(VSB) Very Small Business Program
1.What is the Very Small Business Set-Aside Pilot Program?
2.When did the VSB program begin?
3.When does the VSB pilot program expire?
4.What is the regulatory history/background of the VSB program?
5.Does this program only apply to firms that are located in the designated pilot SBA districts?
6.How does a firm qualify for this Program?
7.Where are the designated pilot SBA districts?
8.How do you define a very small business?
9.What does a small business need to do to participate in this program?
10.What is PRO-Net?
11.Is electronic commerce important for very small businesses?
12.What value does the VSB program add to SBA's commitment to serve small businesses?
13.What is the SBA's responsibility under the Program?
14.When will the Program's regulations be written and in place?
15.What type of contracts will be available under the Program?
16.Can a firm's eligibility as a Very Small Business participant be challenged?
17.Can the SBA protest a contracting officer's decision not to award a contract opportunity to a qualified Very Small Business?
18.Does the Very Small Business Program have a price preference component?
19.What procedures must a contracting officer take under the VSB Program?
20.Does the VSB program take precedence over SBA's 8(a) Business Development Program?
21.Are businesses certified as VSB concerns?
22.How will requirements under this program be identified?
23.What types of procurement requirements and procuring activities will be involved in the VSB program?
24.What effect does the pilot program have on the Small Business Competitiveness Demonstration Program (Demonstration Program)?
25.What is the expected impact of the VSB program?
26.What sort of data collection will take place under the VSB program?
1. What is the Very Small Business Set-Aside Pilot Program?
The Very Small Business (VSB) program is an extension of the small business set-aside program, administered by SBA as a pilot to increase opportunities for VSB concerns. Procurement requirements, including construction requirements, estimated to be between $2,500 and $50,000 must be reserved for eligible VSB concerns in designated pilot SBA districts.
Section 304 of the Small Business Administration Reauthorization and Amendments Act of 1994 (Public Law 103-403) authorized the SBA Administrator to establish and carry out a pilot program for very small business concerns. The pilot was extended by the Small Business Reauthorization Act of 1997. The Act defines a very small business concern as one that has 15 or fewer employees together with average annual receipts that do not exceed $1 million. The purpose of this pilot program is to improve access to Federal Government contract opportunities for concerns that are substantially below SBA's size standards by reserving certain procurements for competition among such VSB concerns. This pilot program has been extended to September 30, 2003, in the Small Business Reauthorization Act of 2000 as published in the Congressional Record on 12/15/2000.
2. When did the VSB program begin?
This program's final rule was published on September 2, 1998. It is expected that the Federal Acquisition Regulation (FAR) will publish an interim implementing regulation by March 1, 1999.
3. When does the VSB pilot program expire?
This pilot program was extended to September 30, 2003. Any award under this program must be made on or before this date.
4. What is the regulatory history/background of the VSB program?
On January 21, 1997 (62 FR 2979), SBA published a proposed rule in the Federal Register to amend parts 121 and 125 of title 13 of the Code of Federal Regulations (CFR) in order to establish a pilot program for very small business (VSB) concerns. (See Pub. L. 103-403, Section 304.) The purpose of this pilot program is to improve access to Federal Government contract opportunities for concerns that are substantially below SBA's size standards by reserving certain procurements for competition among such VSB concerns. SBA received 11 timely comments to the January 21, 1997, proposed rule. Comments were evaluated and in some cases were incorporated into the final rule which became effective on September 2, 1998.
5. Does this program only apply to firms that are located in the designated pilot SBA districts?
Yes. The business's headquarters must be located within the geographic area served by a designated SBA district.
6. How does a firm qualify for this Program?
In order to qualify for the program, a firm's headquarters must be located within a designated pilot area and have 15 or fewer employees together with average annual receipts that do not exceed $1 million.
