81_FR_4452 81 FR 4436 - Small Business Size Standards: Industries With Employee Based Size Standards Not Part of Manufacturing, Wholesale Trade, or Retail Trade

81 FR 4436 - Small Business Size Standards: Industries With Employee Based Size Standards Not Part of Manufacturing, Wholesale Trade, or Retail Trade

SMALL BUSINESS ADMINISTRATION

Federal Register Volume 81, Issue 16 (January 26, 2016)

Page Range4436-4469
FR Document2016-00922

The U.S. Small Business Administration (SBA) modifies 36 employee based small business size standards for industries and sub- industries (i.e., ``exceptions'' in SBA's table of size standards) that are not part of North American Industry Classification System (NAICS) Sector 31-33 (Manufacturing), Sector 42 (Wholesale Trade), or Sector 44-45 (Retail Trade). Specifically, SBA increases 30 size standards for industries and three for sub-industries or ``exceptions.'' SBA also decreases size standards from 500 employees to 250 employees for three industries, namely NAICS 212113 (Anthracite Mining), NAICS 212222 (Silver Ore Mining), and NAICS 212291 (Uranium-Radium-Vanadium Ore Mining). SBA maintains the Information Technology Value Added Resellers (ITVAR) sub-industry or ``exception'' under NAICS 541519 (Other Computer Related Services) with the 150-employee size standard, but amends Footnote 18 to SBA's table of size standards by adding the requirement that the supply (i.e., computer hardware and software) component of small business set-aside ITVAR contracts must comply with the nonmanufacturing performance requirements or nonmanufacturer rule (NMR). Additionally, SBA eliminates the Offshore Marine Air Transportation Services sub-industry or ``exception'' under NAICS 481211 and 481212 and Offshore Marine Services sub-industry or ``exception'' under NAICS Subsector 483 and their $30.5 million receipts based size standard. This change includes removing Footnote 15 from the table of size standards. As part of its ongoing comprehensive size standards review, SBA evaluated employee based size standards for 57 industries and five sub-industries that are not in NAICS Sectors 31- 33, 42, or 44-45 to determine whether they should be retained or revised.

Federal Register, Volume 81 Issue 16 (Tuesday, January 26, 2016)
[Federal Register Volume 81, Number 16 (Tuesday, January 26, 2016)]
[Rules and Regulations]
[Pages 4436-4469]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-00922]



[[Page 4435]]

Vol. 81

Tuesday,

No. 16

January 26, 2016

Part III





Small Business Administration





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13 CFR Part 121





Small Business Size Standards: Industries With Employee Based Size 
Standards Not Part of Manufacturing, Wholesale Trade, or Retail Trade; 
Small Business Size Standards for Manufacturing; Final Rules

Federal Register / Vol. 81 , No. 16 / Tuesday, January 26, 2016 / 
Rules and Regulations

[[Page 4436]]


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SMALL BUSINESS ADMINISTRATION

13 CFR Part 121

RIN 3245-AG51


Small Business Size Standards: Industries With Employee Based 
Size Standards Not Part of Manufacturing, Wholesale Trade, or Retail 
Trade

AGENCY: U.S. Small Business Administration.

ACTION: Final rule.

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SUMMARY: The U.S. Small Business Administration (SBA) modifies 36 
employee based small business size standards for industries and sub-
industries (i.e., ``exceptions'' in SBA's table of size standards) that 
are not part of North American Industry Classification System (NAICS) 
Sector 31-33 (Manufacturing), Sector 42 (Wholesale Trade), or Sector 
44-45 (Retail Trade). Specifically, SBA increases 30 size standards for 
industries and three for sub-industries or ``exceptions.'' SBA also 
decreases size standards from 500 employees to 250 employees for three 
industries, namely NAICS 212113 (Anthracite Mining), NAICS 212222 
(Silver Ore Mining), and NAICS 212291 (Uranium-Radium-Vanadium Ore 
Mining). SBA maintains the Information Technology Value Added Resellers 
(ITVAR) sub-industry or ``exception'' under NAICS 541519 (Other 
Computer Related Services) with the 150-employee size standard, but 
amends Footnote 18 to SBA's table of size standards by adding the 
requirement that the supply (i.e., computer hardware and software) 
component of small business set-aside ITVAR contracts must comply with 
the nonmanufacturing performance requirements or nonmanufacturer rule 
(NMR). Additionally, SBA eliminates the Offshore Marine Air 
Transportation Services sub-industry or ``exception'' under NAICS 
481211 and 481212 and Offshore Marine Services sub-industry or 
``exception'' under NAICS Subsector 483 and their $30.5 million 
receipts based size standard. This change includes removing Footnote 15 
from the table of size standards. As part of its ongoing comprehensive 
size standards review, SBA evaluated employee based size standards for 
57 industries and five sub-industries that are not in NAICS Sectors 31-
33, 42, or 44-45 to determine whether they should be retained or 
revised.

DATES: This rule is effective on February 26, 2016.

FOR FURTHER INFORMATION CONTACT: Jorge Laboy-Bruno, Ph.D., Economist, 
Size Standards Division, (202) 205-6618 or [email protected].

SUPPLEMENTARY INFORMATION: 

Introduction

    To determine eligibility for Federal small business assistance, SBA 
establishes small business size definitions (referred to as ``size 
standards'') for private sector industries in the United States. SBA 
uses two primary measures of business size--average annual receipts and 
average number of employees. SBA uses financial assets and refining 
capacity to measure the size of a few specialized industries. In 
addition, SBA's Small Business Investment Company (SBIC), Certified 
Development Company (CDC/504), and 7(a) Loan Programs use either the 
industry based size standards or net worth and net income based 
alternative size standards to determine eligibility for those programs. 
At the start of the SBA's current comprehensive size standards review 
when the size standards were based on NAICS 2007, there were 41 
different size standards covering 1,141 NAICS industries and 18 sub-
industry activities (``exceptions'' in SBA's table of size standards). 
Thirty-one of these size levels were based on average annual receipts, 
seven were based on average number of employees, and three were based 
on other measures. Presently, under NAICS 2012, there are 28 different 
size standards, covering 1,031 industries and 16 ``exceptions.'' Of the 
1,047 corresponding size standards including exceptions, 533 are based 
on average annual receipts, 509 on number of employees (one of which 
also includes barrels per day total capacity), and five on average 
assets.
    Over the years, SBA has received comments that its size standards 
have not kept up with changes in the economy, in particular the changes 
in the Federal contracting marketplace and industry structure. The last 
time SBA conducted a comprehensive size standards review was during the 
late 1970s and early 1980s. Since then, most reviews of size standards 
were limited to a few specific industries, mostly with receipts based 
size standards, in response to requests from the public and from 
Federal agencies. SBA reviews all monetary based size standards (except 
for statutorily set size standards in NAICS Sector 11) for inflation at 
least once every five years. SBA's latest inflation adjustment to the 
monetary based size standards was published in the Federal Register on 
June 12, 2014 (79 FR 33647). However, the vast majority of employee 
based size standards have not been reviewed since they were first 
established.
    Because of changes in the Federal marketplace and industry 
structure since the last comprehensive size standards review, SBA 
recognizes that current data may no longer support some of its existing 
size standards. Accordingly, in 2007, SBA began a comprehensive review 
of all size standards to determine if they are consistent with current 
data, and to adjust them when necessary. In addition, on September 27, 
2010, the President of the United States signed the Small Business Jobs 
Act of 2010 (Jobs Act), 111 Public Law 240, 124 Stat. 2504, Sep. 27, 
2010. The Jobs Act directs SBA to conduct a detailed review of all size 
standards and to make appropriate adjustments to reflect market 
conditions. Specifically, the Jobs Act requires SBA to conduct a 
detailed review of at least one-third of all size standards during 
every 18-month period from the date of its enactment. Id. at Sec.  
1344(a)(1)(A). In addition, the Jobs Act requires that SBA review all 
size standards not less frequently than once every five years 
thereafter. Id. at Sec.  1344(a)(2). Reviewing existing small business 
size standards and making appropriate adjustments based on the latest 
available data are also consistent with Executive Order 13563 on 
improving regulation and regulatory review.
    Rather than review all size standards at one time, SBA is reviewing 
size standards on a Sector-by-Sector basis. A NAICS Sector generally 
includes 25 to 75 industries, except for NAICS Sector 31-33, 
Manufacturing, which has considerably more industries. This final rule 
covers industries with employee based size standards that are not part 
of NAICS Sector 31-33 (Manufacturing), Sector 42 (Wholesale Trade), or 
Sector 44-45 (Retail Trade). These include one industry each in NAICS 
Sector 11 (Agriculture, Forestry, Fishing and Hunting), Sector 22 
(Utilities), and Sector 52 (Finance and Insurance), 25 industries in 
Sector 21 (Mining, Quarrying, and Oil and Gas Extraction), 15 
industries in Sector 48-49 (Transportation and Warehousing), 12 
industries in Sector 51 (Information), two industries and four sub-
industries (``exceptions'') in Sector 54 (Professional, Scientific and 
Technical Services), and one sub-industry (``exception'') in Sector 56 
(Administrative and Support, Waste Management and Remediation Services) 
that currently have employee based size standards. Once SBA completes 
its review of size standards for industries in a NAICS Sector, it 
issues a proposed

[[Page 4437]]

rule to revise size standards for those industries based on latest 
industry and program data available and other relevant factors, such as 
current economic climate and SBA's and other government's programs and 
policies to help small businesses.
    As part of the ongoing comprehensive size standards review, SBA 
also developed a ``Size Standards Methodology'' White Paper for 
developing, reviewing, and modifying size standards, when necessary. 
SBA published the document on its Web site at www.sba.gov/size for 
public review and comments, and included it as a supporting document in 
the electronic docket of the proposed rule at www.regulations.gov.
    In evaluating an industry's size standard, SBA generally examines 
its characteristics (such as average firm size, startup costs and entry 
barriers, industry competition, and distribution of firms by size) and 
the small business level and share of Federal contract dollars in that 
industry. SBA also examines the potential impact a size standard 
revision might have on its financial assistance programs, and whether a 
business concern under a revised size standard would be dominant in its 
industry. SBA analyzed the characteristics of each industry in this 
final rule, mostly using a special tabulation obtained from the U.S. 
Bureau of the Census from its 2007 Economic Census (the latest 
available). The industry data in the Economic Census tabulation are 
limited to the 6-digit codes and do not permit the evaluation of size 
standards for sub-industry categories or ``exceptions.'' Thus, as 
explained in the proposed rule, when establishing, reviewing, or 
modifying size standards for ``exceptions,'' SBA evaluates the data 
from the U.S. General Service Administration's (GSA) Federal 
Procurement Data System--Next Generation (FPDS-NG) and System of Awards 
Management (SAM) databases. In this final rule, SBA used the data from 
FPDS-NG and SAM to determine industry and Federal contracting factors 
for ``Information Technology Value Added Resellers,'' which is an 
exception under NAICS 541519, Other Computer Related Services, and for 
``Environmental Remediation Services,'' which is an exception under 
NAICS 562910, Remediation Services.
    SBA also evaluated the small business level and share of Federal 
contracts in each industry using the data from FPDS-NG for fiscal years 
2009-2011 for the proposed rule and fiscal years 2012-2014 for this 
final rule. To evaluate the impact of changes to size standards on its 
loan programs, SBA analyzed internal data on its guaranteed loan 
programs for fiscal years 2010-2012 for the proposed rule and fiscal 
years 2012-2014 for this final rule.
    SBA's ``Size Standards Methodology'' White Paper provides a 
detailed description of its analyses of various industry and program 
factors and data sources, and how the Agency uses the results to 
establish and revise size standards. In the proposed rule itself, SBA 
detailed how it applied its ``Size Standards Methodology'' to review 
and modify where necessary, the existing employee based size standards 
for industries that are not part of NAICS Sectors 31-33, 42, or 44-45. 
SBA sought comments from the public on a number of issues about its 
``Size Standards Methodology,'' such as whether there are alternative 
methodologies that SBA should consider; whether there are alternative 
or additional factors or data sources that SBA should evaluate; whether 
SBA's approach to establishing small business size standards makes 
sense in the current economic environment; whether SBA's application of 
anchor size standards is appropriate in the current economy; whether 
there are gaps in SBA's methodology because of the lack of current or 
comprehensive data; and whether there are other facts or issues that 
SBA should consider.
    On September 10, 2014 (79 FR 53646), SBA published a proposed rule 
seeking comments on a number of proposals and issues. SBA invited 
comments on its proposals to increase employee based size standards for 
30 industries and three sub-industries (``exceptions'') and decrease 
them for three industries that are not part of NAICS Sectors 31-33, 42, 
or 44-45. SBA requested comments on a number of issues, including 
whether the size standards should be revised as proposed and whether 
the proposed revisions are appropriate. The Agency also sought feedback 
on its proposals to eliminate the Information Technology Value Added 
Resellers (ITVAR) sub-industry (``exception'') under NAICS 541519 
(Other Computer Related Services) and its 150-employee size standard 
and eliminate the Offshore Marine Air Transportation Services sub-
industry or ``exception'' under NAICS 481211 and 481212 and Offshore 
Marine Services sub-industry (``exception'') under NAICS Subsector 483 
and their $30.5 million receipts based size standard. The public was 
also welcome to comment on any other size standards that the Agency 
proposed retaining at their current levels. SBA's analyses supported 
lowering existing size standards for a number of industries. However, 
as SBA pointed out in the proposed rule, lowering size standards would 
reduce the number of firms eligible to participate in Federal small 
business assistance programs and be counter to what the Federal 
government and SBA are doing to help small businesses. Therefore, SBA 
proposed to retain the current size standards for those industries and 
requested comments on whether the Agency should lower size standards 
for which its analyses might support lowering them. Finally, SBA also 
welcomed comments on various methodological issues, including the 
maximum and minimum levels of employees based size standards, industry 
and Federal contracting factors the Agency evaluates and/or suggestions 
on other factors that it should consider when evaluating or revising 
employee based size standards, and whether it should weigh each factor 
equally or it should weigh one or more factors more or less for certain 
industries.

Discussion of Comments

    SBA received a total of 202 comments on the proposed rule, 
including 168 concerning the ITVAR size standard, 32 on the 
Environmental Remediation Services (ERS) size standard, and two 
relating to proposed size standards in general.
    Of the 168 comments relating to the ITVAR size standard, five 
supported SBA's proposal to eliminate the ITVAR exception to NAICS 
541519 and its 150-employee size standard, while the rest opposed it. 
Among those opposing the proposal, two also asked for a 60-day 
extension of the comment period. Of the 168 comments on the ITVAR size 
standard, four were from attorneys, one of which was on behalf of 13 
small business ITVARs and three each on behalf of individual ITVAR 
businesses. One also provided a list of individuals who submitted 
concerns about the SBA's proposed rule to their Congressional 
representatives through a Web site that the company had developed.
    Of the 32 comments on the ERS size standard, nine favored SBA's 
proposal to increase it from 500 employees to 1,250 employees, while 23 
opposed it.
    Among the two general comments, one supported SBA's proposed 
increases to size standards, while the other opposed it. These comments 
and SBA's responses are discussed below.

Comments on SBA's Proposal To Eliminate the ITVAR Exception

    For Federal contracts that combine substantial services with the 
acquisition of computer hardware and software, in

[[Page 4438]]

2002, SBA proposed to establish a new ``Information Technology Value 
Added Resellers (ITVAR)'' sub-industry or ``exception'' category under 
NAICS 541519, Other Computer Related Services, with a size standard of 
500 employees (67 FR 48419 (July 24, 2002)). In the final rule, SBA 
adopted the ITVAR exception under NAICS 541519, as proposed, with a 
size standard of 150 employees (68 FR 74833 (December 29, 2003)). 
Presently, the size standard for NAICS 541519 and other industries in 
NAICS Industry Group 5415, Computer Systems Design and Related 
Services, is $27.5 million in average annual receipts.
    As stated in Footnote 18 to SBA's table of size standards, for a 
Federal contract to be classified under the ITVAR exception and its 
150-employee size standard, it must consist of at least 15 percent but 
not more than 50 percent of value added services. If the contract 
consists of less than 15 percent of value added services, it must be 
classified under the appropriate manufacturing industry. If the 
contract consists of more than 50 percent of value added services, it 
must be classified under the NAICS industry that best describes the 
principal nature of service being procured. In the September 10, 2014, 
proposed rule, SBA proposed to eliminate the ITVAR 150-employee size 
standard exception under NAICS 541519 because, as explained in the 
proposed rule and elsewhere in this final rule, it has created 
inconsistencies, confusion, and misuse. As stated above, SBA received a 
total of 168 comments, with five supporting SBA's proposal to eliminate 
the ITVAR exception and the rest opposing it.

