We use cookies to customise content for your subscription and for analytics.
If you continue to browse Lexology, we will assume that you are happy to receive all our cookies. For further information please read our Cookie Policy.


Clear all

Refine your search

Content type



42 results found


Morrison & Foerster LLP | USA | 5 Feb 2019

In Wyle, the GAO Gives Another Reminder of Risks Associated with Pending Procurements During a Transaction

Although there are often significant rewards associated with transactions among government contractors, the transactions require careful planning and


Morrison & Foerster LLP | USA | 7 Jan 2019

2018 Protest Roundup

In this post, we not only provide our regular recap of key protest decisions from December 2018, but also discuss some of the key decisions from 2018


Morrison & Foerster LLP | USA | 21 Dec 2018

Contractors Should Prepare for Potential Shutdown

What’s old seems to be new again. We wrote the below post 11 months ago. Though the date has now changed from January 19 to December 21, the


Morrison & Foerster LLP | USA | 24 Jul 2018

Corporate Transactions as a Basis for Protest (Post-Award Protest Primer 18)

Most corporate transactions go forward without protests. Several prominent protest decisions over the last few years, however, have drawn attention to


Morrison & Foerster LLP | USA | 6 Jun 2018

Unreasonableness And Lack Of Documentation (Post-Award Protest Primer 17)

Today’s installment of the post-award protest primer combines two frequent, related protest grounds: (1) unreasonable evaluations and source selection


Morrison & Foerster LLP | USA | 23 May 2018

A New Bid Protest Timeliness Trap: Pre-Award Laches

On this blog, we frequently discuss the various timeliness traps that can undermine bid protests at the Government Accountability Office (GAO). A


Morrison & Foerster LLP | USA | 16 May 2018

Bad Faith and Biased Procurement Officials (Post-Award Protest Primer 16)

We previously have referred in passing to Government bad faith as a protest ground that almost never is worth raising. Today, we’ll address this


Morrison & Foerster LLP | USA | 23 Apr 2018

Warning: Possible Delays Ahead New SAM Requirement for Notarized Letter

All government contractors must have an active registration in the System for Award Management (SAM) to do business with the government. As of March


Morrison & Foerster LLP | USA | 12 Apr 2018

Procurement Integrity Act Violations (Post-Award Protest Primer 15)

Offerors should, and generally do, carefully guard the confidentiality of their bid and proposal information. And agencies that receive that


Morrison & Foerster LLP | USA | 5 Apr 2018

GAO to Implement Bid Protest E-Filing on May 1, 2018 (Along with Some Other Changes)

The Government Accountability Office (GAO) will cut the ribbon on its Electronic Protest Docketing System (EPDS) on May 1, 2018, according to a final

Previous page 1 2 3 4 5