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DBE Final Rule
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Section 26.9 How Does the Department Issue Guidance and Interpretations Under This Part?
Commenters, most of whom were recipients, focused on two issues in
this section. First, a majority of the comments favored the
``coordination mechanism'' concept for ensuring consistent DOT guidance
and interpretations. The few that disagreed with this approach did so
out of a concern that the mechanism would add delays to the process.
These commenters favored additional training or an 800 number hot line
to speed up the process.
We believe that proper coordination of interpretations and guidance
is vital to the successful implementation of this rule. As the
preambles to the 1992 and 1997 proposed rules mentioned, inconsistent
implementation of part 23 has been a continuing problem, which has been
criticized by a General Accounting Office report and which has created
unnecessary difficulty for recipients, contractors, and the Department
itself. A process for ensuring that the Department speaks with one
voice on DBE implementation matters, and for letting the public know
when DOT has spoken, will greatly improve the service we give our
customers.
We do not believe this coordination process will result in
significant delays in providing guidance. Nor will it inhibit the
ability of DOT staff and customers to communicate with one another. For
example, the process does not apply to informal advice provided by
staff to recipients or contractors over the phone or in a letter or e-
mail. It does maintain, however, the important distinction between
informal staff assistance on one hand and a binding institutional
position on the other.
For clarity in the process, we have modified the language of the
rule text to make clear that interpretations and guidance are binding,
official Departmental positions if the Secretary signs them or if the
document includes a statement that they have been reviewed and approved
by the General Counsel. The General Counsel will consult fully with all
concerned offices as part of this review process.
We intend to post significant guidance documents and
interpretations on the Department's web site to make them widely and
quickly available. As some commenters suggested, we are also continuing
to consider forming an advisory committee (or working group of an
existing committee) to facilitate customer input into DBE program
matters. This is separate from the coordination mechanism, however,
which is an internal DOT process.
The rule's provisions regarding exemptions and waivers, previously
found in the SNPRM's Sec. 26.9 (c) and (d), are now included as a
separate section at Sec. 26.15.
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