Comments Supporting SBA's Proposal To Eliminate the ITVAR Exception

    Four commenters explicitly supported SBA's proposal to eliminate 
the ITVAR exception. The commenters provided several reasons for their 
support of SBA's proposal. One stated that, due to its dual supply-
services nature, the ITVAR exception has created misuse, confusion, and 
loopholes; removing it would help to ensure that procuring agencies 
comply with SBA's regulations and relevant case law. Others contended 
that the ITVAR exception allows larger businesses making hundreds of 
millions of dollars to bid as small businesses, thereby taking Federal 
opportunities away from true small businesses. One also added that the 
biggest problem is to validate whether the companies are performing 15-
50 percent value added services. While stating that it is important to 
allow ITVARs to compete as small businesses for the Government to 
receive fair and reasonable pricing, the fifth commenter argued that 
predominantly hardware and software contracts with little or no value 
added services are awarded under NAICS 541519 instead of the 
manufacturing NAICS code. These comments and SBA's responses are below.

Comments That the ITVAR Exception Has Created Misuse

    One commenter argued that it has become common for procuring 
agencies to use the ITVAR exception to classify multi-agency contracts 
(MACs) and government-wide acquisition contracts (GWACs) to buy 
commercial off-the-shelf (COTS) IT hardware and software. In many 
cases, these contracts consist of less than 15 percent of value added 
services as required, and should have been classified under the 
appropriate manufacturing (``supply'') NAICS code, the commenter noted. 
Another commenter contended that the biggest problem has been 
validating whether the companies are actually performing the 15-50 
percent value added services and noted that, in most cases, they are 
not providing any service except for tacking on their 10-25 percent 
profit.
    Another commenter mentioned that the real problem with NAICS 541519 
is not the size standard itself, but the general misuse of the code 
altogether. It argued that IT hardware and software procurements in the 
billions of dollars that do not have ``significant'' value added 
services are purchased through NAICS 541519 instead of the 
manufacturing NAICS code. The commenter contended that entire GWACs 
(such as SEWP-IV/V, ECS-3 and new CIO-CS) are awarded under NAICS 
541519 when the majority of items purchased are hardware and software 
only, with little or no value added services at all. The commenter 
urged SBA to stop the fraud, waste and abuse from contracting agencies 
using the wrong NAICS codes in order to get around the size standards. 
The commenter further asked SBA to stop allowing massive GWACs to be 
misclassified under NAICS 541519 so that everyone gets a fair chance to 
compete for those contracts.

Comments That SBA's Proposal Would Have Minimal Impact on Small ITVARs

    One commenter noted that where the greatest portion of the contract 
value is for supplies and a manufacturing NAICS code is selected, the 
size standard for an IT reseller would be only 500 employees, even if 
the applicable size standard for the manufacturing NAICS code was 
higher. The commenter believed that, under these circumstances, the 
elimination of the ITVAR exception would have a minimal impact on 
businesses below 150 employees, as those businesses would continue to 
qualify as small for IT supply contracts under the 500-employee 
nonmanufacturer size standard. The commenter acknowledged that while 
these businesses may be forced to compete with businesses between 150 
employees and 500 employees, it disagreed with many commenters' 
arguments that eliminating the ITVAR exception would force them to 
compete with multi-billion dollar companies.

Comments That the ITVAR Exception Has Created Loopholes

    One commenter argued that the ITVAR exception has created loopholes 
in SBA's regulations, country-of-origin requirements, and trade 
agreements. The commenter added that eliminating the ITVAR exception 
would help to ensure that the procuring agencies comply with applicable 
regulations and requirements. The commenter explained that SBA's 
regulations require procuring agencies to select the ``NAICS code which 
best describes the principal purpose of the product or service being 
acquired.'' Where both products and services are being acquired, the 
commenter continued, the acquisitions must be classified according to 
the component which accounts for the greatest percentage of the 
contract value. Thus, the commenter stated, the procuring agency must 
identify whether the contract is primarily for the acquisition of 
services or supplies, and noted that the relevant case law (SBA No. 
SIZ-1295(1979)) also supports this. The solicitation must contain only 
one NAICS code and one size standard, and for a contract requiring the 
performance of a combination of work, a contracting officer must 
identify whether the contract is one for services, construction, or 
supplies for purposes of applying the performance of work requirements 
under the ``limitations on subcontracting'' provisions, the commenter 
concluded.
    The same commenter argued that when agencies set-aside acquisitions 
using the ITVAR exception, it creates loopholes that allow agencies to 
bypass the NMR and limitations on subcontracting, which are intended to 
ensure that small business is the ultimate beneficiary of such 
acquisitions instead of a large original equipment manufacturers (OEMs) 
or systems integrators. The commenter further contended that because 
the ITVAR exception is part of a services NAICS code, the NMR does not 
apply to ITVAR

[[Page 4439]]

contracts even if, by definition, supplies are the majority component 
of those contracts. This allows IT resellers to provide the products 
under the set-aside acquisitions from large businesses, including 
foreign-based businesses, the commenter explained. The commenter 
further argued that restricting acquisitions for IT products to small 
businesses under the ITVAR exception also eliminates the country-of-
origin requirements under both Trade Agreements and Buy American Acts, 
thereby granting non-designated countries an avenue to supply products 
to the U.S. government. Without the NMR, the requirement to furnish the 
end item of a U.S. small business is also eliminated, the commenter 
concluded.

Comments That the ITVAR Exception Has Caused Adverse Impact on True 
Small Businesses

    One commenter noted that there are numerous large businesses hiding 
under the ITVAR exception, taking business away from true small 
businesses. The commenter added that the problem also exists in the 
subcontracting area where large businesses use these large value added 
resellers instead of true small businesses. Another commenter argued 
that the exception creates an unequal playing field as it allows 
companies making hundreds of millions of dollars a year to bid as small 
businesses on ITVAR contracts, essentially blocking true small 
businesses from those opportunities. These companies are much larger 
than true small businesses and have access to vast resources to assist 
them in their Request For Proposal responses, the commenter stated. 
Removing the exception will help level the playing field for companies 
bidding for opportunities under NAICS 541519, the commenter added. 
Another commenter contended that a small business is the one with $27.5 
million in sales, not the one with 150 employees. There are many 
companies serving the Federal market that win contracts based on having 
just 150 employees with annual receipts of $200 million to $800 
million, the commenter continued. The commenter concluded by suggesting 
that to make the size standard more inclusive and see more 
participation of small businesses in the Federal market, the size 
standard for NAICS 541519 should be $50 million in receipts.
    The commenters supporting SBA's proposal shared the Agency's 
concerns that the exception has created inconsistencies, confusion, 
misuse, and loopholes. They explained that to treat ITVAR contracts as 
service contracts when, by definition, they are supply contracts, is 
inconsistent with SBA's regulations that require procuring agencies, 
based on the principal purpose of the service or product being 
procured, to identify the procurements either as service contracts or 
as supply contracts, but not both. The commenters added that the dual 
service-supply nature of ITVAR contracts has also created confusion 
with respect to compliance with SBA's regulations, such as limitations 
on subcontracting and the NMR. They contended that, given the 
inapplicability of the NMR for the exception, ITVARs are allowed to 
provide the products under the set-aside acquisitions from large 
businesses, including OEMs and foreign-based businesses, thereby 
defeating the very intent of the small business set-aside programs. The 
commenters also shared SBA's concerns that the agencies use the ITVAR 
exception and its 150-employee size standard to acquire computer 
hardware and software with limited value added services, which could 
have been classified under the manufacturing NAICS codes, thereby 
requiring them to comply with the NMR.

SBA's Response

    Regarding commenters' concerns about the misuse of NAICS 541519, 
SBA agrees that the ITVAR exception has allowed Federal agencies to use 
NAICS 541519, instead of manufacturing NAICS codes, for computer 
hardware and software procurements that do not have ``significant'' 
value added services. SBA's proposal to eliminate the exception was 
intended to address this issue.
    However, SBA disagrees with the suggestion that the size standard 
for NAICS 541519 should be increased to $50 million in receipts to 
increase small business participation in the Federal market. The 
results of industry and Federal procurement data published in the 
proposed rule (76 FR 14323 (March 16, 2011)) and final rule (77 FR 7490 
(February 10, 2012)) on NAICS Sector 54 supported $25.5 million in 
average annual receipts (now $27.5 million due to inflation adjustment) 
as the size standard for all industries in NAICS Industry Group 5415, 
including NAICS 541519. Data do not support the suggested $50 million 
as the size standard for NAICS 541519, and SBA is also concerned that 
such a high size standard would negatively impact the ability of small 
businesses below the current size standard to compete for Federal 
opportunities. As part of its quinquennial comprehensive review of size 
standards as required by the Jobs Act, SBA will review all size 
standards in the coming years and make necessary adjustments to reflect 
the latest industry and Federal market data.

Comments Opposing SBA's Proposal To Eliminate the ITVAR Exception

    Most commenters argued SBA's proposal to eliminate the ITVAR 
exception and its 150-employee size standard and apply the $27.5 
million receipts based size standard to ITVAR contracts would have 
negative impacts on both many small businesses and on Federal programs. 
Many contended that a receipts based size standard is not appropriate 
for the ITVAR industry and SBA's justification to establish the ITVAR 
exception and the 150-employee based size standard in its 2003 final 
rule is still valid. A large majority of the commenters questioned the 
SBA's conclusions based on the 2007 Economic Census data that the 
proposed rule would have a minimum impact on businesses between the 
150-employee size standard and the $27.5 million receipts based size 
standard. Many contended that SBA did not provide in the proposed rule 
a detailed analysis of the ITVAR industry and the data to support its 
reasons that the ITVAR exception has created inconsistencies, 
confusion, and misuse. Many stated that there has been no material 
change in the ITVAR industry since the 2003 final rule, thereby a 
change to the size standard is not warranted. A few commenters argued 
that the proposed rule also violates the statutory requirements under 
the National Defense Authorization Act for Fiscal Year 2013 (NDAA 
2013), Regulatory Flexibility Act (RFA) and Small Business Regulatory 
Enforcement Fairness Act (SBREFA), while a few others also argued the 
rule is also against the intent of the Jobs Act. One commenter argued 
that SBA's proposal to eliminate the ITVAR exception runs counter to 
its decision to retain all other exceptions in other industries. 
Several commenters suggested that SBA should not proceed with the 
proposal until it conducts a detailed analysis of the ITVAR industry, 
while others advocated alternative measures to address the issues of 
inconsistencies, confusion, and misuse instead of eliminating the 
exception. These comments and SBA's responses are detailed below.

Comments That the Proposed Rule Would Have Adverse Impacts on Small 
Businesses

    Most commenters argued that the SBA's proposed rule to eliminate 
the ITVAR exception and its 150-employee size standard (some referred 
to Footnote 18) and apply the $27.5 million receipts based size 
standard for NAICS 541519

[[Page 4440]]

to ITVAR contracts would have a devastating impact on many small 
businesses that are below the 150-employee size standard, but above the 
$27.5 million receipts based size standard. The commenters added that, 
if the ITVAR exception and its 150-employee size standard were 
eliminated, numerous companies (some said thousands) would become 
ineligible to compete for small business set-asides or reserves 
programs under DHS's FirstSource II, NASA's SEWP V and other GWAC or 
MAC vehicles because they easily exceed the $27.5 million receipts 
based size standard for NAICS 541519 due to high volumes and costs of 
products/goods sold under ITVAR contracts.
    Many commenters argued that, without Footnote 18, the proposed rule 
would subject ITVAR firms to the $27.5 million receipts based size 
standard for NAICS 541519. The commenters claimed the proposed rule 
would make those firms lose their small business status, thereby 
forcing them to compete for computer hardware and software contracts 
with larger IT companies (including OEMs) with 500 employees to 1,000 
employees and receipts in billions of dollars. Some commenters noted 
this would benefit large contractors, as small ITVARs do not have 
resources to compete with those large companies. One commenter 
acknowledged that small ITVARs are able to compete against large 
companies with hundreds of thousands of employees and against OEMs that 
sell IT products and services directly to the Government. However, 
several argued that this would reduce their ability to serve government 
customers or would even potentially force them out of the Federal IT 
marketplace entirely. Some commenters noted this would force them to 
downsize their businesses, which may limit business growth and small 
business job creation. A few other commenters claimed this would make 
many IT service companies ineligible for the type of contracts they 
have been performing over the years.
    Numerous commenters stated that many small ITVARs seeking 
opportunities in the Federal IT marketplace do a significant amount of 
Federal business utilizing the ITVAR exception under NAICS 541519. They 
added that a considerable amount of money is allocated to the NAICS 
541519 exception and it is not fair to take those opportunities away 
from small businesses. The proposed change, if adopted, the commenters 
indicated, would be detrimental to those businesses and Federal 
agencies that depend on them, because many small ITVARs would no longer 
be able to compete for Federal opportunities under NAICS 541519 as 
small businesses. Some seemed concerned that the loss of revenue would 
destroy many small ITVARs and force them to close their businesses, 
while others noted that this would have a negative impact on employment 
and economic growth in the region, including the Historically 
Underutilized Business Zones (HUBZones).
    Some commenters stated that, without Footnote 18, ITVAR contracts 
would be classified either as a services contract under the $27.5 
million receipts based size standard or as a supply contract under the 
NMR. They claimed that small ITVARs would become ineligible for 
services contracts because they exceed the receipts based size standard 
and for supply contracts, they would have to compete with larger 
businesses. One commenter noted that currently the ITVAR exception 
benefits ITVAR firms in three ways: (i) It enables them to sell 
supplies as a small business concern without the NMR, compliance of 
which is complicated and cumbersome, (ii) it shields the firms from 
competition with firms that have between 151 employees and 500 
employees, and (iii) it has enabled ITVARs to sell some services as 
small businesses even though they exceed the receipts based size 
standard. The commenter argued that the proposed rule would wipe out 
all these benefits. As all IT supplies contracts would be under the 
NMR, ITVARs would have to compete with much larger companies for small 
business supplies contracts. In addition, ITVARs that exceed the 
receipts based size standard, could not compete for small business 
services contracts.

