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A firm protested a Navy contract award for bulk liquid transfer systems, contending that the Navy improperly failed to discuss concerns it had about its past performance and improperly evaluated the proposals. GAO held that the: (1) the protester failed to timely protest the Navy's amended solicitation regarding discussions; and (2) Navy reasonably evaluated the protester's proposal in accordance with the solicitation's evaluation criteria. Accordingly, the protest was denied.

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