By: Margaret M. Cassidy & Andrew Swick The final part of our FY26 NDAA review examines changes related to how the U.S. defense ecosystem operates globally while protecting sensitive U.S. technologies and mitigating the risk of adversaries impacting U.S. national security. We organized our review into five subcategories: ITAR AUKUS Exemption Implications Streamlining Foreign Military...
Businesses new to federal government contracting understand that the government requires some type of background check on its leaders or others in the business. Beyond that, their understanding gets a bit murky. As a result, those new to federal government contracting worry about what will bubble up during the required background check. There is reason...
By: Margaret M. Cassidy & Andrew Swick Part 2 of our FY26 NDAA reviews shifts from industrial base investment to changes the Department of Defense’s (DoD) acquisition process, organized into five subcategories: When Cost Accounting Standards (CAS) Apply Truth in Negotiations Act (TINA) Threshold Changes Compliance Exemptions for Nontraditional Defense Contractors Encouraging Commercial Purchases Cybersecurity...
By: Margaret M. Cassidy & Andrew Swick We are going to unpack some parts of the FY26 NDAA most relevant to defense contractors and their advisors. This installment covers Industrial Base Investment and Opportunities, organized into five subcategories: Industrial Base Fund & capacity investments; Domestic sUAS and IndoPacific cooperation; Portfolio Acquisition Executive (PAE) and centralized...
The SBA announced yesterday in a news release that it has suspended “over 1,000 contractors” from participating in the 8(a) Program because they did not turn in the documents the SBA demanded that the produce by the deadline of January 19, 2025. This announcement, is actually buried in the news release so too find this...
On January 7, an Executive Order titled “Prioritizing the Warfighter in Defense Contracting” was issued. Its message to the defense industrial base is clear: get your act together – start performing defense contracts and delivering on time—or else. The “or else” is significant. If the Secretary of Defense, at his sole discretion, determines that a contractor has...
The U.S. Department of Justice (“DOJ”) used the law to hack a Georgia Tech Research Corporation (GTRC) cybersecurity research lab for doing cybersecurity research for the Department of Defense[1] (DoD) for allegedly not having cybersecurity controls in place as required by its contracts and telling DoD it did. Read to learn more about what happened....
Prepare for Modifications: Since schedules were likely disrupted for many contracts and subcontracts you will likely need a modification to your performance schedule which in turn may impact your price and other SOW more generally. And, don’t forget we now have a revolutionized FAR so, that may result in mods as well. Request an Equitable...
In a year that saw executive orders coming out rapid fire, a FAR revolution and a government shutdown, there is some good news. A Pentagon memo from earlier this year titled Directing Modern Software Acquisition to Maximize Lethality may simplify and expedite the process for companies to have the Department of Defense buy their software....
September 30, 2025, the Small Business Innovation Research (SBIR) program lapsed which is really sad because SBIR percolates innovation and small business growth. As of now, SBIR, along with many other programs and funding to run the government, are dead or frozen because of the government shutdown. As for SBIR, it is caught up in...