SBA's Response

    SBA disagrees with commenters' interpretation that with the 
proposed elimination of the ITVAR exception and its 150-employee size 
standard, many businesses would lose their small business status 
because they exceed the $27.5 million receipts based size standard 
associated with NAICS code 541519. These comments indicate that there 
was some confusion concerning the impact of SBA's proposal, if adopted, 
on current small ITVARs. Many commenters incorrectly believed that, if 
the exception is eliminated, all contracts that currently use the ITVAR 
exception and 150-employee size standard would be subject to the $27.5 
million receipts based size standard for NAICS 541519 and that many 
ITVARs with 150 or fewer employees would lose their small business 
status and hence become ineligible to bid on those contracts because 
they have annual receipts above $27.5 million. Some misunderstood SBA's 
proposed elimination of the ITVAR exception to change the size standard 
for procurement of IT products from 150 employees to $27.5 million in 
average annual receipts. As stated in the proposed rule, if the ITVAR 
exception is eliminated, all ITVAR contracts would be reclassified 
under the employee based size standard for the manufacturing industries 
or under the 500-employee nonmanufacturer size standard. By definition, 
the ITVAR exception is for contracts that are primarily supply 
contracts, with some services. The $27.5 million receipts based size 
standard is for contracts that are primarily service contracts, which 
is not the case under the exception. Accordingly, for IT supply 
contracts using the manufacturing size standards, the 500-employee 
nonmanufacturer size standard, and other elements of the NMR, would 
also apply. Thus, all firms that currently qualify under the 150-
employee ITVAR size standard would continue to qualify for such 
contracts as small businesses under the 500-employee nonmanufacturer 
size standard.
    In response to concerns that by eliminating the ITVAR exception and 
reclassifying ITVAR contracts under the manufacturing NAICS codes it 
would mainly benefit large companies with 500 employees to 1,000 
employees, SBA analyzed the FPDS-NG data on IT supply contracts under 
NAICS Industry Group 3341, Computer and Peripheral Equipment 
Manufacturing. For fiscal years 2012-2014, the results showed that 
about 76 percent of dollars awarded to small businesses under NAICS 
Industry Group 3341 went to firms with 150 or fewer employees. Thus, 
the results do not support the argument that IT supply contracts would 
be dominated by larger companies if they are reclassified under the 
manufacturing NAICS codes. Additionally, while many commenters 
expressed concerns for having to compete with large companies if the 
exception is eliminated, several also noted that small ITVARs have 
capabilities and resources to outcompete large companies and to provide 
the best solution to the government. ITVARs would continue to benefit 
from those attributes if ITVAR contracts were reclassified under the 
manufacturing NAICS codes.
    Some commenters contended that the proposed rule would cause 
thousands of small businesses to lose their small business status and 
become ineligible to compete for ITVAR contracts as small businesses. 
SBA disagrees for three

[[Page 4441]]

reasons. First, the commenters did not provide any data or data sources 
to support their claim that thousands of businesses will be affected. 
Second, as explained above, no ITVAR firms below 150 employees would 
actually lose their small business status under the proposed rule, 
because they would continue to qualify to compete for those contracts 
as small businesses under the 500-employee nonmanufacturer size 
standard. Third, SBA reviewed commenters' data on companies receiving 
contracts under various GWACs and tasks orders under the ITVAR 
exception and similar data that it compiled from other GWACs (such as 
GSA's Schedule 70 SIN 132-8) using FPDS-NG for fiscal years 2012-2014. 
The data showed that, of about 260 firms receiving contracts under 
those GWACs during fiscal years 2012-2014, about 60 or 25 percent had 
more than the $27.5 million in receipts but fewer than 150 employees. 
However, the proposed rule would have no impact on their small business 
status under the receipts based size standard for NAICS 541519. 
Moreover, of total contract dollars received by firms between the $27.5 
million receipts level and 150-employee level during fiscal years 2012-
2014, nearly half (46 percent) were from contracts they received under 
NAICS codes other than NAICS 541519. SBA agrees that, if the exception 
were eliminated, firms that currently qualify as small for ITVAR 
contracts would have to compete with larger companies with between 150 
employees and 500 employees under the nonmanufacturer size standard, 
but the relevant data does not support that the impacts would be as 
detrimental as those characterized by the commenters. However, this was 
an important factor for the SBA's decision to maintain the current 150-
employee size standard in this final rule.
    In response to concerns that the proposed rule would wipe out the 
benefit the ITVAR exception provides to ITVAR firms by enabling them to 
sell supplies under small business set-aside contracts without the NMR, 
SBA believes that, similar to all other small business supply 
acquisitions, all small business acquisitions for computer hardware and 
software, including those classified under the ITVAR exception must 
also comply with the NMR. The arguments that the compliance with the 
NMR is complicated and cumbersome are not valid reasons for not 
following statutory provisions. It should be noted that the proposed 
rule would have no impact on qualifying as small for contracts that are 
primarily for services classified under the receipts based size 
standard for NAICS 541519. ITVAR firms that exceed the receipts based 
size standards currently would continue to be ineligible for IT 
services contracts, regardless of whether the ITVAR exception is 
retained or eliminated. Thus, SBA disagrees with the argument that the 
proposed rule would make ITVAR firms lose their eligibility to compete 
for IT services contracts under the receipts based size standard.

Comments That the Proposed Rule Would Have Adverse Impacts on Federal 
Agencies

    Numerous commenters noted that Federal agencies set aside billions 
of dollars for small businesses under NAICS 541519 using the ITVAR 
exception and 150-employee size standard. The commenters identified 
several multi-year, multiple award IDIQ contracts that are currently 
set aside to small businesses to procure computer hardware and software 
and services, including DHS' FirstSource, Army's ITES-3H, NASA's SEWP, 
and NIH's CIO-CS programs. They argued that SBA's proposed rule would 
have a devastating impact on those Federal programs and small 
businesses that depend on them.
    Several commenters argued that SBA's proposal to eliminate the 150-
employee size standard and retain the $27.5 million receipts based size 
standard would render ineligible the vast majority of small businesses 
currently performing ITVAR contracts under the above programs. 
According to the commenters, there would not be enough qualified small 
businesses under the $27.5 million receipts based size standard to 
perform large volumes of complex ITVAR contracts. This would force, the 
commenters claimed, the agencies to procure such contracts directly 
through OEMs or classify them under NAICS codes where businesses with 
1,000 or 500 employees are considered small. Some commenters contended 
that the SBA's proposed change would curtail the Government's ability 
to count on a reliable small business industrial base to provide these 
IT products and services, while others claimed that it would eliminate 
significant depth of products and services the Government receives from 
small ITVARs.
    While some commenters seemed wary of having to compete with OEMs if 
the exception is removed, many others noted that most ITVARs have 
relationships with hundreds of OEMs, thereby enabling them to obtain 
the most competitive pricing for a given product and provide the best 
solution to a customer need by combining the best mix of products from 
multiple OEMs. One commenter stated that approximately 75 percent of 
Federal sales of many leading OEMs are fulfilled through their ITVAR 
partners. The same commenter argued that, without Footnote 18, this 
value-added ability of ITVARs will be lost, because the majority of 
ITVARs will no longer qualify as small businesses and likely be unable 
to compete against large businesses.
    Several commenters argued that SBA' proposal, if adopted, would 
decrease the pool of responsible and qualified contractors for ITVAR 
acquisitions, as companies below the $27.5 million receipts based size 
standard lack financial resources, technical capabilities, experiences, 
and qualified personnel to meet the requirements. The commenters noted 
that the receipts based size standard would limit the government's 
ability to receive competitive pricing for a wide variety of products 
and services, because businesses at the $27.5 million receipts level 
have no buying power to leverage OEM cost down and qualified personnel 
to obtain the OEM certification to be able to resell, obtain discounts 
and provide authorized services. Thus, the commenters claimed, the 
companies with annual receipts of $27.5 million cannot effectively 
compete with large companies for Federal IT requirements, but ITVARs 
with higher revenue can. Some commenters claimed that the ITVARs have 
the revenue base and creditworthiness to purchase millions or tens of 
millions of dollars of products and that the companies with less than 
$27.5 million revenue are unable to obtain credit facilities necessary 
to purchase the product component of the solution. Several commenters 
argued that, if ITVAR contracts are subject to the $27.5 million 
receipts based size standard, agencies would not be able to use NAICS 
541519 to procure a mix of services and large volumes of computer 
hardware and software.
    Some commenters argued that the ITVAR exception has helped the 
Federal government to obtain information systems to improve efficiency 
and reach its goals. Small ITVARs provide, they explained, integrated 
solutions to complex IT challenges, allowing agencies to focus on their 
missions, and eliminating the ITVAR exception would negatively impact 
the delivery of these solutions and thus the missions of the agencies. 
One commenter claimed that small ITVARs play a significant role in 
maximizing Federal small business utilization, while another noted that 
the elimination of Footnote 18 will negatively impact the recent 
progress

[[Page 4442]]

made toward meeting the Federal government small business contracting 
goal.

SBA's Response

    SBA does not agree with the commenters' contention that the 
proposed rule would have a devastating impact on Federal programs and 
small businesses that depend on them. As stated earlier in this 
preamble, under the proposed rule, not a single ITVAR firm below 150 
employees would lose its small business status to qualify for ITVAR 
contracts as small businesses. Moreover, a size standard change would 
have no impact on small business status for current contracts; it would 
only affect future contracts. If Footnote 18 were removed as proposed, 
ITVAR contracts, which are by definition supply contracts, would be 
reclassified under a higher manufacturing size standard along with the 
500-employee nonmanufacturer size standard. As a result, all currently 
small ITVARs would continue to qualify as small businesses to provide 
exactly the same products and services they are currently providing to 
the Federal government under the ITVAR exception.
    SBA also does not agree with the concerns that, under the proposed 
rule, there would not be enough qualified small businesses below the 
$27.5 million receipts based size standard for the Government to choose 
from to perform large volumes of complex ITVAR contracts. First, if the 
exception is removed, ITVAR contracts would be reclassified under one 
of the manufacturing NAICS codes, with the higher manufacturing size 
standard along with the 500-employee nonmanufacturer size standard, not 
the $27.5 million receipts based standard for NAICS 541519. Second, 
because additional ITVARs between 150 employees and 500 employees could 
also compete on those contracts as small businesses, there would 
actually be more small businesses, not fewer, available for the 
agencies to choose from. Therefore, SBA does not believe that the 
proposed rule would necessarily lead the agencies, due to lack of small 
businesses, to procure IT products directly from OEMs or large 
businesses. SBA also does not believe that this would necessarily have 
any impact on quality or depth of products or services the government 
receives. Every year the agencies allocate billions of dollars to the 
manufacturing NAICS codes and NAICS 423430 (albeit incorrectly) to 
procure computer hardware and software. For example, during fiscal 
years 2012-2014, the Federal government procured computer hardware and 
software and some services valuing nearly $4 billion annually using 
NAICS Industry Group 3341 and NAICS 423430. Almost half (48%) of those 
dollars were awarded to small businesses, of which nearly 75 percent 
went to firms with fewer than 150 employees. Even with the ITVAR 
exception, agencies have used NAICS Industry Group 3341 and other 
manufacturing NAICS codes to classify IT supply acquisitions under 
various GWACs. For example, during fiscal years 2012-2014, NAICS 
Industry Group 3341 accounted for almost all contract dollars under 
NIH's ECS-3 and nearly three-fifths of dollars awarded under Army's 
ITES-2H, and nearly 15 percent under NASA's SEWP IV. Similarly, all 
contracts under Air Force's NETCENTS-2 were classified under NAICS 
334210. The data on companies receiving contracts under various GWACs 
that utilized the ITVAR exception and 150-employee size standard does 
not appear to support the commenters' argument that the companies at or 
below the receipts based size standard lack financial resources and 
personnel to perform ITVAR contracts. During fiscal years 2012-2014, 
there were 155 GWAC contracts (i.e., with dollar awards) set aside for 
small businesses using the ITVAR exception for a total of $5.4 billion 
in dollars obligated. Small businesses below the receipts based size 
standard accounted for more than 70 percent of those contracts and 40 
percent of dollars awarded.
    SBA does not agree with the argument that by losing small business 
status, under the proposed rule, ITVARs would also lose the 
relationships they have with OEMs to be able to provide the Government 
with best mix of products at most competitive prices. As explained 
elsewhere in this rule, even if the exception is removed, because they 
would maintain their small business status for ITVAR contracts under 
the 500-employee nonmanufacturer size standard, there is no reason why 
they would not be able to maintain their relationship with OEMs and use 
that in future contracts. While SBA recognizes that the relationship 
ITVARs have with OEMs plays an important role in the Federal IT 
marketplace, the Agency is concerned with the negative impact it could 
have on many small manufacturers of various IT products, especially 
given the fact that, according to one commenter, almost 75 percent of 
Federal sales of many leading OEMs are fulfilled through their ITVAR 
partners.
    As discussed earlier, if the exception is eliminated, because ITVAR 
contracts would not be subject to the $27.5 million size standard that 
applies to services contracts under NAICS 541519, SBA disagrees with 
the commenters' arguments that the proposed rule would decrease the 
pool of qualified ITVAR contractors. However, these arguments support 
SBA's concerns that having the ITVAR exception under the services NAICS 
code and allowing agencies to include significant services in ITVAR 
contracts may have negatively impacted companies below the receipts 
based size standard by forcing them to compete for small business 
contracts with companies that have much higher revenue base and 
financial resources.
    With respect to the commenter's argument that the ITVAR exception 
plays a role in maximizing small business participation in government 
contracting and meeting the Federal government small business 
contracting goal, SBA considers the share of contract dollars awarded 
to small businesses relative to their share in the overall industry as 
one of the primary factors in determining size standards for specific 
industries. However, whether the government is meeting its small 
business goal is not considered as a factor because that is influenced 
by a myriad of factors, mostly unrelated to size standards. Further, 
agencies can request that SBA waive the NMR, which would enable the 
agencies to set aside the very same acquisitions for small business 
concerns, under the manufacturing NAICS code and utilizing the 
nonmanufacturer size standard of 500 employees. Moreover, class waivers 
already exist for a wide range of IT products under computer and 
peripheral equipment manufacturing related NAICS codes that may cover 
the types of IT products purchased using the ITVAR exception.

Comments That the Proposed Rule Is Contrary to SBA's Previous Rules

    Several commenters argued that the SBA's proposed rule is contrary 
to its justification and analysis it provided in its 2002 proposed rule 
(67 FR 48419 (July 24, 2002)) and 2003 final rule (68 FR 74833 
(December 29, 2003)) for establishing the ITVAR exception and 150-
employee based size standard, as well as its 2011 proposed rule (76 FR 
14323 (March 16, 2011)) and 2012 final rule (77 FR 7490 (February 10, 
2012)) on NAICS Sector 54 (Professional, Scientific and Technical 
Services), where the Agency reaffirmed the 150-employee size standard 
for the exception. The commenters argued that the SBA's 2002/2003 and 
2011/2012 rationale that an employee based size standard, not the 
receipts, was an accurate and appropriate measure of

[[Page 4443]]

small business size for ITVARs is even more appropriate today. One 
commenter stated that selling a combination of computer hardware and 
software and services still exists as a distinctive industry category 
and that it should be retained. Another reiterated several reasons SBA 
provided when establishing the exception in its 2002/2003 rulemaking 
and argued they are still valid today. First, the ITVAR sub-industry 
serves the Federal government's preference to go to a single source to 
obtain IT equipment and supporting services. Second, most acquisitions 
are for numerous IT products, and it is unrealistic to expect one 
manufacturer to produce all of the required items. Third, IT contracts 
often require the contractor to customize the computer hardware or 
install specialized software to meet an individual user's needs. 
Fourth, the new industry category enables agencies to better utilize 
small business preference programs for their IT acquisitions.
    Several commenters were concerned that SBA did not provide any 
explanation or reason why the justification, rationale, or industry 
analyses provided in its 2002/2003 and 2011/2012 rulemakings no longer 
apply in 2014. Commenters suggested SBA provided no facts or reasons 
showing changes in the ITVAR industry and Federal IT procurement to 
justify its proposal to eliminate the employee size standard in the 
current proposed rule. Some commenters argued that because SBA is not 
able to provide a convincing justification for its proposed removal of 
the ITVAR exception it established in the 2002/2003 rulemaking, it 
should retain it. Still some complained that SBA's decision to 
establish the ITVAR sub-industry and its 150-employee size standard in 
2003 was based on a detailed analysis of market and industry data, but 
its current proposal to repeal it without similar analysis or other 
persuasive reasons cannot be justified.

SBA's Response

    As the result of the review of its small business regulations and 
size standards as required by Executive Order 13563 and the Jobs Act, 
SBA now believes that the two key provisions of the 2003 final rule are 
inappropriate, which SBA is attempting to amend through this 
rulemaking.
    First, the Agency's decision in its 2002/2003 rulemaking to place 
the ITVAR exception for supply contracts as a sub-industry category 
under NAICS 541519, a services NAICS code, is inconsistent with NAICS 
industry definitions. Under NAICS, as also noted in the 2003 final 
rule, ITVARs are primarily merchant wholesalers or distributors of the 
computer hardware and software products with a very different 
production function when compared to firms in NAICS 541519. The 
analyses many commenters provided to support their position that ITVAR 
firms have very different revenue and cost structure as compared to 
their counterparts in NAICS 541519 also demonstrate that including the 
ITVAR exception under NAICS 541519 is inconsistent with differences in 
economic realities between the ITVAR industry and NAICS 541519. 
Additionally, as discussed elsewhere in this rule, SBA now finds that 
its approach to creating the ITVAR industry by combining parts of NAICS 
Industry Group 5415 and NAICS 423430 was also not correct.
    Second, the 2003 final rule defined ITVAR contracts as services 
contracts, even if services, by definition, never account for more than 
50 percent of total values of such contracts, thereby exempting them 
from the manufacturing performance requirements and NMR. These rules 
are critical to ensure that small businesses are the ultimate 
beneficiaries of small business set-aside contracts. The statutory 
manufacturing performance requirements and NMR provisions apply to all 
supply contracts, and do not exempt information technology 
acquisitions.
    SBA disagrees with the commenters' argument that the proposed rule 
is against its 2011/2012 rulemaking on NAICS Sector 54. It should be 
noted that SBA's decision to retain the 150-employee based size 
standard for the ITVAR exception under Footnote 18 in its 2011/2012 
rulemaking was not based on the analysis of the relevant industry and 
market data. The SBA's decision to retain the 150-employee size 
standard was only temporary until the Agency reviewed employee based 
size standards. In the same rule, SBA had also retained the employee 
based size standards for NAICS codes 541711 and 541712, which the 
Agency proposed to change in the September 10, 2014 proposed rule.
    SBA does not believe that reclassifying ITVAR contracts under the 
manufacturing NAICS codes would require the agencies to make 
significant changes to the ways they acquire computer hardware and 
software using the ITVAR exception, except that the agencies would be 
required to comply with the NMR. The proposed rule would have 
eliminated the ITVAR sub-industry only as an exception to NAICS 541519, 
but would not have eliminated the ITVAR industry in its entirety from 
the Federal IT market. As explained elsewhere in this rule, the 
proposed rule, would only have led to reclassifying ITVAR contracts 
using applicable manufacturing NAICS codes in which ITVAR firms would 
continue to qualify under the 500-employee nonmanufacturer size 
standard. The nature of the work under ITVAR contracts would remain 
intact. First, current small ITVARs would continue to qualify to 
participate in Federal IT market as small businesses and provide a 
combination of computer hardware and software and services to the 
Federal government. Second, under the NMR, Federal agencies would 
continue to be able to procure multiple products through a single 
distributer or reseller instead of having to go to individual 
manufacturers of different products. Third, classifying acquisitions of 
IT products under the manufacturing NAICS codes along with a higher 
500-employee nonmanufacturer size standard should, in fact, help, not 
hinder, Federal agencies to better utilize small business set-aside 
programs for acquisitions of IT supplies, because agencies would have a 
larger pool of small businesses to draw from to meet their needs.

