Sealed Bidding
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Order Description
(1) Review FAR 14.304 (and, to the extent necessary, the rest of FAR Subpart 14.3).
What policy (or policies) support the "late bid" rules and/or procedures in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in the FAR? As a consumer (or a taxpayer), does it make more sense for the government to see the price offered in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in a late bid, as opposed to not lookin" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">ing (as discussed in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in FAR 14.304(g))? [Treat this as a policy or a "why" question.]
(2) Review FAR 14.103-1(a) and 6.401(a).
If you could write 6.401(a) from scratch (or in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in" rel="nofollow">in a vacuum), or if you could rewrite it (either delete text or add text and/or requirements) or simplify it, how would you improve the FAR mandate/guidance? [Treat this as a practical advice or implementation question.]
We suggest you submit a one- or two- paragraph response to each of these queries.
Please limit your responses to approximately 500 words.