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Coalition letter requesting modification to FAR to require assets pledged by an individual surety are real

Coalition letter requesting that the Administrator of Federal Procurement Policy modify Acceptability of Individual Sureties of the FAR to require that the assets pledged by an individual surety are real and readily available by requiring that such pledged assets meet the standards currently...

Individual Sureties FAR change.pdf


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Part 2 Battling Surety Bond Fraud: Why Bond Verification Is So Important

Learn how to avoid becoming a victim of bond fraud. This is Part 2 of NASBP General Counsel Martha L. Perkins' article. Part 2 was published in the Winter 2015 newsletter of the Fidelity and Surety Law Committee of the American Bar Association's Tort Trial & Insurance Practice Section on pages 9...

Prt2_indsuretiesABAF&SLwCom.pdf


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NASBP Comments on FASB 715 - Compensation-Retirement Benefits-Multiemployer

On November 1, NASBP submitted comments on the Financial Accounting Standards Board's (FASB) proposal with respect to disclosure about an employer's participation in a multiemployer plan (FASB 715 Exposure Draft issued on September 1, 2010.) #Issues #CommentLetters #Industry ...

NASBP_Comments _File Reference No 1860-100_.pdf




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Position Brief Volume 1 - Number 4: Reforms Needed in the Federal Acquisition Regulation (FAR) to Engender Consistency and Transparency of Contracting Officer Decisions to Reduce or to Waive Miller A

Reforms Needed in the Federal Acquisition Regulation (FAR) to Engender Consistency and Transparency of Contracting Officer Decisions to Reduce or to Waive Miller Act Bond Requirements #Advocacy #IssueBriefs #Federal #Issues #Legislation #Advocacy

PositionBrief1-4.pdf