Comments That the Proposed Rule Lacks Industry Data and Analysis

    Many commenters contended that the proposed rule does not provide 
the required industry analysis and latest economic data to justify the 
removal of the ITVAR exception and its 150-employee size standard 
similar to what SBA provided in its 2003 final rule to establish the 
exception and the size standard. Two commenters argued that the 
proposed rule does not provide the required analyses of the industry 
and competitive environment as required by the statute in support of 
the proposed elimination of the ITVAR exception. One of those two 
commenters also contended that the proposed rule does not provide the 
detailed impact analysis of the proposed change to the ITVAR size 
standard as required by the Regulatory Flexibility Act (RFA). The same 
commenter argued that SBA's rationale that the ITVAR exception has 
resulted in inconsistencies, confusion, and misuse does not in itself 
justify its elimination that will have a substantial impact on a 
significant number of small businesses. Several commenters argued that 
the proposed rule provides no discussion, analysis, data, or valid 
reasons as to why the SBA now considers the proposed approach to be 
appropriate, when in 2002-2003 it established the ITVAR exception and 
considered the receipts based size standard not appropriate for ITVARs.

[[Page 4444]]

Some commenters noted that the proposed rule is based on unfounded 
conclusions and represents an error in judgment that would have dire 
consequences for many small businesses and a number of government 
programs.
    Many commenters challenged the results from the 2007 Economic 
Census data that SBA included in the proposed rule that ``150 employees 
is more or less equivalent to $27.5 million receipts in NAICS 541519 
and that more than 99 percent of firms below the 150-employee level 
will continue to qualify as small under the $27.5 million receipts 
based size standard.'' Using a sample of small ITVARs awarded contracts 
under the various GWAC vehicles (such as DHS's FirstSource II, Air 
Force's NETCENTS-2, and NASA's SEWP V), one commenter countered the 
Economic Census results that the average size of small ITVAR companies 
was about $48 million in receipts and 45 employees and that more than 
50 percent of ITVARs between $27.5 million and 150 employees would lose 
their small business status under the SBA's proposed change. The same 
commenter also stated that 12 of 13 of its small ITVAR clients had 
receipts in excess of $27.5 million (average $123 million) and 
averaging only 50 employees. Using a scenario analysis with various 
percentages of value added services and the average wage for the IT 
sector, another commenter demonstrated that 150 employees is not 
equivalent to $27.5 million in receipts. Another commenter countered 
the Economic Census results by saying that virtually all ITVARs have 
annual receipts exceeding $27.5 million, while employing significantly 
fewer than 150 employees and in many cases fewer than 50. Similarly, 
another contended that the Economic Census (but did not specify which 
Economic Census) shows 72 percent of ITVARs, not 99 percent, would 
qualify as small under the $27.5 million receipts based size standard. 
Several others also claimed that SBA's statements are not supportable, 
but did not provide or suggest the specific data to support their 
claims.
    A number of commenters dismissed the above results as being based 
on the outdated data, arguing that the 2007 economic data has no 
relevance for contracts awarded in 2014 under NAICS 541519, especially 
to ITVAR contracts awarded under the 150-employee size standard. Some 
argued that SBA's results only apply to IT service provider firms in 
NAICS 541519, but not to ITVAR firms, while others contended that SBA 
provides no other recent economic data to support its conclusions from 
the 2007 Economic Census.
    Other commenters also challenged SBA's seemingly conflicting 
statements in the proposed rule. For instance, in one place, SBA stated 
that, based on 2007 Economic Census, 99 percent of small ITVARs will 
retain their small business status under the receipts based size 
standard, while elsewhere in the rule it acknowledged that the Economic 
Census do not provide the data to analyze sub-industry categories or 
exceptions. The commenters argued that this shows SBA lacks an 
understanding of the economic realities and characteristics of the 
ITVAR industry and has no knowledge of the number of small businesses 
receiving contracts under the 150-employee size standard. This led, as 
some commenters contended, SBA to come to the faulty conclusion that 99 
percent of firms below the 150-employee size standard would continue to 
qualify as small under the $27.5 million receipts based size standard.

SBA's Response

    SBA's proposal to remove the ITVAR exception was not driven by the 
analysis of the industry data. Rather, the proposal was primarily 
driven by the need to eliminate obvious inconsistencies, confusion, and 
misuse that the ITVAR exception has created. In response to the 
comments, elsewhere in this final rule, SBA has provided a detailed 
analysis of data on firms receiving ITVAR contracts. Regarding the 
comment relating to the lack of the impact analysis of the proposed 
rule, as part of regulatory impact analysis as required by Executive 
Order 12866 and initial regulatory flexibility analysis (IRFA) as 
required by the RFA, SBA provided the estimate for the number of small 
businesses impacted by changes to industry size standards covered by 
the proposed rule, along with the estimates on the impacts on small 
business participation in Federal procurement and SBA financial 
assistance programs. As in all previous proposed and final rules on 
size standards for other NAICS sectors, SBA only provided the aggregate 
estimates of the impacts for all affected industries, instead of 
separate estimates for each industry or sub-industry.
    As explained in the proposed rule, the Economic Census data SBA 
uses for size standards analysis are limited to the 6-digit NAICS 
industry codes and hence do not provide the data for sub-industry 
categories or ``exceptions,'' including the ITVAR sub-industry. Given 
the lack of data specific to the ITVAR sub-industry, to get some 
general sense about the potential impact the proposed rule would have 
on current small ITVARs, SBA analyzed the 2007 Economic Census data for 
NAICS 541519 because the ITVAR exception is under that NAICS code. That 
analysis suggested that 150 employees is more or less equivalent to 
$27.5 million for firms in that industry. The results also showed that 
99 percent of firms with 150 or fewer employees would have receipts 
below $27.5 million. SBA agrees with the comments that these results 
most likely apply to all firms within NAICS 541519 and not necessarily 
to ITVAR firms, given the differences in economic characteristics 
between the two. In response to the comments, SBA analyzed the data on 
firms receiving ITVAR contracts and other contracts under NAICS 541519 
and Economic Census data for NAICS 541519 and 423430. The results, as 
detailed elsewhere in this final rule, would support the commenters' 
claims that the results for NAICS 541519 do not provide an accurate 
description of ITVAR firms. The results would also support SBA's 
assessment that it would be inappropriate to include the ITVAR sub-
industry as an exception to NAICS 541519.
    With respect to the commenters' challenge to the SBA's statement on 
the equivalence between 150 employees and $27.5 million receipts, it 
should be noted that, using the 1997 Economic Census data, SBA had 
reached a similar conclusion in the 2003 final rule that 150 employees 
is equivalent to the average number of employees of firms under the 
then $21 million receipts based size standard for computer related 
services (NAICS Industry Group 5415) (68 FR 74833). In fact, the 
discussion in the 2003 final rule indicates that the equivalence 
between the receipts based size standard at that time and 150-employee 
level was the key factor for establishing the 150-employee size 
standard for the ITVAR exception, although the vast majority of the 
commenters on the SBA's proposed 500-employee size standard had 
suggested using a 100-employee size standard. Moreover, given the 
equivalence between 150 employees and the then $21 million size 
standard for NAICS Industry Group 5415, in the 2003 final rule, SBA 
even contemplated using the same receipts based size standard for the 
ITVAR industry.
    Regarding some commenters' concerns that SBA's results based on the 
2007 data are outdated and have no relevance to contracts awarded in 
2014, it should be noted that the 2007 Economic Census is the latest 
and most comprehensive industry data available

[[Page 4445]]

to the Agency when the proposed rule was developed and this final rule 
was prepared. The data on the more recent 2012 Economic Census 
tabulation will not be available until late 2016. It should also be 
noted that the SBA's analysis in the 2003 final rule that established 
the 150-employee based size standard for ITVARs was also based on the 
similarly outdated 1997 Economic Census data. As discussed elsewhere in 
the rule, several commenters noted that there has been no material 
change in the ITVAR industry since the 2003 final rule, which bodes 
well with using the 2007 data. Many commenters criticized the 2007 
Economic Census data as outdated, but except for a limited sample data 
on companies receiving ITVAR contracts under some GWACs or some general 
suggestions to look at the data on FPDS-NG and USASpending, commenters 
really did not provide or suggest alternative data to evaluate the 
ITVAR industry.
    In response to the comments, using the data from small business 
goaling reports and FPDS-NG for fiscal years 2012-2014 (the latest 
available when the final rule was prepared), SBA analyzed receipts and 
number of employees for firms receiving contracts under various GWACs 
and task orders that used the ITVAR exception. The results showed, of 
about 260 such firms, about 60 firms had 150 or fewer employees and 
receipts above $27.5 million. Although this figure is higher than the 
one suggested by the 2007 Economic Census, this is quite small relative 
to some commenters' claim that thousands of currently small ITVARs 
exceed $27.5 million and lose their small business status under the 
proposed rule. More importantly, as stated elsewhere in this final 
rule, under the proposed rule, none of the firms between the $27.5 
million receipts level and 150-employee employee level would actually 
lose their small business status because they would continue to qualify 
as small for the IT supply contracts under the 500-employee 
nonmanufacturer size standard. In fact, based on the same data, the 
majority of ITVARs below 150 employees and above $27.5 million receipts 
were already found to have received IT supply contracts as small 
businesses under the 500-employee nonmanufacturer size standard.

Comments That SBA Provides No Evidence for Its Rationale

    Several commenters claimed that SBA provides no evidence, facts, or 
data to support its justification to eliminate the ITVAR exception 
because it has created inconsistencies, confusion, and misuse. One 
commenter noted that there has been no single investigation from the 
GAO or SBA's Inspector General to substantiate the SBA's position. 
Others argued that to eliminate the ITVAR exception, SBA did not 
provide similar data and analyses that the Agency provided in its 2003 
final rule.
    Several commenters dismissed SBA's justification for the proposed 
rule that the ITVAR exception has created some inconsistencies, 
confusion, and misuse as being vague, conjectural, and speculative. In 
response to SBA's statement about the confusion due to the inability of 
contracting officers to identify size standards exceptions in FPDS-NG, 
some commenters suggested that SBA should pursue modification of FPDS-
NG, while others suggested adding an independent ITVAR NAICS code.
    With respect to the SBA's statement that in many cases Federal 
agencies have applied the 150-employee size standard, instead of the 
receipts based size standard, for contracts that were primarily for 
services, thereby benefitting more successful or mid-sized companies at 
the expense of those below the receipts based size standard, one 
commenter noted that misapplications of NAICS codes are not limited to 
Footnote 18 and that SBA did not present any evidence to show that 
Footnote 18 is particular cause of error, while another argued that SBA 
did not provide the data to support its argument. The commenters 
suggested that training and guidance to procurement personnel would be 
a better remedy than eliminating the exception. On the same issue, one 
commenter noted that misuse is not the valid reason to eliminate the 
exception, because it is a training issue and it is SBA's 
responsibility to ensure that the exception is used correctly.
    With regard to the SBA's statement that firms may or may not be 
eligible as small for the exact purchase simply based on the 
contracting officer's selection of the NAICS code and size standard, 
the commenter countered that this is not an issue limited to 
procurements using Footnote 18. The commenter argued that this is the 
nature of the Federal acquisition process, which gives discretion to 
contracting officers in selecting the NAICS code and the size standard.
    With respect to the SBA's assessment that the combination of 
services and supplies in an acquisition is not unique to the IT 
industry, one commenter claimed that the general principle is that 
agencies classify procurements based on the principal purpose of the 
acquisition and that regardless of the relatively high dollar value of 
the IT product component of an ITVAR acquisition, the product is not 
the principal purpose of these acquisitions. Responding to the same 
issue, another commenter contended that SBA fails to account for 
numerous ways the Federal government treats IT purchases differently 
than other types of purchases, as reflected in the TechFAR. The same 
commenter went on to challenge the proposed rule for not addressing the 
concerns that led to the creation of the ITVAR size standard that still 
exist today.
    In response to SBA's language that it is also unclear from the 
terms of the exception itself whether a contract using the ITVAR 150-
employee size standard should be classified as a service contract or a 
supply contract, one commenter noted that with or without Footnote 18, 
NAICS 541519 is a service NAICS code and that, according to the 2003 
rule, the NMR does not apply to small business, 8(a), or HUBZone set-
aside contracts classified under the ITVAR exception.
    Several commenters also challenged the SBA's statement that the 
lack of data on characteristics of firms in ITVAR activities in the 
Economic Census tabulation and FPDS-NG to evaluate the current 150-
employee size standard also justifies the proposal to eliminate the 
ITVAR sub-industry category by arguing that the lack of data or 
government inability to collect or track the data are not valid reasons 
for the elimination of the exception or changing industry size 
standards. Some commenters criticized the Agency for making no attempt 
to obtain the necessary data, while others contended that the lack of 
data to support any change should mean that SBA should take no action 
in the first place. For the data, some commenters suggested either 
splitting the NAICS 541519 or creating a new NAICS code for ITVARs, 
while others suggesting reproducing the analysis from the SBA's 2002/
2003 rulemaking.

