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26 <br /> <br /> <br />General procurement standards (2 C.F.R. Part 200.318) Competition (2 C.F.R. Part 200.319) Methods of procurement (2 C.F.R. Part 200.320) Contracting with small and minority businesses, women’s business enterprises, and area labor surplus firms (2 C.F.R. Part 200.321) Procurement of recovered materials (2 C.F.R. Part 200.322) Contract cost and price (2 C.F.R. Part 200.323) Awarding agency and pass-through entity review (2 C.F.R. Part 200.324) Bonding requirements (2 C.F.R. Part 200.325) Contract provisions (2 C.F.R. Part 200.326 and Appendix II) FEMA Public Assistance Program and Policy Guide (latest edition) FEMA Procurement Disaster Assistance Team (PDAT) Field Manual Title 2 U.S. Code of Federal Regulations, Part 200 41 C.F.R. Part 60-1.4 Equal Opportunity Clause 29 C.F.R. §5.5(b) Contract Work Hours and Safety Standards Act Clean Air Act and Federal Water Pollution Control Act 2 C.F.R. part 180 and 2 C.F.R. part 3000 Suspension and Debarment Compliance 31 U.S.C. § 1352 and 44C.F.R. Part 18 Byrd Anti-Lobbying Amendment (as amended) Section 6002 Solid Waste Disposal Act 31 U.S.C. Chapter 38 Program Fraud and False or Fraudulent Statements or Related Acts Emergency Relief Manu-al (Federal-Aid Highways) (latest edition) FEMA and Federal Requirements for Access to Records Prohibition on Use of Department of Homeland Security Seal, Logo, and Flags Compliance with Federal Law, Regulations and Executive Orders for FEMA Financial Assistance State of Florida Administrative Regulations for Public Assistance. Compliance with 2. C.F.R. 200.318(j)(1) – (j)(2) contract requirements for time and materials contracts. And all other applicable Federal, State and local regulations 2 C.F.R. §200.321. The Stafford Act, Section 407 The Stafford Act, Section 406 <br />44 CFR § 206.224 <br />FEMA Debris Monitoring Guide March 2020 <br />d.) DP&O’s Experience and success in filling and receiving Federal (FEMA. NRCS. FHWA, Etc.) and State <br />Reimbursements: DP&O has provided FEMA Claims Reimbursement for all of our clients. Our successful <br />track record and strategic client approach has minimized recovery time, prevented FEMA obligation delays, <br />maximized reimbursement dollars and qualified our clients for disaster federal grants and qualified Millions in <br />hazard mitigation 404 and 406 funds. <br />DP&O has decades of success and experience with the entire disaster management and disaster reimbursement <br />administration process, ensuring FEMA compliance throughout the entire process. Our well-seasoned staff <br />emphasize from day one, emphasize on audit ready documents to support project closeout, and we maintain this <br />audit readiness through the entire FEMA PA review and approval process including post disaster grant <br />management and administration. We have successfully obtained clients obligations of the FEMA Covid-19, & <br />Cares Act claims, and are successful in qualifying, implementing the HMPG 404, and 406, LMS (local mitigation <br />strategy) programs. Our technical approach demonstrates the highest level of in-depth understanding Disaster <br />Management and Administrative Services in accordance with FEMA policies, OIG audit principals resulting in <br />decades of successful financial recovery for our clients from disasters during the disaster recovery life cycle, <br />maintaining stringent documentation, requirements for Federal Disaster reimbursement, successful “Project <br />Closeout and Flawless State/Federal Audits. <br />As Prime Contractor DP&O has demonstrated that it’s experience and knowledge in handling and executing <br />Disaster Grant Management & Recovery in compliance and consistent with the policies, publications, guidelines,