- SETA (contractor)
Systems Engineering and Technical Assistance SETA contractors are civilian employees of government contractors who are contracted to assist Department of Defense(DoD) components, and acquisition programs. (In some areas of DoD, the acronym SETA refers to "Systems Engineering and Technical Assessment" contractors; also refers to "Systems Engineering and Technical Analysis.") SETA contractors provide analysis and engineering services in a consulting capacity, working closely with the government's own engineering staff members. SETA contractors provide the flexibility and quick availability of expertise without the expense and commitment of sustaining the staff long-term.
Contracting
The government often needs to supplement its internal Systems Engineering and Technical Assistance capability in order to meet its frequently changing needs and demands. Through a formal
Request for Information (RFI)/Request for Proposal (RFP) process the government is able to contract with a commercial organization to provide certain services. SETA contractors work alongside government employees often within the same workspace. SETA contractors may participate in government contracting actions and may assist in managing other contracts. A SETA contractor cannot be theContracting Officer Representative (COR ) orAssistant Contracting Officer Representative (ACOR ) but they may function as theTechnical Point of Contact (TPOC ). Since SETA contractors may have access to procurement sensitive information there is a risk of Conflicts of Interest (CoI) which must be mitigated through the use of Non-Disclosure Agreements (NDAs) and establishment of Firewalls (restrictions on communications within corporations).Policy
The policy related to SETA contractors can be found in the
Federal Acquisition Regulation (FAR ),Defense Federal Acquisition Regulation (DFAR ) and DoD Instructions.FAR Part 37 is the starting point for guidance for these types of contracts. Subpart 37.2 defines advisory and assistance services and provides that the use of such services is a legitimate way to improve the prospects for program or systems success. FAR Part 37.201(c) defines engineering and technical services used in support of a program office during the acquisition cycle. FAR 16.505(c) states provides that the ordering period of an advisory and assistance services task order contract, including all options or modifications, may not exceed five years unless a longer period is specifically authorized in a law that is applicable to such a contract. DFARS Part 237 provides very important information applicable to advisory and assistance contracts. The contracting officer and requiring activity must also be aware of FAR Subpart 9.5 when considering the potential for organizational and consultant conflicts of interest. [ [http://akss.dau.mil/askaprof-akss/qdetail2.aspx?cgiSubjectAreaID=7&cgiQuestionID=6955 AKSS - Ask A Professor - What are the limits / scope of SETA contracts? ] ]
ee also
Contracting Officer's Technical Representative Resources
* [http://acquisition.gov/far/index.html Federal Acquisition Regulation]
* [http://www.acq.osd.mil/dpap/dars/dfars/index.htm Defense Federal Acquisition Regulation]
* [http://www.dtic.mil/whs/directives/ Department of Defense Issuances]Footnotes
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