On behalf of the National Association of Surety Bond Producers (NASBP), a national trade association of companies employing licensed surety bond producers, including those resident and non-resident in the State of Montana, I am contacting you regarding your failure to require performance and payment bonds on projects funded with monies from FEMA grants, which is in derogation of federal procurement requirements and Montana statutes. Such information has come to the attention of NASBP, prompting us to contact you and to request your immediate reconsideration of the decisions to waive performance and payment bonds on one or more of these projects.
	Topic
	
	Advocacy, Infrastructure, Payment Bond, Performance Bond
	
	Publish Date
	
	March 6, 2012
	
	Region
	
	Montana, States
	
	Audience
	
	Agents, Owners, Sureties
	
	Resource Type
	
	Comment Letter, Resource Map
	 
				 
					
Transportation Construction Coalition urges Congress to fund FY 2026 surface transportation programs at previously authorized levels.