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Members of the Construction Industry Procurement Coalition Submit Comments to the FAR Council Seeking to Prohibit Reverse Auctions for the Procurement of Construction Services – 02/05/2021
On behalf of the undersigned 13 construction industry trade and professional organizations,…
OMB Control No. 9000–0001, Standard Form 28, Affidavit of Individual Surety – 12/17/2020
On behalf of the National Association of Surety Bond Producers (NASBP), a…
Members of the Construction Coalition Submit Letter to FAR Council Opposing Indexing the Miller Act Payment Bond – 08/31/2020
We, the undersigned members of the Construction Industry Procurement Coalition (CIPC), which…
Transportation Construction Coalition Letter to Congress Requesting Immediate Infusion of Funding into State DOTs – 07/20/2020
We are grateful for your continued leadership to provide stability and relief…
NASBP Comment Letter to the FCC to Consider Using Surety Bonds as a Risk Management Measure – 06/23/20
The National Association of Surety Bond Producers (NASBP) is a national trade…
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…
FAR Case 2017-003, Letter to FAR Council requesting they implement regulations requiring that individual surety bonds are stable and secure assets in the control of the federal government – April 2, 2020
On behalf of the National Association of Surety Bond Producers (NASBP), a…
COMAR 04.01.05.01 to .10: Requiring Surety Bonds on P3s
On behalf of the National Association of Surety Bond Producers (NASBP), a…
Surety Assn of WI urges Chairman Ron Johnson to support removing the Federal Miller Act from indexing
We are writing because the House and Senate Armed Services Committee will…
Surety Assn of WI Urges Chairman Ron Johnson to Support Removing the Federal Miller Act from indexing – 08/06/2019
We are writing because the House and Senate Armed Services Committee will…
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 Supporting Additional Enhancements to the SBA Surety Bond Guarantee Program – 07/23/2019
I am submitting comments on behalf of the National Association of Surety…
The Acceptance of Commercial Standards for Electronic Forms of Bid Security and for Further Consideration of Final Bonds
The National Association of Surety Bond Producers (NASBP)1 and The Surety &…