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More Supplier Info:
- (http://www.sba.gov/)
- Electronic Systems is committed to expanding its dynamic supplier base with additional Women-Owned Small Businesses (WOSB), Service-Disabled Veteran-Owned Small Businesses (SDVOSB), Veteran-Owned Small Businesses (VOSB), HUB-Zones (HubZ), Historically Black Colleges and Universities and Minority Institutions (HDCU & MI), and Small Disadvantaged Businesses (SDB's).
- Efforts are taken to assure the small, small disadvantaged, HUBZone small business and small women-owned business and service disabled/veteran-owned small business concerns have an equitable opportunity to compete for subcontracts.
(FAR 25-101):
- The Buy American Act restricts the purchase of supplies that are not domestic end products. For manufactured end products, the Buy American Act uses a two-part test to define a domestic end product.
- The article must be manufactured in the United States; and
- The cost of domestic components must exceed 50 percent of the cost of all the components. In accordance with 41 U.S.C. 431, this component test of the Buy American Act has been waived for acquisitions of COTS items (see 12.505(a)).
- The Buy American Act applies to small business set-asides. A manufactured product of a small business concern is a U.S.-made end product, but is not a domestic end product unless it meets the component test in paragraph (a)(2) of this section.
(DFAR 225-7000):
- DFAR contains restrictions on the acquisition of foreign products and services, imposed by DoD appropriations and authorization acts and other statutes. This restricts acquisition of metals of foreign-melting origin. Suppliers providing certain metals must be ready to certify the metal’s origin.
(http://www.pmddtc.state.gov/regulations_laws/itar_consolidated.html)
- The U.S. Government views the sale, export, and re-transfer of defense articles and defense services as an integral part of safeguarding U.S. national security and furthering U.S. foreign policy objectives. To sell a military-related item to a foreign entity, CWCDS is required to obtain a DDTC license which authorizes the sale.
- Department of State responsibility for the control of the permanent and temporary export and temporary import of defense articles and services is governed primarily by 22 U.S.C. 2778 of the Arms Export Control Act ("AECA"; see the AECA Web page) and Executive Order 11958, as amended. The AECA, among these other requirements and authorities, provides for the promulgation of implementing regulations, the International Traffic in Arms Regulations ("ITAR," 22 CFR 120-130).
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