7. Where are the designated pilot SBA districts?
The term designated SBA district means the geographic area served by any of the following SBA district offices:
(i) Albuquerque, NM, serving New Mexico;
(ii) Los Angeles, CA, serving the following counties in California: Los Angeles, Santa Barbara, and Ventura;
(iii) Boston, MA, serving Massachusetts;
(iv) Louisville, KY, serving Kentucky;
(v) Columbus, OH, serving the following counties in Ohio: Adams, Allen, Ashland, Athens, Auglaize, Belmont, Brown, Butler, Champaign, Clark, Clermont, Clinton, Coshocton, Crawford, Darke, Delaware, Fairfield, Fayette, Franklin, Gallia, Greene, Guernsey, Hamilton, Hancock, Hardin, Highland, Hocking, Holmes, Jackson, Knox, Lawrence, Licking, Logan, Madison, Marion, Meigs, Mercer, Miami, Monroe, Montgomery, Morgan, Morrow, Muskingum, Noble, Paulding, Perry, Pickaway, Pike, Preble, Putnam, Richland, Ross, Scioto, Shelby, Union, Van Wert, Vinton, Warren, Washington, and Wyandot;
(vi) New Orleans, LA, serving Louisiana;
(vii) Detroit, MI, serving Michigan;
(viii) Philadelphia, PA, serving the State of Delaware and the following counties in Pennsylvania: Adams, Berks, Bradford, Bucks, Carbon, Chester, Clinton, Columbia, Cumberland, Dauphin, Delaware, Franklin, Fulton, Huntington, Juniata, Lackawanna, Lancaster, Lebanon, Lehigh, Luzerne, Lycoming, Mifflin, Monroe, Montgomery, Montour, Northampton, Northumberland, Philadelphia, Perry, Pike, Potter, Schuylkill, Snyder, Sullivan, Susquehanna, Tioga, Union, Wayne, Wyoming, and York.
(ix) El Paso, TX, serving the following counties in Texas: Brewster, Culberson, El Paso, Hudspeth, Jeff Davis, Pecos, Presidio, Reeves, and Terrell;
(x) Santa Ana, CA, serving the following counties in California: Orange, Riverside, and San Bernadino.
8. How do you define a very small business?
The term very small business or VSB means a concern whose headquarters is located within the geographic area served by a designated SBA district and, together with its affiliates, has no more than 15 employees and has average annual receipts that do not exceed $1 million. The terms, concerns, affiliates, average annual receipts, and employees have the meaning given to them in SBA's Regulations contained in Chapter 13 of the Code of Federal Regulations.
9. What does a small business need to do to participate in this program?
There are no formal requirements for the VSB program except for a firm to respond to federal agency procurement solicitations. The firm will self-certify its VSB status as part of its oral or written offer to the Government. However, marketing a firm's capability to the federal government is a significant undertaking and like any significant marketing efforts requires planning and research of the customer's needs. The following are very important:
Register at s source list of small business suppliers to the Federal government. (See next question below).
Be sure to include your E-mail and web-site addresses if you have them.
Consider providing federal government customers the ability to pay by credit card.
10. What is PRO-Net?
PRO-Net is an electronic gateway of procurement information -- for and about small businesses. It is a search engine for contracting officers, a marketing tool for small firms and a "link" to procurement opportunities and important information. It is designed to be a "virtual" one-stop procurement shop.
PRO-Net is an Internet-based database of information on more than 180,000 small, disadvantaged, 8(a) and women-owned businesses. It is free to federal and state government agencies as well as prime and other contractors seeking small business contractors, subcontractors and/or partnership opportunities. PRO-Net is open to all small firms seeking federal, state and private contracts.
Businesses profiled on the PRO-Net systemcan be searched by SIC codes; key words; location; quality certifications; business type; ownership race and gender; EDI capability, etc. Business profiles in the PRO-Net system include data from SBA's files and other available databases, plus additional business and marketing information on individual firms.