SBA's Response

    As stated elsewhere in this rule, SBA's proposal to remove the 
exception was not driven by the analysis of the Economic Census data. 
Rather SBA's proposal was primarily driven by the need to eliminate 
inconsistencies, confusion, and misuse that the ITVAR exception has 
created. In response to the comments, elsewhere in this rule, the 
Agency has provided a detailed analysis of the ITVAR industry, using 
both the Economic Census data and the relevant procurement data.
    As explained in the proposed rule, the major source of confusion 
and misunderstanding with all ``exception'' size standards, including 
the 150-

[[Page 4446]]

employee ITVAR size standard, is that FPDS-NG (https://www.fpds.gov/) 
does not allow contracting offers to enter the specific size standard 
under which the awardee was ``small.'' The only designation they can 
enter is whether the awardee was ``SMALL'' or ``OTHER THAN SMALL.'' For 
example, if a contract under NAICS 541519 was awarded to a ``small'' 
business, the FPDS-NG data do not show whether the awardee qualified as 
``small'' under the regular receipts based size standard or under the 
150-employee ``exception'' size standard. SBA agrees with the 
commenters that such confusion applies to all exceptions, not just the 
ITVAR exception. However, in view of the large value of contracts the 
agencies award each year using the ITVAR exception and the data, as 
discussed below, indicating the inconsistent application of the 
exception in procuring the mix of products and services, SBA is 
particularly concerned with the ITVAR exception.
    Some commenters suggested creating a separate NAICS industry code 
for ITVAR firms with its own size standard to address this issue. 
However, SBA disagrees for two reasons. First, SBA does not have 
authority to create or modify NAICS industry definitions. Second, a 
relevant NAICS code already exists--NAICS 423430 (Computer and Computer 
Peripheral Equipment and Software Merchant Wholesalers). The NAICS 
classifies establishments based on their primary activity. ITVAR firms 
may provide some value added IT services; however, since selling and 
distributing computer hardware and software is their primary activity, 
they are still classified under NAICS 423430. The SBA's 2003 final rule 
also noted that ITVAR firms are basically Computer and Computer 
Peripheral Equipment and Software Merchant Wholesalers. More 
importantly, many commenters also asserted that most of their revenues 
come from the sales of computer hardware and software. Under SBA's 
rules, agencies do not use wholesale or retail NAICS codes for small 
business set-aside supply contracts. Agencies use the manufacturing 
NAICS code that describes the product to be acquired, and firms may 
qualify under the manufacturing size standard or the 500-employee 
nonmanufacturer size standard.
    Confusion also exists with respect to prime contractor performance 
requirements or ``limitations on subcontracting'' (see 13 CFR 125.6 and 
FAR 52.219-14). Since ITVAR contracts contain both services and supply 
(computer hardware) components, it is unclear whether the services or 
supply requirements of the limitation on subcontracting should apply to 
these contracts and whether the prime contractors are meeting those 
requirements. Similarly, confusion also exists both among contracting 
officers and industry participants with respect to the application of 
the NMR for the supply component of the contract. For the same reason, 
it is also difficult to ascertain if resellers provided the supplies 
produced by small domestic manufacturers, large OEMs, or other large 
manufacturers. If the resellers provided the supplies produced 
primarily by the large OEMs or other large manufacturers, without a 
waiver of the NMR that would be inconsistent with the intent of the 
Small Business Act. SBA is concerned that without the compliance with 
the NMR, the ITVAR exception may have allowed small IT resellers to 
simply serve as ``pass throughs'' for large OEMs and other large 
manufacturers. Some commenters stated that as much as 75 percent of 
total sales of many leading OEMs are fulfilled through their ITVAR 
partners.
    With respect to the comment that, according to the 2003 final rule, 
the NMR does not apply to small business set-aside contracts classified 
under the ITVAR exception, SBA now determines that treating ITVAR 
contracts as services contracts and to exempt them from the NMR was an 
error in the 2002/2003 rule, which the agency is attempting to correct 
in the current rulemaking. Additionally, to include the ITVAR firms, 
which are, by NAICS definition, wholesalers and distributors of 
computer hardware and software, as part of a service NAICS code was 
also an error the proposed rule intended to correct. Finally, including 
ITVAR contracts, which are by definition supply contracts, as an 
exception under a service NAICS code was also inconsistent with SBA's 
regulations and NAICS industry definitions. Many commenters also argued 
and provided supporting data that economic characteristics of the ITVAR 
firms are significantly different from those for IT services firms in 
NAICS 541519. This provides further support to the SBA's determination 
in the proposed rule that the ITVAR exception should not be classified 
under NAICS 541519.
    Regarding the comment that the proposed rule does not provide any 
data to support the reason that the ITVAR exception has created misuse, 
it should be noted that SBA's regulations do not require the agencies 
to use the ITVAR exception and its 150-employee size standard. The data 
show that different agencies acquiring the same mix of IT products and 
services are currently using the receipts based size standard, ITVAR 
exception with the 150-employee size standard, or the higher 
manufacturing size standards and nonmanufacturer size standard of 500 
employees. SBA reviewed a sample of procurements posted on the Federal 
Business Opportunities (FBO) Web site at http://www.fbo.gov and found 
that procuring agencies appear to have struggled with selecting the 
appropriate NAICS code, or a size standard for set-aside procurements 
involving the mix of computer hardware and software and services. For 
example, solicitations that seemed to be for equipment, software and 
maintenance used the receipts based size standard, while those that 
appeared to be primarily for maintenance services applied the 150-
employee size standard. Similarly, some solicitations that seemed to be 
primarily for supplies and some services used the receipt based size 
standard instead of the employee based size standard. In some cases, 
both the receipt based and the 150-employee based size standards were 
included. If a contract is primarily a supply contract, along with some 
services, that would qualify for the ITVAR exception, contracting 
officers can still use the higher manufacturing size standards (such as 
1,000 employees for NAICS 334111, Electronic Computer Manufacturing) or 
the 500-employee nonmanufacturer size standard. SBA found several small 
business solicitations involving integration of IT hardware, software 
and services, but the contracting officer used NAICS 334112, Computer 
Storage Device Manufacturing, with a size standard of 1,000 employees, 
instead of the ITVAR exception with 150-employee size standard.
    Some commenters believed that SBA used the lack of data as a reason 
to eliminate the exception, but, as explained in the proposed rule and 
elsewhere in the final rule, the lack of data was not the primary 
reason to eliminate the ITVAR exception. What SBA indicated in the 
proposed rule was that eliminating the exception would also address the 
challenge the Agency faces, due to the lack of data, when evaluating 
the exception size standard in the same manner the Agency evaluates the 
size standards for regular industries using the industry data from the 
Economic Census. For the reasons provided elsewhere in this rule, SBA 
does not agree with the commenters' suggestions for creating a new 
NAICS code for ITVAR firms or reproducing the analysis from the 
Agency's 2002/2003 rulemaking to address the concern for

[[Page 4447]]

the lack of data on the ITVAR exception. First, SBA does not see the 
need for creating a new NAICS code for ITVAR firms, because such a 
NAICS code already exists in NAICS 423430. Second, the analysis SBA 
provided in its 2002/2003 rules has several flaws. In accordance with 
its current size standards methodology, SBA has presented an 
alternative approach to analyzing the ITVAR industry and determining 
its size standard.
    SBA is also concerned that by allowing contracting officers to 
combine services contracts with supply contracts, the ITVAR exception 
might be hurting small businesses that are primarily involved in IT 
services and are below the $27.5 million receipts based size standard. 
The commenters who supported the SBA's proposal also shared these 
concerns. As discussed elsewhere in this rule, after the exception, the 
share of supply dominated contracts in total dollars awarded under 
small business contracts in NAICS 541519 increased sharply at the 
expense of the share of purely services oriented contracts.
    SBA also determines that some of the other reasons the Agency 
provided to create the ITVAR sub-industry category in its 2002/2003 
rulemaking are not unique to the procurement of IT products. For 
example, the SBA's reason that IT acquisitions entail numerous 
products, making it unrealistic to expect one manufacturer to produce 
all products and that the agencies prefer to fulfill their requirements 
from a single source, also hold true for many other acquisitions that 
entail numerous items involving several manufacturers. They are still 
subject to the manufacturing performance requirements and the NMR.

Comments That There Has Been No Change in Federal IT Market or ITVAR 
Industry

    Many commenters argued there has been no material change in the 
ITVAR industry, market conditions, or how the Federal government 
procures IT requirements since the 2003 final rule. Therefore a change 
to the ITVAR size standard is not warranted, they argued. The 
commenters argued that SBA's reasons to create the ITVAR sub-industry 
category are still valid--agencies' preference to procure IT equipment 
and supporting services from a single source; most IT acquisitions 
involve numerous IT products making it unrealistic to expect for a 
single manufacturer to fulfill all requirements; IT contracts require 
services involving customization of hardware and software; and a 
substantial portion of revenue of ITVARs comes from the sale of 
computer hardware and software.
    One commenter noted that in creating the ITVAR exception, SBA 
identified ITVARs as a distinct industry from both IT product 
distributors and IT service providers. The key differentiator was the 
delivery of IT solutions involving both IT products and services, the 
commenter added. The commenter argued that significant changes in the 
IT landscape, especially the cloud, have validated the existence of 
ITVAR industry. The commenter claimed that cloud cannot be effectively 
delivered by a small business under a product based NAICS. Delivering 
cloud to the government is a perfect example of an ITVAR solution and 
the transition from a customer's current environment to the cloud 
requires significant services, the commenter added. ITVARs leverage the 
capabilities of a cloud provider with the addition of their own 
services to support delivery of a solution. The commenter argued that 
by treating an ITVAR contract as a service contract versus a product 
contract tied to the NMR makes small business participation in 
migration to cloud possible.

SBA's Response

    SBA believes that many of the reasons the Agency provided in the 
2003 final rule for creating the exception and the 150-employee size 
standard would remain intact when the ITVAR contracts are reclassified 
under the manufacturing NAICS codes. For example, using the 500-
employee nonmanufacturer size standard, the agencies could still 
fulfill their needs for multiple products and services from a single 
source. Additionally, how ITVAR firms derive their revenues would not 
be an issue under the 500-employee based size standard. However, for 
the reasons discussed below, SBA disagrees with the commenters' 
argument that there has been no material change in Federal IT 
procurement and the ITVAR industry.
    Prior to the exception, agencies procured computer hardware and 
software with some services as supply contracts under the manufacturing 
NAICS codes as long as the supplies remained the largest component of 
the total contract value. The agencies were required to comply with the 
NMR rule if the contracts were set aside for small businesses. For 
procurements that were primarily for IT services, the agencies applied 
one of the computer services related industry codes under NAICS 
Industry Group 5415. The 2003 final rule has resulted in significant 
changes in Federal IT procurement by allowing the agencies to procure 
computer hardware and software with services using the ITVAR exception 
under NAICS 541519. Moreover, the small business ITVAR contracts, 
although by definition they are predominantly supply contracts, are not 
subject to the NMR, thereby allowing small ITVARs to provide products 
from the large manufacturers, including foreign manufacturers.
    In the 2003 final rule, to arrive at the Federal procurement factor 
to determine the ITVAR size standard, SBA used Product and Service Code 
(PSC) Category D ``Information Technology and Telecommunications'' (PSC 
codes D301 through D399) to identify the ``ITVAR type'' contracts 
(i.e., those involving the mix of computer hardware and software and 
services). During fiscal years 2001-2003, such PSCs accounted for more 
than 81 percent of total dollars awarded under small business set-aside 
contracts in NAICS 541519 and about 70 percent for other industries in 
NAICS Industry Group 5415. That figure for fiscal years 2012-2014 
decreased to 40 percent for NAICS 541519 and to 64 percent for other 
industries in NAICS Industry Group 5415. Much of this decrease in NAICS 
541519 could be explained by the increased share of predominantly 
product oriented PSCs, including ADP Software (PSC 7030), ADP Support 
Equipment (PSC 7035) ADP Components (PSC 7050), ADP System 
Configuration (PSC 7010), and ADP Input/Output and Storage Devices (PSC 
7025) that the agencies procure using the ITVAR exception. For example, 
of total small business set-aside dollars awarded in NAICS 541519, the 
share of contracts classified under PSC Group 70 (Automatic Data 
Processing Equipment, Software, Supplies and Support Equipment) 
increased from less than 3 percent during fiscal years 2001-2003 to 41 
percent during fiscal years 2012-2014. That percentage decreased from 
about 9 percent to 3 percent for other industries in NAICS Industry 
Group 5415. During the same period, the average value of dollars 
obligated under the small business set-aside contracts classified under 
PSC Group 70 increased from less than $300,000 to nearly $2.8 million 
for NAICS 541519 and remained stagnant at around $500,000-$600,000 for 
other industries in NAICS Industry Group 5415. SBA believes that most 
of these changes in Federal IT procurement under NAICS 541519 are 
attributable to the ITVAR exception.
    Despite the above facts, SBA's proposal to eliminate the exception 
from NAICS 541519 was not because it believed there have been changes 
to the

[[Page 4448]]

ITVAR industry, or in the Federal IT market. Nor was it based on an 
assumption that the ITVAR industry is no longer relevant. Rather, the 
proposal was to address the inconsistency, confusion, and misuse 
concerning the exception.
    With respect to the argument from one commenter that because of 
``cloud'' services the ITVAR exception is more relevant today, SBA's 
regulations would require the agencies to classify such contracts under 
one of the IT services NAICS codes with the $27.5 million receipts 
based size standard. Using the 150-employee size standard and allowing 
companies that typically have receipts in the range of $50 million to 
$200 million to qualify for a contract whose primary purpose is 
services would negatively impact small businesses at the $27.5 million 
receipts based size standard.

Comments That SBA Should Not Implement the Proposed Rule

    Several commenters argued that the proposed rule should not be 
implemented because it represents a policy error from a judgmental, 
economic, and common sense standpoint. The commenters noted that with 
the absence of applicable, complete and relevant or current data 
regarding the impact of the proposal, the passage of the proposed rule 
would be arbitrary and capricious and constitute the abuse of the SBA's 
rule making authority. The commenters recommended that, to move forward 
with the proposal, SBA should conduct a thorough and detailed analysis 
of the procurement and industry data, evaluate alternatives to 
eliminate the confusion, and misuse, and publish the analysis for 
further industry comment. Specifically, they suggested that SBA analyze 
the current data on multiple award IDIQ contracts being used to procure 
combinations of computer hardware and software and services from the 
FPDS-NG and USASpending to more accurately estimate the number of 
businesses that would be impacted if the proposed rule is adopted. Some 
commenters added that without an adequate justification and analysis, 
SBA's proposed rule would harm small ITVARs and impede the ability of 
Federal agencies to fulfill their needs. Some commenters recommended 
that SBA should delay the proposed rule until it analyzes more current 
economic census data for a more accurate assessment of the impacts the 
rule would have on small ITVARs. One commenter suggested that since the 
ITVAR issue is related to the NMR, SBA should hold the rule until the 
forthcoming proposed rule clarifying changes to NMR rule are finalized. 
ITVARs should be given a chance to consider the impact of the proposed 
change in conjunction with any proposed changes or clarifications to 
the NMR.

SBA's Response

    In response to the comments, elsewhere in the final rule, SBA has 
provided a detailed analysis of the available industry and Federal 
procurement data that are relevant to ITVAR firms. Similarly, SBA has 
also provided a detailed discussion on its position to and analyses of 
various alternatives that the commenters provided to eliminate the 
confusion, and misuse of the ITVAR exception. SBA does not agree with 
the suggestion to delay the proposed rule until SBA analyzes more 
current Economic Census data, which will not be available until late 
2016.
    SBA acknowledges that, if adopted, the proposed rule would have 
some impacts on businesses that currently perform ITVAR contracts under 
the 150-employee ITVAR size standard. Further, agencies would benefit 
by having a bigger pool of firms to compete for IT product contracts. 
The businesses that are currently small under the ITVAR size standard 
would continue to qualify as small, except for that they would need to 
compete with somewhat larger businesses between 150 employees and 500 
employees and comply with the NMR. Without the exception, the agencies 
would reclassify IT supply contracts under the applicable manufacturing 
NAICS codes and be able to fulfill their requirements through a single 
reseller or distributor under the 500-employee nonmanufacturer size 
standard, except for that they would be required to comply with the 
NMR. This is how the agencies were procuring IT products prior to the 
exception. Based on the procurement data analyzed and discussed in this 
rule, SBA does not believe that the impacts from these changes would be 
as detrimental as projected by the commenters.

Comments on the Inapplicability of Manufacturing NAICS Codes and the 
NMR

    Several commenters rejected SBA's statement that, under the 
proposed rule, agencies would reclassify computer hardware and software 
supply contracts under the manufacturing NAICS codes and ITVARs below 
150 employees could qualify under the 500-employee nonmanufacturer size 
standard. They argued that it would not only be unfair to compel ITVARs 
with less than 150 employees to compete with large companies (including 
OEMs) with 500 employees to 1,500 employees, but it would also create 
significant problems for agencies to obtain the best combination of IT 
services, equipment and software in a timely manner. Some noted that 
SBA's assessment in the proposed rule that ITVAR contracts could easily 
transition to product based NAICS codes without significant harm to 
small businesses is incorrect. Others argued that using the 
manufacturing NAICS codes, instead of the ITVAR exception, would create 
an undue burden on small ITVARs by forcing them to compete in various 
manufacturing NAICS codes dominated by much larger companies.
    The commenters expressed various concerns about classifying IT 
supply contracts under the manufacturing NAICS codes with a higher 
employee size standard or 500-employee nonmanufacturer size standard, 
instead of the 150-employee ITVAR size standard. One commenter argued 
that the existence of an alternative purchasing method does not justify 
the removal of a well-established NAICS exception. Some commenters 
stated that manufacturing NAICS codes are not designed to supply IT 
products and do not include value added services that ITVARs offer with 
the products. Others claimed that classifying IT supply contracts under 
the manufacturing NAICS codes would create a significant workload for 
SBA in responding to requests for waivers of the NMR and would 
substantially delay IT procurements.
    Many commenters expressed concerns against classifying IT supply 
contracts under the manufacturing NAICS codes because of the NMR. They 
argued that resorting to a manufacturing NAICS code would force small 
ITVARs to a restrictive nonmanufacturer size standard unless there is a 
waiver from the NMR. The commenters contended that the waiver process 
is cumbersome and in some cases waivers are difficult to obtain in a 
timely manner. They further argued that the NMR would significantly 
limit the number of products a small business could offer to the 
government. This would, as the commenters added, not only restrict the 
small ITVARs from providing the full spectrum of desired products to 
agencies, but would also restrict the government's ability to procure 
the state-of-the-art technology products through small businesses. Some 
commenters argued that, from a practical standpoint, the ITVAR 
contracts would be unlikely to be set aside for small businesses 
because there

[[Page 4449]]

are not many small businesses that manufacture hardware and equipment 
to meet the demand. The commenters argued that if the exception is 
eliminated and contracts to procure computer hardware and software are 
reclassified under the manufacturing NAICS codes, many businesses 
considered small under the exception would not be able to participate 
because it would not be possible to comply with the NMR for every item 
that can be currently sold under the ITVAR exception.
    One commenter noted that, by using the 150-employee ITVAR size 
standard, agencies are currently able to procure multiple IT products 
and services through a single procurement without the requirement to 
supply products manufactured by small business concerns or having to 
secure SBA's waivers for numerous products on the procurement. As the 
commenter continued, the ITVAR exception also allows small resellers to 
offer the most optimum combination of products from both small and 
large manufacturers, thereby providing the best value to the 
government, which would not be possible if they are compelled to offer 
the products from small manufacturers under the NMR. The commenter 
concluded that this can become very complex when there are similar 
products manufactured by small manufacturers that are not compatible 
with other IT equipment or software that must be used in combination to 
best meet agency requirements.
    One commenter noted that if agencies are compelled to use the 
manufacturing NAICS codes to obtain both IT services and products, they 
would run the risk of the NMR delaying the procurement or preclude the 
utilization of the most optimum combination of IT products to meet 
their requirements. The need to justify and obtain waivers from the 
NMR, the commenter claimed, would discourage agencies from setting 
aside IT procurements for small businesses under the manufacturing 
NAICS codes. Thus, the commenter concluded, the elimination of the 
ITVAR exception and its 150-employee size standard could significantly 
reduce the number and magnitude of ITVAR contracts set aside for small 
businesses. Another commenter contended that using the 500-employee 
nonmanufacturer size standard would put small ITVARs (with 50-60 
employees) in direct competition with larger companies with up to 500 
employees. The commenter added that unless a company is allowed to 
separate hardware and software revenue from services for the purpose of 
being small under NAICS Industry Group 5415, very few value added 
resellers would remain small.
    One commenter supporting SBA's proposal argued that it would be 
impossible to comply with the NMR for acquisitions of IT products 
(e.g., software and hardware) even if they are properly classified 
under a manufacturing NAICS code, because many of the IT products 
desired by the government are not manufactured by small businesses and 
do not have waivers. As such, these procurements are fundamentally 
defective because no small businesses could perform the requirements of 
the contract without violating SBA's regulations. The commenter 
suggested that acquisitions for IT products should be competed on a 
full and open basis.

