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NASBP supports the FAR Council to extend the requirement that subcontractors be able to receive copies of their payment bonds
NASBP supports OMB Control No. 9000-0135, Prospective Subcontractor Requests for Bonds and urges…
Contractors must furnish 125% performance and payment bonds for Teton Pass Trail Pathway
NASBP letter to the Teton County, Wyoming, Department of Public Works regarding…
Letter to the City of Littleton regarding 125% performance bond requirement.
NASBP Comment Letter sent to the City of Littleton in Colorado regarding…
Letter to the TXDOT Construction Division concerning the importance of bid bond guarantees.
NASBP comment letter sent to the Texas Department of Transportation on the…
Letter to the TX Trinity River Authority regarding the absence of a bid bond requirement.
NASBP comment letter sent to the Trinity River Authority of Texas on…
NASBP opposes H.944 which raises the bond threshold for VTDOT projects
NASBP comment letter to the Vermont Senate Committee on Transportation opposing H.944,…
NASBP opposes IL HB 5042 to raise the threshold to $10M for IL DOT and $5M for state/local contracts
NASBP letter opposing IL HB 5042, which would amend Section 1 (30…
NASBP request Utah Governor to veto HB 508
NASBP expresses strong support for the Associated General Contractors (AGC) of Utah…
NASBP opposes HB 508 S3 which gives the UT Division of Facilities Construction Management the discretion to remove statutory performance and payment bonds.
NASBP opposes HB 508 S3 which gives the UT Division of Facilities…
NASBP opposes SB 436, legislation to increase the bond threshold for counties.
This comment letter shares NASBP’s opposition to SB 436, which would amend…
NASBP supports SB335, legislation to permit construction contracts to include a mutual waiver of consequential damages
NASBP strongly supports the passage of Kansas SB 335, “Requiring public construction…
Transportation Construction Coalition urges Congress to fund FY 2026 surface transportation programs at previously authorized levels.
Timely enactment of Fiscal Year (FY) 2026 highway and public transportation funding…
Resident Agent Countersignature Requirement for the City of Alexandria, VA
NASBP sent a letter to the City of Alexandria regarding recent instruction…
Supporters request S.570, the Water Infrastructure Subcontractor & Taxpayer Protection Act, to be included in the next Senate Committee on Environment and Public Works (EPW) markup
Sixteen organizations submitted this letter requesting S.570, the Water Infrastructure Subcontractor & Taxpayer…
NASBP supports the collection of information under FAR Part 28 (Bonds and Insurance) for additional years beyond the current expiration of January 31, 2027.
NASBP strongly supports OMB Control No. 9000-0001, Certain Federal Acquisition Regulation Part…