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Strengthening Digital Accessibility and the Management of Section 508 of the Rehabilitation Act Class Deviation—Implementation of the United States Trade Representative Trade Agreements Thresholds Civilian Agency Acquisition Council (CAAC) Consultation to Issue a Class Deviation from the Federal Acquisition Regulation (FAR) Regarding New Trade Agreements (..)
Has past performance exceeded a threshold? Are the supplier’s 3rd party risk ratings acceptable? Assessing Risk across the Supply Chain. How to properly assess risk is itself a complex topic which I can barely scratch the surface of here. Has a supplier provided relevant certifications (.i.e.
Seasoned practitioners in public procurement can be jaded from situations that have gone wrong, and it is common for inexperienced public buyers to experience risk aversion and fear of the unknown. Additionally, a simplistic risk transfer strategy may reduce market interest, and the number of bids submitted.
Williams, and Mickey Liebner; Mayer Brown Bipartisan, bicameral legislation in the US Congress would mandate the use of the National Institute of Standards and Technology’s (“NIST”) Artificial Intelligence RiskManagement Framework (“Framework”) by federal agencies.
Williams, and Mickey Liebner; Mayer Brown Bipartisan, bicameral legislation in the US Congress would mandate the use of the National Institute of Standards and Technology’s (“NIST”) Artificial Intelligence RiskManagement Framework (“Framework”) by federal agencies.
GSA Requesting Feedback on Draft Supply Chain RiskManagement Questionnaire The General Services Administration’s (GSA) Office of Information Technology Category has developed a supplier assurance questionnaire to gather information regarding cybersecurity supply chain riskmanagement (C-SCRM).
The priority areas are: Asset Management Vulnerability Management Defensible Architecture Cyber Supply Chain RiskManagement (C-SCRM) Incident Detection & Response Each priority area includes further alignment goals to address these variations. The CMMC 2.0 To register, click here.
Coalition Consults” on VA Contracting Programs The Coalition is proud to offer our latest new resource for our healthcare members, called Coalition Consults. The first set of consults address key contracting programs at the US Department of Veterans Affairs (VA) for medical/surgical supply and medical device companies.
For procurements exceeding specified thresholds, justification must document the effort to find alternative suppliers, listing unique technical requirements and companies contacted. Therefore, procurement teams must implement strategies to manage these risks effectively.
For bulk sensitive personal data, there is a yet-to-be-determined volume threshold that must be involved in the transaction for it to be covered. Suggested thresholds in the ANPRM range from data sets on 100 U.S. Government-related data, there is no threshold requirement and the data categories will be covered regardless of volume.
In addition, he will provide updates on the RiskManagement Framework (RMF) and Authority to Operate (ATO) processes as part of the integration of technology in delivering best value healthcare. Entities that meet certain threshold criteria – regardless of size – are covered by the rule.
Section 2(g) refers to AI riskmanagement, and states that It is important to manage the risks from the Federal Government’s own use of AI and increase its internal capacity to regulate, govern, and support responsible use of AI to deliver better results for Americans. Section 10.1(b) Section 10.1(b) Section 10.1(b)
The rule notes that recommendations from CISA are to be implemented only after consultation between the contractor and the agency. There is no exception for contracts below the simplified acquisition threshold, for commercial products and services, or for commercially available off-the-shelf (COTS) products.
The rule notes that recommendations from CISA are to be implemented only after consultation between the contractor and the agency. There is no exception for contracts below the simplified acquisition threshold, for commercial products and services, or for commercially available off-the-shelf (COTS) products.
Seeking Member Feedback on GSA C-SCRM Questionnaire GSA’s Federal Acquisition Service is developing a voluntary Cyber Supply Chain RiskManagement (C-SCRM) Assurance Questionnaire for information and communications technology vendors.
Large corporations often view disputes as a riskmanagement tool, whereas smaller entities may perceive them as a critical threat. Jolley explained that third-party funding can de-risk the use of international arbitration to recover disputed amounts. For example, Mr.
Office of Management and Budget (“OMB”) Releases Implementation Guidance Following President Biden’s AI Executive Order On November 1, 2023, OMB released draft guidance on Advancing Governance, Innovation, and RiskManagement for Agency Use of Artificial Intelligence. 10] [1] Karthik Consulting, LLC, B-421610.2,
Greg Giddens, a partner with Potomac Ridge Consulting and a former executive director of the Office of Acquisition, Logistics, and Construction at the Veterans Affairs Department, said 30 days will give them some obvious things that need to change. “What are the policies and procedures built up over time and are burdening the workforce?
The rule notes that recommendations from CISA are to be implemented only after consultation between the contractor and the agency. There is no exception for contracts below the simplified acquisition threshold, for commercial products and services, or for commercially available off-the-shelf (COTS) products. To register click here.
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