SBA's Response

    If the ITVAR exception is eliminated as proposed and ITVAR 
contracts are reclassified under the manufacturing NAICS codes, the 
size standard for an IT reseller would be only 500 employees, although 
the size standard for computer and peripheral equipment manufacturing 
related NAICS codes is higher at 1,000 employees. While SBA 
acknowledges that these businesses would have to compete with 
businesses between 150 employees and 500 employees, it disagrees with 
the commenters' argument that eliminating the ITVAR exception would 
force them to compete with large companies up to 1,500 employees.
    SBA did not propose to eliminate the ITVAR exception simply because 
there is an alternative method to procure IT supplies using the 500-
employee nonmanufacturer size standard. The proposal was to ensure that 
small business IT supply contracts, like all other supply contracts, 
are in compliance with applicable statute and regulations, especially 
the NMR and limitations on subcontracting. The Small Business Act 
provides that, on a supply contract set aside for small business, the 
offeror must account for 50 percent of the cost of manufacturing the 
product, or qualify as a nonmanufacturer. Under the Small Business Act 
and implementing regulations, a firm may qualify as a nonmanufacturer 
on a supply contract set aside for small business by supplying the 
product of a small business or SBA must have issued a class or 
individual contract waiver of the NMR, which would allow the 
nonmanufacturer to supply the product on any size business. 
Additionally, the rule proposed to eliminate the ITVAR sub-industry 
only as an exception to NAICS 541519, but not the ITVAR activity 
altogether.
    SBA does not agree with the comment that the manufacturing NAICS 
codes are not designed to supply IT products and do not include value 
added services that ITVARs offer with the products. The regulation 
allows agencies to include some services in IT supply contracts 
classified under the manufacturing NAICS codes as long as the products 
remained the principal purpose of the contract. Prior to the ITVAR 
exception, agencies were using the manufacturing NAICS codes to procure 
IT products that required some services. Even now with the exception, 
many agencies procure the mix of IT products and services using the 
manufacturing NAICS codes. As stated elsewhere, even with the ITVAR 
exception, agencies use the manufacturing NAICS codes to obtain 
computer hardware and software through various GWACs, including NIH's 
ECS-3 and Army's ITES-2H.
    SBA does not believe that the waiver process of the NMR is 
cumbersome and that waivers are difficult to obtain in a timely manner 
are good reasons for not applying the statutory rule. SBA believes it 
is inconsistent and unlawful to require distributors or resellers of 
thousands of other products to comply with the NMR and exempt the 
resellers of IT products from the rule. While SBA recognizes that the 
NMR may work better for some products than for others, it strongly 
believes that the rule must apply to all supply contracts equally. 
Thus, similar to all other products and supplies, the NMR must also 
apply to IT products, including those purchased through the ITVAR 
exception. SBA is aware and agrees with some commenters that small 
business manufacturers may not be available to comply with the NMR for 
the procurement of some computer hardware and software. Under those 
instances, the regulations allow agencies to request waivers of the NMR 
from SBA, as they have done for hundreds of other products. In fact, 
waivers already exist for a wide range of IT products under computer 
and peripheral equipment manufacturing related NAICS codes (see https://www.sba.gov/content/class-waivers). However, based on SAM and FPDS-NG 
data, SBA believes that there are small manufacturers for a wide 
variety of IT products, which may have been deprived from Federal 
opportunities under the ITVAR exception because of the inapplicability 
of the NMR to procurements under the ITVAR exception.
    Reclassifying ITVAR contracts under the manufacturing NAICS codes 
would

[[Page 4450]]

not change the agencies' ability to procure multiple IT products from a 
single source. They could continue to acquire multiple products from a 
single source by using the 500-employee nonmanufacturer size standard. 
Similarly, this would also not affect resellers' ability to provide the 
most optimum combination of IT products from multiple manufacturers. If 
the products from small manufacturers are not compatible with other 
hardware and software, agencies may request a waiver of the NMR for the 
items.
    While ITVAR contracts include some services, they are basically 
supply contracts. Thus, according to the SBA's regulations, like all 
other supply contracts, ITVAR contracts should be classified under the 
applicable manufacturing NAICS codes. If such contracts are set aside 
for small businesses, they are also subject to the NMR. If there are no 
domestic small manufacturers of the products being procured to comply 
with the NMR, agencies can request waivers. The potential burden on 
agencies to obtain NMR waivers is not a convincing reason for not 
following the statute, because compliance with the NMR and obtaining 
waivers is ultimately in the interest of small businesses. Similarly, 
the arguments that it would create a significant workload for SBA to 
respond to requests for nonmanufacturer waivers and substantially delay 
IT procurements are not good reasons for not complying with the 
statute. SBA believes that potential delays, if any, resulting from the 
requests for waivers can be ameliorated by proper planning and 
scheduling of contracts. Even if agencies are currently setting aside 
many IT contracts for small businesses using the exception, without the 
NMR, most of the benefits of those contracts are simply passed through 
to large OEMs or other large manufacturers, including foreign 
companies. Many commenters themselves stated that small resellers have 
only small profit margins on ITVAR contracts. SBA disagrees with the 
suggestion to separate revenues from computer hardware and software 
sales from services to allow ITVARs to qualify as small under the 
receipts based size standard. First, for size standards purposes, SBA 
defines the size of a business concern in terms of its overall revenues 
or employees, not in terms of revenues or employees for specific 
products or services. Second, allowing ITVAR firms with revenues 
significantly higher than the receipts based size standard to qualify 
as small would negatively impact businesses below the receipts based 
size standard.
    Finally, with respect to the comment that IT products should only 
be competed on a full and open basis, SBA believes that doing so would 
not only hurt many existing small businesses by forcing them to compete 
with the largest firms, which dominate the industry, it would also 
reduce competition and innovation in the economy.

Comments That the Proposed Rule Violates Statutory Requirements

    One commenter applauded SBA for complying with the Jobs Act, but 
noted that the proposed rule violates the statutory language added to 
the Small Business Act by the National Defense Authorization Act for 
Fiscal Year 2013 (NDAA 2013). The commenter added that the provisions 
in the proposed rule concerning the ITVAR size standard fail to address 
the issues facing the IT industry and the misuse of the size standards.
    The commenter noted that modifications to SBA's size standards have 
significant implications for SBA programs, Federal procurement 
opportunities for small businesses, the Regulatory Flexibility Act, 
Executive Order 12866, and Federal regulatory programs in which the 
term ``small business'' is used. For these reasons, the commenter urged 
SBA to withdraw the current proposed rule and directed it to undertake 
a rulemaking that is legally sufficient, withstands judicial scrutiny, 
and does not tempt Congress to take ameliorative action.
    The commenter was concerned with limiting the number of size 
standards to choose from and applying common size standards for some 
industries. The commenter referred to the SBA's 2011 proposed rule on 
NAICS Sector 54 where the Agency had proposed the common size standards 
for industries in NAICS Industry Group 5413 (Architectural, 
Engineering, and Related Services) and Industry Group 5415 (Computer 
Systems Design and Related Services).
    The commenter claimed that the proposed rule violated the statutory 
provisions of the NDAA 2013 relating to SBA's size standards. 
Specifically, the commenter noted that the proposed rule does not 
follow the statutory provisions of the proposed rulemaking, does not 
honor the statutory prohibition on common size standards, and ignores 
the statutory language on the number of size standards. The commenter 
considered that the proposed rule is fundamentally flawed because SBA 
applied the same methodology prior to NDAA 2013 without any change to 
increase the size standards for 30 industries and three sub-industries, 
and to eliminate the ITVAR sub-industry or exception to NAICS 541519.
    With respect to the statutory provisions of the rulemaking, the 
commenter noted that for the majority of the 30 industries that face a 
changed size standard, the only description provided is the NAICS code 
and industry title. The commenter argued that the proposed rule did not 
provide the types of analyses SBA provided in its 2003 final rule to 
establish the ITVAR exception and the 150-employee size standard.
    The commenter argued that with no justification for the use of the 
``anchor size standard'' approach as a basis for evaluating 
characteristics of individual industries, the proposed rule violates 
the statutory requirement on using common size standards. The commenter 
also challenged the proposed rule for placing the ITVAR firms under one 
of the common size standards created in 2012 that, as the commenter 
contended, prompted Congress to change the statute.
    The commenter noted that by limiting the number of employee based 
size standards to five levels (500 employees, 750 employees, 1,000 
employees, 1,250 employees, and 1,500 employees), SBA disregarded the 
statute in the proposed rule. In response to SBA's approach against the 
practicality and need for establishing separate size standards for each 
of 1,000 plus industries, the commenter indicated that Congress would 
not oppose thousands of size standards as they would provide better 
insights into the small business industrial base, inform the creation 
of better scope of work for contracts, increase opportunities for small 
businesses, and mitigate the impact of outgrowing the size standard.
    Another commenter argued that proposed rule does not comply with 
the RFA. The commenter noted that the RFA, as amended by the Small 
Business Regulatory Enforcement Fairness Act (SBREFA), requires the 
agency to consider the impact of the proposed rulemaking on small 
entities and analyze alternatives to minimize the impacts on small 
entities. The commenter argued that the SBA's IRFA does not include any 
discussion on the impact of eliminating Footnote 18.

SBA's Response

    With respect to the impact of the NDAA 2013 on the comprehensive 
review required by the Jobs Act, SBA maintains its existing approach is 
consistent with those requirements. SBA's methodology, as outlined in 
its publicly available white paper and utilized in each proposed and 
final

[[Page 4451]]

rulemaking, discusses the impact on firms, provides an analysis of the 
competitive environment, discusses the sources of data, and the 
anticipated effect on firms. If SBA proposes common size standards, it 
will and does provide a justification in the proposed and final rule. 
Further, SBA is not limiting the number of size standards. It is 
important to note that much of the data available is based on ranges. 
It is not possible to establish size standards at such a granular level 
that size standards would vary by a single dollar or single employee. 
When conducting economic analysis using varying data sources and 
multiple factors, there must be some rounding to dollar values or 
employee numbers. However, for the review of employee based size 
standards, to the extent permitted by the 2007 Economic Census 
tabulation and other available data, SBA adjusted its size standards 
methodology in response to the NDAA 2013 requirements. Specifically, 
for manufacturing and other industries that have employee based size 
standards for which SBA published the proposed rules on September 10, 
2014, the Agency added an additional size standard level of 1,250 
employees between 1,000 employees and 1,500 employees. In addition, SBA 
increased the number of size standards for industries in Wholesale 
Trade for SBA's financial assistance. Currently, all industries in 
Wholesale Trade have one common size standard of 100 employees for 
SBA's loans. SBA had proposed three additional size levels, namely 150 
employees, 200 employees and 250 employees and published the rule for 
comments (79 FR 28631 (May 19, 2014)). SBA proposed no common size 
standards for any industries that have employee based size standards. 
As part of preparation for the next round of the size standards review 
as required by the Jobs Act, SBA is currently reviewing and updating 
its current ``Size Standards Methodology'' White Paper to incorporate 
the provisions of the NDAA 2013 to the extent possible. SBA plans to 
issue the updated methodology for public comments and finalize it prior 
to launching the next round of size standards review, possibly in the 
first quarter of Fiscal Year 2017.
    SBA disagrees with the comment that the proposed rule did not 
provide any analysis of industry data or the competitive environment to 
the industries that faced a size standard change. As explained in the 
proposed rule and the methodology white paper, when developing the 
proposed rule, SBA examined several factors (such as average firm size, 
measures of start-up costs and barriers, industry concentration, and 
distribution of firms by size) to evaluate the competitive environment 
in specific industries, not just the NAICS industry code and title. In 
addition, SBA also evaluated the Federal contract market place in terms 
of ability of small businesses to compete for Federal opportunities 
under the existing and changed size standards. As part of the 
regulatory impact analysis as required by Executive Order 12866 and the 
IRFA as required by the RFA, SBA provided the impacts of the proposed 
rule, including the number of businesses impacted and their 
participation in Federal contracting and SBA's financial assistance.
    As discussed elsewhere in this rule, based on the review of the 
2003 final rule, SBA has determined that the analysis the Agency used 
to create the exception had several flaws. In response, in this final 
rule, SBA has provided alternative approaches to analyzing the ITVAR 
activity that are more consistent with the SBA's current size standards 
methodology and NAICS industry definitions.
    Since SBA did not receive major adverse comments against using the 
common size standard for industries under NAICS Industry Group 5415 
(Computer Systems Design and Related Services), SBA retained the common 
size standard for those industries in the final rule. Moreover, 
adopting industry specific size standards would have meant lowering 
size standards for some industries in that group. It is not the current 
proposed rule that placed the ITVAR firms under NAICS 541519 that share 
a common size standard with three other computer services related 
industries (i.e., 541511, 541512, and 541513). Rather, SBA decided to 
place the ITVAR exception under NAICS 541519 in its 2002-2003 
rulemaking that created the ITVAR exception. It should be noted that 
SBA created the common size standard for ``Computer Programming, Data 
Processing and Other Computer Related Services'' in the early 1990s (56 
FR 38364 (August 13, 1991) and 57 FR 27907 (June 23, 1992)), not in the 
2012 final rule for NAICS Sector 54.
    With respect to the anchor size standard, it should be noted that 
SBA provides a detailed justification for using the ``anchor size 
standard'' approach in its ``Size Standards Methodology'' White Paper, 
as cited in the proposed rule. In fact, SBA has been using the 
``anchor'' approach since the 1980s when reviewing and modifying size 
standards without much concern from the public. As part of its effort 
to address new statutory requirements and improve the methodology, SBA 
is considering alternative approaches to evaluating industry 
characteristics in the next round of the review.
    Regarding the comment on limiting the number of size standards, 
there have been concerns from businesses and the contracting community 
that size standards are too complex to understand and cumbersome to 
use. To simplify, SBA proposed to reduce the number of receipts based 
size standards to eight (8) from 31 different levels that existed at 
the start of the current size standards review. However, because of 
Agency general policy to not lower size standards except to exclude the 
dominant firms, there are still 17 different receipts based size 
standards in effect. In all proposed rules on receipts based size 
standards, SBA sought comments on the number of size standards 
available to apply for individual industries. Almost all comments 
addressing this issue strongly supported the SBA's proposed eight 
receipts based size standards. Since its publication for comments in 
2009, SBA had received many comments specific to its size standards 
methodology and almost all of those comments supported using a fixed 
number of size standards. Moreover, SBA has received no concerns from 
the public and contracting communities that limiting the number of size 
standards is having an adverse impact on small businesses or 
contracting activities. Additionally, in the proposed rule, SBA did not 
reduce the number of employee based size standards. Rather, as 
mentioned elsewhere in the rule, SBA expanded the number of employee 
based size standards by adding an additional size standard level of 
1,250 employees between 1,000 employees and 1,500 employees. 
Furthermore, in this rule, SBA has lowered size standards for three 
industries from 500 employees to 250 employees to prevent the largest 
and dominant firms from being qualified as small. Until this rule, for 
purposes of Federal procurement, no industry had an employee based size 
standard lower than 500 employees. As stated earlier, SBA is currently 
reviewing and updating its current ``Size Standards Methodology'' White 
Paper (methodology) to incorporate the provisions of the NDAA 2013 to 
the extent possible.
    SBA does not agree with the comment that the proposed rule did not 
provide the impact analysis of the proposed elimination of the ITVAR 
exception. As part of regulatory impact analysis as required by 
Executive Order 12866 and IRFA as required by RFA, SBA provided

[[Page 4452]]

the estimate for the number of small businesses impacted by changes to 
industry size standards covered by the proposed rule, along with 
estimates on the impacts on small business participation in Federal 
procurement and SBA financial assistance programs. As in all previous 
proposed and final rules on size standards for other NAICS sectors, SBA 
only provided the aggregate estimates of the impacts for all affected 
industries, instead of separate estimates for each industry or sub-
industry.

