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The statutory deadline for a final rule is December 23, 2025, and the semiconductor prohibition will go into effect on December 23, 2027. Semiconductor Provenance The ANPR rightly acknowledges the practical challenges of compliance with the Section 5949 prohibitions given the pervasiveness of semiconductors and the opacity of supplychains.
Contractors must annually self-certify, either through internal resources or engaging a third party, that these 15 requirements are implemented and enter the results in the Supplier Performance Risk System (SPRS). The final and full rollout will likely come sometime in 2027.
Instead, the Industrial Base Policy M&A office merely has broad discretion to assess “covered transactions” involving “major defense suppliers” as defined in DoD’s M&A policy under Directive 5000.62. Section 805 becomes effective on June 30, 2026 for the Entity Prohibition and June 30, 2027 for the Goods and Services Prohibition.
.” The White House also released an accompanying Fact Sheet that announces a “new goal to phase out Federal procurement of single-use plastics from food service operations, events, and packaging by 2027, and from all Federal operations by 2035.” ” Meeting these goals will require further rulemaking. SAM dot What??
The strategy outlines how DoD plans to fully implement its Zero Trust cybersecurity strategy departmentwide by fiscal year (FY) 2027. The clause at FAR 52.204-30 – Alternate 1, Federal Acquisition SupplyChain Security Act Orders – Prohibition, is incorporated by full text into the solicitation (and subsequent awarded contracts).
The FY 2024 NDAA includes numerous supplychain and stockpile management provisions aimed at addressing a host of perceived vulnerabilities and weaknesses in Department of Defense (“DoD”) supplychain networks used to secure goods and services for our national defense.
The year ended with ambitious statements by the governing Liberal Party on proposed legislation to eradicate forced and child labour in Canadian supplychains. This will allow reporting entities to align and streamline public statements regarding supplychain compliance efforts across jurisdictions.
As CISA has noted , [an SBOM] has emerged as a key building block in software security and software supplychain risk management. SBOMs are defined by CISA as a formal record containing the details and supplychain relationships of various components used in building software.
MAPS is a multiple-award, indefinite-delivery/indefinite-quantity contract that is set to replace the ITES-3S and RS3 contracts in 2027. GSA Provides Updated Instructions on Identifying SUP Free Packaging GSA has updated an Interact post that explains how suppliers can garner a Single Use Plastic (SUP) free icon for products on GSA Advantage!
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