On behalf of the National Association of Surety Bond Producers (NASBP), a national trade organization of professional surety bond producers and brokers, representing over 5,000 personnel who place bid, payment, and performance bonds for the Nation’s construction and infrastructure projects, including those in Wisconsin, I am contacting you to express our comments on the proposed rule to amend DWD 293.02, which would increase the bonding thresholds for public improvement or work projects undertaken by the state or local governmental units.
Topic
Advocacy, Payment Bond, Performance Bond
Publish Date
August 18, 2016
Region
States, Wisconsin
Audience
Agents, Owners, Sureties
Resource Type
Comment Letter, Resource Map
NASBP Letter Addressing Locality Requirements in VA Bid Bond