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DBE Final Rule
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Section 26.11 What Records do Recipients Keep and Report?
The Department asked, in the SNPRM, whether it would be advisable
to have one standard reporting form for information about the DBE
program. Currently, each operating administration (OA) has its own
reporting form and requirements. Virtually all the commenters that
addressed this issue favored a single, DOT-wide reporting form.
Commenters also had a wide variety of suggestions for what data should
be reported, formats, and retention periods.
The Department is adopting the suggestion of having a single
reporting form, which we believe will reduce administrative burdens for
recipients, particularly those who receive funds from more than one OA.
Because we do not want to delay the issuance of this rule while a form
is being developed, we are reserving the date on which this single form
requirement will go into effect. We will take comments on the specifics
of reporting into account and consult with interested parties as we
devise the form, which will be published subsequently in Appendix B to
this rule. The Appendix will also address the issues of reporting
frequency and record retention periods. Meanwhile, recipients will
continue to report as directed by the concerned OA(s), using existing
reporting forms.
The rule is also adding a requirement that recipients develop and
maintain a ``bidders'' list. The bidders list is intended to be a count
of all firms that are participating, or attempting to participate, on
DOT-assisted contracts. The list must include all firms that bid on
prime contracts or bid or quote subcontracts on DOT-assisted projects,
including both DBEs and non-DBEs. Bidders lists appear to be a
promising method for accurately determining the availability of DBE and
non-DBE firms and the Department believes that developing bidders data
will be useful for recipients. Creating and maintaining a bidders list
will give recipients another valuable way to measure the relative
availability of ready, willing and able DBEs when setting their overall
goals. (See Sec. 26.45). We realize that identifying subcontractors,
particularly non-DBEs and all subcontractors that were unsuccessful in
their attempts to obtain contracts, may well be a difficult task for
many recipients. Mindful of that potential burden, the rule will not
impose any procedural requirements for how the data is collected.
Recipients are free to choose whether or not they wish to gather this
data through their existing bidding and reporting processes. Recipients
are encouraged to make use of all of the data already available to them
and all methods of reporting and communication with their contracting
community that they already have in place. In addition, the Department
suggests that recipients consider using a widely publicized public
notice or a widely disseminated survey to encourage all firms that have bid or
quoted contracts to make themselves known to recipients.
Once recipients have created the list of bidders, they will have to
supplement that information with the age of each firm (since
establishment) and the annual gross receipts of the firm (or an average
of its annual gross receipts). Recipients can gather this additional
information by sending a questionnaire to the firms on the list, or by
any other means that the recipient believes will yield reliable
information. The recipient's plan for how to create and maintain the
list and gather the required information must be included in its DBE
program.
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