The Rise of OTAs in Defense Contracting: Opportunities, Risks, and What Contractors Need to Know -
As the Defense Department increasingly turns to Other Transaction Authority (OTA) agreements to streamline innovation and...more
A True Path to Making America Great: Supporting Small Businesses and the Rule of Two -
Recently, there has been a good deal of speculation about whether the so-called “Rule of Two” will continue to exist after the Federal...more
Generally, government contractors proceeding towards a Board of Contract Appeals (BCA) decision are wise to take the safe, traditional route. While it can be a long and winding road—engaging in pleadings, discovery, a...more
Can Contractors Recover Damages for Arbitrary CPAR Ratings? The ASBCA Weighs In -
Every seasoned government contractor knows the weight a negative Contractor Performance Assessment Report (CPAR) can carry. A blemish in the...more
Protect Small Business Opportunities: The “Rule of Two” Faces Potential Elimination -
The federal government is actively trying to reduce its size and deregulate agencies across the Executive Branch. As noted in a...more
The Rise of OTA in Defense Contracting, Part 4: Capitalizing on Consortia -
In this final blog of PilieroMazza’s blog series, “The Rise of OTA in Defense Contracting,” we discuss DOD’s authority to award OTs to consortia...more
In this final blog of PilieroMazza’s blog series, “The Rise of OTA in Defense Contracting,” we discuss DOD’s authority to award OTs to consortia and how joining a consortium may be an ideal way to “get your feet wet” if...more
In Part 1 of PilieroMazza’s blog series we looked at how Other Transactions Authority (OTA) has emerged as a key acquisition tool for government contractors eager to work with the Department of Defense (DOD). In Part 2, we’ll...more
President Trump’s April 9, 2025, Executive Order Modernizing Defense Acquisitions and Spurring Innovation In the Defense Industrial Base (EO) is likely to have major implications for federal defense contractors. This blog,...more