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Matter of: Goddard Industries, Inc. File: B-275643 Date: March 11, 1997

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Highlights

DIGEST Sole source procurement was proper where it involved a foreign military sale and the foreign government on whose behalf the procurement was conducted requested purchase from the specified source. Goddard contends that the procurement should have been conducted competitively. Acting as an agent for a foreign country and using funds of that country that have been deposited in the FMS Trust Fund Account. Have the effect of requiring the use of procedures other than competitive procedures." 10 U.S.C. The Federal Acquisition Regulation (FAR) reiterates this exemption and provides for its use in circumstances such as "[w]hen a contemplated acquisition is to be reimbursed by a foreign country that requires that the product be obtained from a particular firm as specified in an official written direction such as a Letter of Offer and Acceptance [LOA].".

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