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* 1. Estimate the number of hours that your company will require for initial start up to comply with the proposed rule. Start up might include activities such as:

• Read and understand GSA requirements
• Create or reprogram systems capable of capturing and reporting the required data elements
• Establish internal written protocols and procedures
• Get required internal approvals
• Train company employees
• Collect data
• Vet and reconcile data
• Negotiate terms with GSA

Estimated number of hours:

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* 2. Estimate the hours that your company will require to report transactional data on a monthly basis. (Data to include Contract or BPA Number, Order Number/Procurement Instrument Identifier (PIID), Non Federal Entity if applicable, Description of Deliverable, Manufacturer Name, Manufacturer Part Number, Unit Measure (each, hour, case, lot), Quantity of Item Sold, Universal Product Code (UPC) if applicable, Price Paid per Unit and Total Price.)

Estimated number of hours:

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* 3. Will the change from quarterly to monthly sales reports impact the number of hours required to comply with the GSA Schedule Contract?

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* 4. Estimate the hours required to report and pay industrial funding fees quarterly.

Estimated number of hours:

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* 5. The proposed rule deletes the requirement to monitor the Basis of Award Customer. However, contractors must continue to submit commercial sales practices with the offer and to modify contracts. Contractors must also submit CSP throughout the life of the contract. The Price Reduction Clause will allow the government to seek a price reduction at any time.

Do you anticipate that this change will impact the number of hours required to comply with the PRC?

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* 6. Will the proposed rule impact your cost of doing business with GSA? Please consider both systems and personnel costs.

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* 7. Please describe your company. Check all that apply.

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* 8. Is there any additional feedback you would like to share with the Coalition concerning the transactional data proposed rule?

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