Businesses on the system will be responsible for updating their profiles and keeping information current. Profiles are structured like executive business summaries, with specific data search fields that are user-friendly and designed to meet the needs of contracting officers and other potential users.
Profiles provide vendors an opportunity to put a controlled "marketing spin" on their businesses. Companies with "home-pages" can link their web site to their PRO-Net profile, creating a very powerful marketing tool.
As an electronic gateway, PRO-Net provides access and is linked to the Commerce Business Daily (CBD), agency home pages and other sources of procurement opportunities. The system is also linked to key sources of information, assistance and training.
11. Is electronic commerce important for very small businesses?
Yes. Electronic commerce has and will continue to dramatically change the way government procurement offices conduct business. Government commerce was implemented as the result of the Federal Acquisition Streamlining Act of 1994. That is why is it important for very small businesses to be able to respond to the challenges and opportunities of electronic commerce. Specifically electronic mail, web sites, and credit card acceptance have become almost mandatory for small business success.
12. What value does the VSB program add to SBA's commitment to serve small businesses?
The program will improve access to Federal contract opportunities by reserving certain procurements for competition among VSB concerns.
13. What is the SBA's responsibility under the Program?
SBA is responsible for formulating final regulations to implement the program. SBA is also required to submit a report to the Congressional Small Business Committees concerning the degree to which the pilot program has improved access to federal procurement opportunities for very small businesses. Further, SBA is required to facilitate identification of very small businesses to contracting officers and will also investigate eligibility challenges.
14. When will the Program's regulations be written and in place?
The SBA published the final rule to implement the Very Small Business Program on September 2, 1998 on page 46640 of the Federal Register (63FR46640). However, the program is currently in place and operational.
15. What type of contracts will be available under the Program?
All types of contracts normally authorized under the Federal Acquisition Regulation will be available where the anticipated requirement will be between $2,500 and $50,000.
16. Can a firm's eligibility as a Very Small Business participant be challenged?
Yes. The specific process for challenging a firm's eligibility as a Very Small Business participant is detailed in the SBA's operating regulations. These regulations allow an interested party to challenge the veracity of a certification made or information provided to the SBA. SBA will have final authority in this regard.
17. Can the SBA protest a contracting officer's decision not to award a contract opportunity to a qualified Very Small Business?
Yes. The Administrator of the SBA may file a written request for re-consideration of the contracting officer's decision with the Secretary of the Department or Agency head.
18. Does the Very Small Business Program have a price preference component?
No.
19. What procedures must a contracting officer take under the VSB Program?
(1) A contracting officer must set aside for VSB concerns each procurement that has an anticipated dollar value between $2,500 and $50,000 if. (i) In the case of a procurement for manufactured or supply items: (A) The buying activity is located within the geographical area served by a designated SBA district, and (B) There is a reasonable expectation of obtaining offers from two or more responsible VSB concerns headquartered within the geographical area served by that designated SBA district that are competitive in terms of market prices, quality and delivery; or (ii) In the case of a procurement for other than manufactured or supply items: (A) The requirement will be performed within the geographical area served by a designated SBA district, and (B) There is a reasonable expectation of obtaining offers from two or more responsible VSB concerns headquartered within the geographical area served by that designated SBA district that are competitive in terms of market prices, quality and delivery.
(2) The geographic areas served by the SBA Los Angeles and Santa Ana District Offices will be treated as one designated SBA district for the purposes of this section.
(3) If the contracting officer determines that there is not a reasonable expectation of receiving at least two responsible offers from VSB concerns headquartered within the geographic area served by the applicable designated SBA district, he or she must include in the contract file the reason(s) for this determination, and solicit the procurement pursuant to the provisions of 48 CFR 19.502-2. SBA may appeal such determination using the same procedure described in 48 CFR 19.505.