Comments That the Proposed Rule Violates Congress' Intent on the Jobs 
Act

    Five commenters contended that by eliminating the ITVAR exception 
and its higher 150-employee size standard and replacing it with the 
lower $27.5 million receipts based size standard, the proposed rule 
violates Congress' intent in the Jobs Act to increase size standards. 
To support this contention, one of the commenters referred to Section 
404 of the Report from the Committee on Small Business and 
Entrepreneurship where the Committee discussed Federal market 
conditions and the need for a reasonable increase in size standards (S. 
Rep. 343, 111th Cong., 2d Sess. (Sep. 29, 2010)).

SBA's Response

    SBA disagrees for two reasons. First, with the proposed elimination 
of the ITVAR exception, ITVAR contracts, which by definition are 
primarily supply contracts, would be reclassified under applicable 
manufacturing NAICS codes for which all current small ITVARs would 
continue to qualify as small under the 500-employee nonmanufacturer 
size standard. As a result, ITVARs would actually see an increase in 
their size standard, not a decrease. Second, the Jobs Act required SBA 
to conduct a detailed review of size standards and make appropriate 
adjustments to reflect market conditions. SBA believes such adjustments 
would mean either increases or decreases to size standards, not only 
increases. Thus, even if the elimination had resulted in a decrease to 
the size standard, SBA does not believe that would constitute a 
violation of the Jobs Act.

Comments That the Proposed Rule Conflicts With Retention of Other 
Exceptions

    A couple of commenters argued that SBA's reason to eliminate the 
ITVAR exception for lack of data in the Economic Census is inconsistent 
with its decisions to retain all other exceptions in other industries. 
Another commenter was concerned that the same reason may lead SBA to 
eliminate other size standards exceptions that were put in place for 
important reasons, which will negatively impacts those industries and 
Federal customers.

SBA's Response

    As stated elsewhere in this final rule, lack of data was not SBA's 
primary reason for eliminating the ITVAR exception. SBA's primary 
reason for the proposal was to eliminate the inconsistency, confusion, 
and misuse that the exception has created. Only as an ancillary reason, 
SBA noted that the proposal would also ameliorate the challenge SBA 
faces when evaluating economic characteristics and size standards for 
exception categories. The challenge is especially acute here because 
the industry represented by Footnote 18 is already represented in the 
NAICS table under the wholesale NAICS code. In other words, the data 
challenge exists because SBA created an exception for suppliers under a 
services NAICS code.
    As part of its comprehensive review of all size standards, SBA has 
considered whether each of the existing exceptions or footnotes to size 
standards could be eliminated. As a result, SBA eliminated Footnote 1 
relating to the size standard for electric utilities (see 78 FR 77343 
(December 23, 2013), the Map Drafting exception to NAICS 541340 
(Drafting Services) (see 77 FR 7490 (February 10, 2012)), and Aircraft 
Dealers, Retail exception to NAICS 441229 (All Other Motor Vehicles 
Dealers) (see 75 FR 61597 (October 6, 2010)). More recently, in the 
same proposed rule, partly for the lack of data, SBA also proposed 
eliminating the Offshore Marine Air Transportation Services exception 
to NAICS 481211 (Nonscheduled Chartered Passenger Air Transportation) 
and NAICS 481212 (Nonscheduled Chartered Freight Air Transportation and 
Offshore Marine Services exception (along with Footnote 15) to NAICS 
Subsector 483 (Water Transportation).
    Additionally, although SBA, after public comments, has decided to 
retain some of the exceptions in the final rules, the Agency had always 
discussed in the proposed rules the data issues related to evaluating 
all exception categories and associated size standards and sought 
comments if they could be removed. For these reasons, SBA does not 
agree with the commenter that the proposal to eliminate the ITVAR is 
totally inconsistent with its decision to retain other exceptions. In 
addition, SBA did not remove other exceptions mainly because doing so 
would have forced many small businesses to lose their small business 
status as in most cases exceptions have higher size standards than 
those for regular industries. That is not the case with removing the 
ITVAR exception because, as stated elsewhere in the rule, if the ITVAR 
exception is eliminated, the ITVAR contracts would be reclassified 
under applicable manufacturing NAICS codes and all ITVARs below 150 
employees would continue to qualify as small for those contracts as 
small businesses under the 500-employee nonmanufacturer size standard.

Comments Suggesting Alternatives to SBA's Proposal

    In response to SBA's rationale to remove the ITVAR exception 
because it has created inconsistencies, confusion, and misuse, many 
commenters suggested alternative measures or courses of action to 
address these issues rather than eliminating the exception. These 
include modifying FPDS-NG to enable contracting officers to identify or 
show the exception size standard, creating a new NAICS code for the 
ITVAR exception with its own size standard, requiring ITVAR contracts 
and task orders to indicate separate values for goods and services, and 
development of training and guidelines for procurement officials to 
ensure the proper application of the size standard exception.
    With respect to the new ITVAR NAICS code, the commenters suggested 
that SBA should develop a new or independent NAICS industry code to 
represent the ITVAR activity, as defined in Footnote 18, with an 
employee based size standard of 150 employees, while keeping NAICS 
541519 intact with its current $27.5 million receipts based size 
standard. The commenters further recommended that SBA should analyze 
the data on both the multiple award IDIQ contracts used to acquire the 
mix of IT products (hardware/software) and services under NAICS 541519 
and small businesses that are selected to perform these acquisitions to 
support the creation of the new ITVAR NAICS code. One commenter also 
suggested making the new ITVAR NAICS code a service NAICS code, with a 
150 employee size standard. As an alternative to creating a new ITVAR 
NAICS code, one commenter suggested creating a new IT services NAICS 
code with a size standard of 150 employees.
    In response to SBA's reason to remove the exception due to the lack 
of data to evaluate the ITVAR industry, one commenter suggested 
refining the Economic Census to collect data on ITVARs, while another 
suggested

[[Page 4453]]

creating a product service code (PSC) for ITVAR contracts to track data 
on ITVARs in FPDS-NG. Another suggested that SBA should reproduce the 
type of the analysis it did in the 2002-2003 rulemaking by combining 
the data for Computer Systems Design and Related Services (NAICS 
Industry Group 5415) and for the Computer and Computer Peripheral 
Equipment and Software Merchant Wholesalers industry (NAICS 423430) 
from the Economic Census and data from the industry, such as Computer 
Reseller News. In addition, the commenter suggested GSA's Federal 
Supply Schedules for IT solutions and SAM as additional sources of data 
to analyze ITVAR firms. A number of commenters recommended that SBA 
should review the procurement data from FPDS-NG and USASpending.
    Some commenters argued that, rather than eliminating the 150-
employee size standard, the confusion from having two size standards in 
NAICS 541519 could best be cured by eliminating the $27.5 million 
receipts size standard and adopting the 150-employee size standard as 
the single size standard for entire NAICS 541519. On a different note, 
instead of removing the exception and its 150-employee size standard, 
one commenter suggested lowering its size standard to 50, 75, or 100 
employees, without a dollar limit.
    Another commenter argued that, if SBA eliminates the ITVAR 
exception, only the services provided by the small firms should be 
counted in the calculation of annual receipts and hardware and software 
obtained from other suppliers or manufacturers should be excluded. The 
commenter further argued that this is similar to excluding the amounts 
collected for a third party from the receipts by travel agents, real 
estate agents, advertising agents, conference organizers and freight 
forwarders.

SBA's Response

    As explained elsewhere in the rule, SBA does not agree that there 
is the need to create a new NAICS code for ITVARs, because such a code 
already exists in NAICS 423430. The Economic Census data show that more 
than 80 percent of revenues of firms in NAICS 423430 come from the 
sales of computer hardware and software. Many commenters also affirmed 
this by saying that ITVARs' revenue merely reflects the sales of 
computer hardware and software. The SBA's 2003 final rule also stated 
that ITVARs are part of NAICS 423430. Additionally, SBA has no 
authority or expertise to create or modify NAICS industry codes or 
definitions. Creating or modifying NAICS industry definitions or codes 
is done through the U.S. Economic Classification Policy Committee under 
the Office of Management and Budget (OMB) in cooperation with 
statistical agencies from the U.S., Canada, and Mexico. If the industry 
believes that a new NAICS code is warranted for the ITVAR industry, it 
should approach OMB (see http://www.census.gov/eos/www/naics/). Every 
five years, OMB updates NAICS codes and definitions, the next being the 
NAICS 2017 updates to be effective January 1, 2017.
    SBA also disagrees with the suggestion to apply a single size 
standard of 150 employees for both IT services firms in NAICS 541519 
and ITVARs. SBA believes that such a size standard would negatively 
impact small businesses at or below the $27.5 million receipts level by 
forcing them to compete against some ITVARs with significantly larger 
receipts levels and more financial resources. Several commenters noted 
that ITVARs below 150 employees have a much stronger financial base and 
better creditworthiness as compared to their counterparts below the 
$27.5 million receipts based size standard. Without ITVARs, the 
industry data would actually support a 150-employee size standard for 
NAICS 541519. However, to conform to its general policy of using number 
of employees to measure business size of firms in manufacturing 
industries and receipts to measure business size in services 
industries, SBA will maintain the receipts based size standard for 
NAICS 541519.
    Several commenters suggested reproducing the analysis SBA performed 
in its 2003 final rule. However, SBA disagrees with the 2003 analysis 
for the following reasons:
    1. Both the 1997 Economic Census data used in the 2003 final rule 
and 2007 Economic Census data (still latest available) showed vast 
differences between the characteristics of firms in Industry Group 5415 
and those in NAICS 423430. For example, based on the 1997 data, sales 
of computer hardware and software accounted for 81 percent of total 
receipts in NAICS 423430, as compared to less than 5 percent in NAICS 
Industry Group 5415. The corresponding figures for the 2007 Economic 
Census data were about 83 percent and 9.5 percent, respectively. Many 
commenters also argued that firms in NAICS Industry Group 5415 have 
vastly different economic characteristics as compared to ITVAR firms 
and that the two cannot be compared. The commenters further argued that 
most of the receipts of ITVAR firms come from the sales of computer 
hardware and software. Despite these differences, SBA combined the data 
from these very distinct NAICS industry categories into one and defined 
the result as the new ITVAR industry and included it as sub-industry or 
exception under NAICS 541519.
    2. In combining the two industry categories, SBA only included the 
services segment in NAICS 423430, which accounted for only about 14 
percent of total receipts in that industry. The sales of computer 
hardware and software segment, which is the primary activity of ITVARs 
and accounted for more than 80 percent of total sales in that industry, 
were excluded. SBA has reproduced that analysis and determined that, 
had the computer hardware and software segment in NAICS 423430 been 
included in creating the ITVAR industry, the results would have 
supported a substantially larger size standard than 150 employees.
    3. There is no need to create a new industry for ITVAR firms. 
ITVARs, because they are primarily engaged in the distribution or 
resale of computer equipment and software, are already classified under 
NAICS 423430. In the 2003 final rule, SBA selected NAICS Industry Group 
5415 and NAICS 423430 for constructing the ITVAR industry based on an 
assumption that ITVAR firms operate in either one of these categories. 
As reflected in the Economic Census data, some firms in NAICS Industry 
Group 5415 may provide some computer hardware and software, but most of 
their revenue comes from services. Similarly, firms in NAICS 423430 may 
provide some services, but the vast majority of their revenue comes 
from the sales of computer hardware and software.
    4. As discussed exhaustively in this rule, SBA now disagrees with 
the decision to include the exception meant for primarily supply 
contracts as an exception to NAICS 541519, which is a service NAICS 
code. Furthermore, SBA sees no legal basis to treat ITVAR contracts as 
services contracts, thereby exempting them from the manufacturing 
performance requirements and the NMR.
    SBA now believes that, in accordance with SBA's current ``Size 
Standards Methodology,'' any analysis for establishing industry 
characteristics of ITVAR firms should focus on data for NAICS 423430, 
which is their primary industry. All firms in Wholesale Trade (NAICS 
Sector 42) share the same 500-employee size standard for purposes of 
Federal procurement under the NMR. If ITVAR firms need any special

[[Page 4454]]

provisions from the size standard or from the NMR, such provisions 
should be addressed within the context of the same rule. If ITVAR firms 
needed a separate employee based size standard, it should be based on 
data from NAICS Sector 42.
    With respect to data sources, SBA has obtained data from SAM and 
FPDS-NG to evaluate industries or sub-industries (``exceptions'') that 
are not covered by the Economic Census. However, SBA is concerned that 
this data does not provide an accurate and representative picture of 
all firms within the industry. The data from those sources only pertain 
to firms that are either registered in SAM or have received Government 
contracts. The results from these sources generally tend to support 
much larger size standards than those supported by the Economic Census 
data. Some commenters suggested that SBA should use the private data 
sources that SBA used in the 2003 final rule. However, in the 2003 
final rule, SBA considered private sources for data on ITVAR firms, but 
for several reasons as explained in that rule, it did not utilize them 
in establishing the characteristics of the ITVAR industry.
    SBA disagrees with the suggestion for creating a new IT services 
NAICS code with a 150-employee size standard. First, there already 
exist four NAICS codes under Industry Group 5415 to include a wide 
range of IT related services, including those that can be included 
under ITVAR contracts. Second, it would hurt small businesses under the 
$27.5 million receipts based size standard by forcing them to compete 
with businesses with much larger receipts and better financial 
resources. That would likely encourage contracting officers to use the 
150-employee size standard for IT services contracts instead of the 
receipts based size standard. This would not only create more 
confusion, but also would have detrimental impact on small businesses 
that are currently receiving small business contracts under the 
receipts based size standard.
    SBA also disagrees with the suggestion to allow ITVAR firms to 
exclude the revenue from computer hardware and software sales from the 
calculation of receipts, similar to travel agents, real estate agents, 
advertising agents, conference organizers and freight forwarders. In 
calculating receipts for size standards, SBA follows the U.S. Census 
Bureau's definition of receipts for its Economic Census. Accordingly, 
SBA defines receipts for travel agents, real estate agents, advertising 
agents, conference organizers, and freight forwarders based on their 
net commissions by excluding the amount they collect on behalf of the 
third parties. The same definition does not apply to ITVAR firms. 
Additionally, as explained elsewhere, by allowing the ITVAR firms to 
exclude sales from computer hardware and software from receipts and 
qualify under the receipts based size standard would hurt many IT 
services firms below the receipts based size standard.
    Vendors of computer hardware and peripherals are not comparable to 
travel agents, real estate agents, advertising agents, conference 
organizers, and freight forwarders. Receipts from the sale of computer 
hardware substantially increase the size of a business. Those receipts 
can be used to replenish inventory, pay employees, reduce payables and 
debt, pay bonuses, and for other business purposes. They add to the 
business' asset base and net worth. However, travel agents and 
similarly operating businesses operate on a commission and/or fee 
basis. Their receipts are held in trust. The funds do not add to the 
business' asset base, and cannot be used to reduce payables or debt, or 
for any other business purposes. For sellers of computer hardware, the 
receipts constitute revenue. For travel agents and the like, although 
their total receipts may be high, most of their receipts do not 
constitute revenue.

