Topic
Region
Resource Type
Financial Statement Analysis
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Credit Report Authorization and Privacy Disclosure Form
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NASBP, SFAA Comments re: Financial Assurance Rulemaking, Docket No. 210600097
The National Association of Surety Bond Producers (NASBP)1 and The Surety &…
Comments to WVDOH Secs 102 103 108 and 109 Contractor Prequalification Bonding
On behalf of the National Association of Surety Bond Producers (NASBP), a…
Support Rescinding Executive Order 192, a Back-Door Debarment
On January 15, 2019, Governor Cuomo issued Executive Order 192, radically upending…
NASBP Comment Letter to USDA to Consider Accepting Surety Bonds As Security for Construction Portion of Rural Broadband Infrastructure Projects – 04/21/2021
The National Association of Surety Bond Producers (NASBP) 1 support public and…
Letter requesting Congress to take immediate action regarding the acceptance of electronic bonds, including use of electronic signatures, seals, and powers of attorney, accompanying federal contracts – 04/03/2020
To ensure that construction services, accompanying performance guarantees and all commercial surety…
NASBP Supports the Proposed P3 Rule to Require Surety Bonds
On behalf of the National Association of Surety Bond Producers (NASBP), a…
NASBP Strongly Opposes, H.2773, Legislation Relating to Subcontractor Default Insurance (SDI)
On behalf of the National Association of Surety Bond Producers (NASBP), a…
NASBP Comment Letter Expressing Concerns with the New Five-Year Financial Statement Requirement for Small Businesses – 01/24/2022
On behalf of the National Association of Surety Bond Producers (NASBP), I…