(4) If the contracting officer receives only one acceptable offer from a responsible VSB concern in response to a VSB set-aside, the contracting officer should make an award to that firm. If the contracting officer receives no acceptable offers from responsible VSB concerns, he or she will withdraw the procurement and, if still valid, must resolicit it pursuant to the set aside provisions of FAR 19.502-2(d). Where a procurement is set aside for VSB concerns, only those VSB concerns whose headquarters are located within the geographic area served by the applicable designated SBA district are eligible to submits offers in response to a-solicitation or a request for quotation.
Buying activities conducting market research, should consult the SBA website (Pronet.sba.gov) for compatible VSB concerns. Their efforts should not, however, be limited to the SBA website. Procuring activities should also try to identify VSB sources through media pursuant to FAR 5. 101 as well as their agency-specific regulations and policies.
20. Does the VSB program take precedence over SBA's 8(a) Business Development Program?
No. Nothing in this program shall be construed to alter in any way the procedures by which procuring activities award contracts under the SBA's 8(a) Business Development program (see 13 CFR part 124).
21. Are businesses certified as VSB concerns?
There is no certification process under the VSB program. Concerns will self-certify their status as a VSB concerns for any procurement reserved as a VSB set-aside to the buying activity contracting officer. As with any other representation as to size, absent information to the contrary, a contracting officer may accept such a self-representation and award a contract. If the size of a concern representing itself to be a VSB is protested on a VSB set-aside, the contracting officer will forward the protest to SBA as he or she would any other size protest in accordance with 13 CFR part 121. SBA will determine whether the concern qualifies as a VSB by using the statutorily imposed 15-employee and $1 million in average annual receipts size standard and other appropriate provisions of part 12 1.
22. How will requirements under this program be identified?
Since this pilot is a subset of the procurement set aside program, no formal changes are made to existing SBA set aside policies and procedures. Certain procedural changes are likely to be issued under the FAR implementing regulations. Procedures are already in place to address these issues regarding other set asides, which would cover this program as well. In addition to using SBA's existing automated reference system (pronet.sba.gov), procuring activities can rely on SBA district office personnel and procurement center representatives (PCRs) to identify VSB concerns likely to compete on a requirement. A procuring activity may elect to issue a VSB sources sought notice in the Commerce Business Daily. However, this rule does not require display or synopsizing requirements in excess of those currently in the Federal Acquisition Regulation (FAR).
23. What types of procurement requirements and procuring activities will be involved in the VSB program?
Under the final rule, any procurement requirement between $2,500 and $50,000 may be set aside for VSB concerns. A contracting officer must set aside for VSB concerns any such service or construction requirement that will be performed within the geographical boundaries served by a designated SBA district office if there is a reasonable expectation of obtaining fair and reasonable offers from two or more responsible VSB concerns headquartered within the geographical area served by that designated SBA district. Exceptions to this requirement would be if the acquisition would be through the 8(a) program or if the acquisition falls under the Comp Demo Designated Industries in FAR 19.1006. In these instances the VSB program does not apply.
In the case of a procurement for supplies or manufactured items, a contracting officer must set aside any such requirement for VSBs if the buying activity is located within the geographical area served by a designated SBA district and there is a reasonable expectation of obtaining fair and reasonable offers from two or more responsible VSB concerns headquartered within the geographical area served by that designated SBA district. SBA has made the distinction between service or construction requirements and requirements for supplies or manufactured items because of the size of VSB concerns and their limited ability to perform contracts outside of the geographic area where they are located. For a service or construction requirement, the place of performance is what is critical to a VSB, not the location of the buying activity. This is particularly true where more and more requirements are being procured on a consolidated basis by a number of buying activities, which are geographically dispersed around the country. The VSB program is intended to give local smaller businesses a chance to perform local requirements. For a service or construction business, that means requirements that will be performed close to where the firm is located. Conversely, for a manufacturing firm or one that provides supply items, the place of ultimate delivery is not important. It is the location of the buying activity that matters to such a firm.