting burdens on many American businesses and threatens the privacy of law-abiding, legitimate small business owners.  It would also create significant liability risk for federal contractors for violating minor paperwork requirements related to “beneficial ownership” that can be challenging for business owners to comply with.
  • House Sec. 5883 – This section takes a one-size-fits-all approach to PFAS that predetermines outcomes ahead of EPA’s review of the science and engagement in the regulatory process.  The section would redirect resources away from EPA’s prioritized efforts to address specific types of PFAS and risks diluting current EPA efforts to set consistent, scientific, risk-based standards to address potential impacts related to those PFAS.

We requested the inclusion of the following:

  • Senate Sec. 823 – This section would provide flexibility when requesting qualification for architectural and engineering services on a task or delivery order.
  • House Sec. 870 – This section will help ensure small business construction contractors receive timely payment for change orders. Construction firms of all sizes, but especially small businesses, have had to weather the effects of the pandemic and soaring construction materials costs. This commonsense and bipartisan section will help ensure that our nation’s small business construction contractors do not go bankrupt waiting to be paid for work the federal government ordered them to perform.
  • House Sec. 5326 – Removes barriers preventing rural communities from using Economic Development Authority grants to expand access to high-speed broadband internet.  This section allows modern approaches to economic development and creates new opportunities for individuals to work, attend school, socialize, and access healthcare.
  • House Sec. 5899 – This section reauthorizes the Wastewater Assistance to Colonias program and increases program funding to $100,000,000 for the planning, design, and construction or improvement of sewers, treatment works, and appropriate connections for wastewater treatment to eligible communities for each of the fiscal years 2023 through 2027.  Increases the amount of grants awarded to not less than 80 percent of the costs of carrying out the projects that are subject to the grants.
  • House Sec. 5905 – This section attempts to correct a detrimental and complicated effect of the FAR Credits Clause on the Paycheck Protection Program (PPP) for highway and public transportation projects under cost-reimbursement contracts. Since the PPP loan forgiveness can be counted as a credit, if the Government deems the credit is related to the contractor’s allocable costs, then the contractor is required to pay the Government any credits received by the contractor to the extent the credit is properly allocable to costs. The consequence being many small businesses. This detrimental approach to PPP recipients also occurs in direct contracts with federal agencies that use these types of contract vehicles. We suggest this section be expanded to cover more types of contracts for construction, architect, and engineering services.

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