My name is Bob Budiansky. I'm a senior research administrator at Colorado State University, and I'm here today to talk a little bit about the Federal Acquisition Regulation. The Federal Acquisition Regulation is a very complex topic, and there are so many things one could say. But I think what I'd like to do is give you a little bit of history and probably the most important thing as it relates to the Federal Acquisition Regulation. Back in 1980, there were actually two Federal Acquisition Regulations. One was called the "asper," and the other was called the "civilian" regulations. The government got the idea to put the two of them together to make one large regulation, and actually, it worked out very well because the BAR is a very functional product and it's easy to use if you have some experience using it. Now, one of the other things I'd like to say about the Federal Acquisition Regulation is that the research community is a very small part of the federal budget. Yet, the research community has lots of its own clauses and prescriptions in the Federal Acquisition Regulation, which to me is a little bit unusual. Although we are such a small part of the federal budget process, we have been given a lot of latitude in the Federal Acquisition Regulation, and we ought to take advantage of that latitude. Now, the most important thing about the Federal Acquisition Regulation is that the federal government tells you the clauses that they're going to use in there. They are called the clauses, but they also tell you why they're using those clauses. In their clause, they're called the prescriptions. And in the beginning of each of the clauses, it says at paragraph, and they'll give you a paragraph number. There is an explanation...
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Army acquisition regulation Form: What You Should Know
See the guidance in FAR 253.206-2 for the requirements for Aconites in DOD Acquisition of Technology. Federal Acquisition Regulations are issued by the United States Department of Defense, Bureau of Acquisition and Sustained (SAB), in conjunction with AFAR. (This is a web-page only, and will not display) This information is not a solicitation for procurement, and does not constitute an offer to purchase. It is intended to identify items (with a value not exceeding 10 million) for acquisition by a Federal agency.
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