Other Comments on the ITVAR Exception

    A few commenters noted that instead of focusing its efforts on 
eliminating the exception and on solving the non-existent problem, SBA 
should focus its effort toward preventing small business contracts from 
being diverted to large Fortune 500 companies and their subsidiaries.
    In response to SBA's justification to change size standards because 
of the comments that size standards have not kept up with changes to 
the economy, the commenter argued that those comments are false because 
there have been no changes to the percentage of U.S. firms that have 
less than 100 employees.
    One commenter also countered a comment from another commenter in 
support of the SBA's proposal that the removing the ITVAR exception 
will help level the playing field for companies looking for Federal 
opportunities by stating that the exception is allowing companies 
making hundreds of millions of dollars to bid as small businesses on 
ITVAR contracts, thereby blocking true small businesses from Federal 
opportunities. The commenter dismissed the supporting comment as a 
misleading and improper comparison between ITVARs and IT services 
providers for failing to account for the ITVAR's business and 
operational model. The commenter stressed that although ITVARs with 150 
or fewer employees have annual receipts substantially higher than $27.5 
million, they are truly small. The commenter argued that since, unlike 
general IT service providers, ITVARs also provide products with very 
thin profit margins, it would be unfair to compare them using the same 
revenue levels.

SBA's Response

    While SBA is committed to ensure that Federal government contracts 
set aside for small businesses only go to small businesses, not large 
businesses, the issue is beyond the scope of this rule. With respect to 
the comment regarding whether or not the size standards need to be 
adjusted, the U. S. Congress has required SBA to review all size 
standards and make necessary adjustments to reflect market conditions 
every five years (see Public Law 111-240, Section 1344). Although the 
percentage of firms below 100 employees has remained more or less 
constant over time, their market share in the economy has been 
shrinking. For example, the share of total sales/receipts of firms with 
less than 100 employees decreased from nearly 29 percent in 1997 to 
less than 26 percent in 2007 and those of larger firms has increased. 
The data would suggest bigger changes in many individual industries. 
The commenter's rebuttal of another comment in support of SBA's 
proposal also supports the Agency's current position that ITVARs should 
not be treated as an exception to the receipt based size standard that 
applies to IT services.

Comments on the Environmental Remediation Services Exception

    On September 15, 1994, SBA issued a final rule designating 
Environmental Remediation Services (ERS) an ``exception'' under 
Standard Industrial Classification (SIC) code 8744, Facilities Support 
Management Services, with a size standard of 500 employees (59 FR 
47236). Effective October 1, 2000, SBA adopted NAICS replacing the SIC 
system for its table of size standards (65 FR 30836). Currently, the 
500-employee size standard for ERS is an ``exception'' to the $20.5 
million receipts based size standard for NAICS code 562910, Remediation 
Services. The 500-employee size standard applies to Federal 
procurements that involve three or more services related to restoring a 
contaminated environment, such as

[[Page 4455]]

preliminary assessment, site inspection, testing, remedial 
investigation, remedial action, containment, and removal and storage of 
contaminated materials. The requirements that apply to the ERS 
exception and its 500-employee size standard for Federal procurement 
and SBA's financial assistance are in Footnote 14 to SBA's table of 
small business size standards (13 CFR 121.201).
    In the September 10, 2014 proposed rule, SBA proposed to increase 
the size standard for the ERS exception under NAICS code 562910 from 
500 employees to 1,250 employees. SBA sought public comments on its 
analyses of the industry and Federal market data and its justification 
for the proposal to increase the size standard for the ERS exception 
from 500 employees to 1,250 employees. SBA received 32 comments, 26 of 
which were from currently small businesses (i.e., with 500 or fewer 
employees) and six from other than small businesses (i.e., those with 
more than 500 employees). Commenters included women owned small 
businesses (WOSBs), current and former HUBZone and 8(a) businesses, 
service disabled veteran owned small businesses (SDVOSBs), and minority 
and Native American owned companies. As stated earlier, 23 commenters 
opposed SBA's proposal to increase the ERS size standard to 1,250 
employees and nine supported it. Three of the commenters opposing the 
proposed 1,250-employee size standard suggested a smaller increase to 
750 employees. One large business commenter supporting SBA's proposal 
suggested that SBA adopt a higher 1,500-employee size standard. These 
comments and SBA's responses are discussed below.

Comments Supporting SBA's Proposal To Increase the ERS Size Standard to 
1,250 Employees

    Commenters that supported the proposed increase of the ERS size 
standard to 1,250 employees reasoned that it would enable small 
businesses to grow beyond 500 employees. The commenters argued that the 
higher size standard would open doors to firms that have purposely 
remained under the 500-employee standard, and it would thereby spur 
business expansions and job creation. They noted that due to increased 
consolidation in the ERS industry there exists a large gap between 
firms below 500 employees and very large firms, thereby rendering 
smaller firms no longer able to compete for Federal opportunities on a 
full and open basis. The commenters argued that the higher size 
standard would close this gap between small and very large firms. They 
contended that the current size standard does not reflect the 
consolidated structure and current economic reality of the ERS industry 
and added that the proposed higher size standard represents a more 
accurate reflection of current market conditions in the ERS industry. 
Some commenters stated that since the size standard for ERS has not 
changed since 1994, the proposed increase would be a reasonable step 
toward matching current market conditions. With a disproportionately 
large amount of ERS work being set aside for small businesses with 
fewer than 500 employees, as some commenters maintained, the current 
size standard adversely affects larger businesses' ability to obtain 
work in the ERS market. They argued that the proposed higher size 
standard would help to establish balance and fairness in the Federal 
ERS market. Some stated that increasing the size standard would 
increase the number of set-aside contracts for small businesses and 
decrease the number of contracts under full and open competition.
    The commenters stated that the higher size standard would increase 
the number of small businesses and allow the government to increase the 
number and size of small business set-aside contracts. They stated that 
no individual firm at the 1,250-employee size standard would dominate 
the ERS industry and that the number of firms that would become small 
under the proposed higher size standard would be insignificant relative 
to total firms in the ERS industry. One commenter stated that the 
increased size standard would not affect 8(a) businesses, HUBZone 
businesses, SDVOSBs, or WOSBs. Some argued that the higher size 
standard would provide small businesses with more opportunities to 
compete for a larger share of the Federal ERS market.
    Some commenters noted that by increasing small business 
participation and job creation, the higher size standard would promote 
the Jobs Act initiative, while others stated that by increasing the 
pool of small businesses it would assist agencies to meet their small 
business contracting goals. Others argued that it would ensure that the 
government has an adequate pool of small businesses and it would 
increase competition in the small business ERS market and provide 
greater value for the dollars awarded to small businesses.
    Some commenters pointed out that firms under 500 employees lack the 
capacity to handle the increasing volume, complexity, and size of ERS 
contracts. They added that mid-size firms have the capacity and 
expertise to perform more complex and larger jobs, but cannot compete 
for those opportunities under the 500-employee size standard. With 
small businesses more than doubling their size under the proposed size 
standard, there would be a corresponding increase in small business 
capabilities, they argued. Another commenter stated that many agencies 
solicit work under performance based remediation contracts, under which 
the prime contractor assumes all risk. Current small businesses under 
the 500-employee size standard are not in a position, according to the 
commenter, to undertake these risks, but the increased size standard 
would allow small businesses to assume those risks. The commenter added 
that because of the requirements, ``small businesses often end up 
serving as pass through for work that is ultimately performed by large 
businesses.''
    One currently large company supporting SBA's proposal to increase 
the size standard believed that the size standard for ERS should be 
even higher at 1,500 employees. The commenter argued that its size is 
``disadvantaged'' vis a vis both ``mega'' firms and small businesses. 
With mergers and acquisitions driving up the average size of businesses 
in the industry, the definition of a small business should increase as 
well, the commenter concluded. Among the others supporting SBA's 
proposal, one suggested delaying the adoption of the revised size 
standard by 12 months to allow companies to plan and prepare to compete 
with larger companies. Another suggested adding nuclear remediation 
services to the ERS definition because remediation of nuclear materials 
is a significant part of Federal ERS contracts, while another 
recommended including regulatory compliance.

SBA's Response

    SBA is not adopting 1,500 employees as the size standard for ERS as 
suggested by one of the commenters for several reasons. First, besides 
consolidation in the ERS, the commenter did not provide specific data 
or analysis supporting the suggested 1,500-employee size standard. 
Second, the industry and Federal procurement data SBA analyzed in the 
proposed rule and in this final rule does not support a 1,500-employee 
size standard for ERS. Third, SBA is concerned that a 1,500-employee 
size standard would put many small ERS firms at a significant 
competitive disadvantage in competing for Federal opportunities. SBA 
does not agree with the suggestion from another commenter to delay the 
adoption of the revised size

[[Page 4456]]

standard for ERS by 12 months. The revised size standard that SBA 
adopts in the final rule becomes effective after 30 days from the date 
of publication of the final rule in the Federal Register. Delaying the 
effective date would hurt other businesses that would benefit from the 
timely adoption of a revised size standard. Some commenters suggested 
that nuclear remediation and regulatory compliance be included under 
the ERS definition. SBA believes that nuclear remediation is already 
covered under ``containment, remedial action, and removal and storage 
of contaminated materials'' of the current definition. Similarly, the 
term ``regulatory compliance'' is very broad to include under the ERS 
definition. Thus, SBA is not adopting these changes.

Comments Opposing SBA's Proposal To Increase the ERS Size Standard to 
1,250 Employees

    Commenters that were opposed to the proposed increase of the ERS 
size standard to 1,250 employees provided several reasons to support 
their positions. First, the commenters contended that the current ERS 
market is competitively fair under the 500-employee size standard, 
which was SBA's goal when it established the ERS exception and the 500-
employee size standard in 1994. They argued that there is no need for 
an increase to the size standard for ERS because agencies already have 
a sufficiently large and robust pool of highly qualified and 
experienced small businesses with the capacity, capability, and reach 
to meet their environmental remediation requirements. The commenters 
stated that this is proven by the successful performance of partial and 
total small business set-asides under various multiple award task order 
contracts (MATOCs) and single award task order contracts (SATOCs) under 
the ERS exception. They added that most ERS contracts rarely require 
resources of a company with more than 500 employees. Some stated that 
Federal clients are not adversely affected by the existing 500-employee 
size standard. The commenters noted that, during 2009-2013, 37-39 
percent of ERS dollar awards were made to small businesses, as compared 
to the Federal government's small business contracting goal of 23 
percent. They stated that it is rare that an agency receives less than 
a dozen bids on contracting opportunities set aside for small 
businesses. One commenter stated that the 500-employee size standard 
has worked well for all these years and it provides robust competition 
and significant cost savings to the government. The commenters also 
maintained that the majority of small businesses are below 250 
employees, suggesting that they have plenty of room to grow under the 
current size standard. Some explained that businesses with 500 or fewer 
employees represent 77 percent of total firms registered in the System 
for Award Management (SAM) under NAICS 562910. They added that up to 90 
percent of the industry would qualify as small under the proposed size 
standard.
    Second, the commenters argued that the environmental remediation 
services industry is in decline and that present and future 
requirements do not support the proposed increase to the ERS size 
standard. They alleged that SBA failed to consider this factor when 
proposing the increase. They stated that most sites identified in 
earlier decades have already been remediated or restored and fewer new 
sites are being designated. For example, as the commenters stated, of 
the more than 38,000 sites under DoD's restoration programs more than 
29,000 are now in monitoring status or complete. The commenters added 
that Federal government spending on ERS work is down 42 percent in the 
last five years, and the average sizes of ERS contracts have decreased 
as well. They argued that to raise the size standard for an industry 
that is declining runs counter to the reality of the market. One 
commenter argued that expansion of the size standard when the Federal 
market is declining would harm those firms that have dedicated 
resources to support the Federal government as small businesses.
    Third, a number of commenters expressed several concerns with SBA's 
analysis and the data it used in the proposed rule. The commenters 
contended that, by including very big and highly diversified firms for 
which ERS is not a major source of revenue, SBA's analysis inflated the 
average size, four-firm concentration and Gini coefficient of firms in 
this industry, and in turn inflated the size standard. Referring to the 
data on the top 200 environmental companies from Engineering News-
Record (http://enr.construction.com), several commenters argued that 
most of the large businesses receiving contracts under NAICS 562910 
have only a minor percentage of their employees participating in ERS 
work. Others argued that SBA evaluated all firms in NAICS 562910, 
instead of a subset of firms that are primarily engaged in the ERS 
activity. As a result, they argued, comparisons with anchor industry 
groups are unfair and not statistically valid. They recommended that 
SBA should either use the data on the number of employees associated 
with the ERS activity only or data on firms for which ERS is their 
primary industry. The Economic Census, SAM and FPDS-NG data do not 
depict an accurate picture of the ERS industry as they do not 
differentiate between small ERS firms and larger, more diverse firms, 
they added. One commenter noted that FPDS-NG may not capture the 
sufficient picture of the ERS industry, because it does not reflect 
subcontracting dollars. Some commenters suggested that SBA should use 
alternative data, such as market research and ``sources sought'' data 
from Department of Defense (DoD), Department of Energy (DoE), and 
Environmental Protection Agency (EPA).
    One commenter attributed the high Gini coefficient value to 
limiting the analysis to two PSCs that SBA used in defining ERS 
contracts and to including the contract awards data under the American 
Recovery and Reinvestment Act of 2009 (ARRA). The commenter noted that 
the two PSCs SBA selected represented only 38 percent of dollar awards 
during 2009-2011, while the government used 716 PSCs under NAICS 562910 
in 2009-2013. The commenter stated that 21 percent of contract dollars 
in ERS for 2009-2011 were awarded under ARRA, of which 24 percent were 
awarded to small businesses compared to 57 percent of non-ARRA awards. 
The commenter suggested excluding ARRA funds from the analysis and 
increasing the weight of the Federal contract factor five to ten times. 
In view of the sensitivity of the average firm size to size and number 
of firms, some commenters suggested using the median firm size instead 
of the average.
    Fourth, many commenters expressed concerns that the proposed 1,250-
employee size standard would allow more successful mid-sized and large 
businesses with significant financial capacity and resources to 
dominate the ERS small business market, thereby rendering the majority 
of businesses with fewer than 500 employees unable to compete for 
Federal opportunities. They added this would cause irreparable damage 
to existing and emerging small businesses that need SBA's support the 
most. They noted that this would be contrary to SBA's mission to aid, 
counsel, assist and protect small business interests. The higher size 
standard would mainly promote the interests of a very few larger, well-
established businesses above 500 employees at the expense of many small 
businesses under 500 employees, the commenters added. One commenter

[[Page 4457]]

argued that increasing the size standard would decrease small business 
participation because this would discourage small businesses from 
competing for small business contracts as the market would be crowded 
with significantly larger players. A few commenters maintained that 
small businesses are already faced with difficulty in competing against 
companies with 500 employees, and if the size standard is increased to 
1,250 employees they would go out of business. Some commenters noted 
that the higher size standard would not change the dominance of very 
large companies on unrestricted competitions, but, by increasing the 
number of small businesses, it would increase competition for set-
asides. Some believed that with a larger pool of small businesses under 
the higher size standard more contracts would be set aside with no 
subcontracting requirements, thereby reducing subcontracting 
opportunities for some small businesses. Small businesses, according to 
some commenters, are reluctant to bid on unrestricted contracts, 
because those contracts are usually too large to take on without a 
large business partner. Raising the size standard would allow large 
businesses to compete on their own without the need for small business 
partners, they argued.

SBA's Response

    With respect to commenters' concerns with including diversified 
firms in the analysis, SBA believes that, because by definition ERS 
procurements are composed of activities in three or more separate 
industries with separate NAICS codes, companies involved in ERS work 
are likely to be diversified. The FPDS-NG data depicts that companies 
receiving ERS contracts under NAICS 562910 have also received contracts 
under other NAICS codes. Accordingly, focusing on the data on firms 
that are primarily engaged in one of those activities may not provide 
an accurate and complete picture of the ERS sub-industry. Additionally, 
there really does not exist any data source for firms that are 
primarily engaged in ERS work. For example, as explained in the 
proposed rule, the Economic Census data for NAICS 562910 reflect all 
firms involved in remediation services, but not specifically those in 
the ERS sub-industry. Similarly, as the commenters have noted, SAM and 
FPDS-NG data also do not accurately reflect a company's primary 
industry. While many commenters expressed concerns with the Economic 
Census, SAM, and FPDS-NG data for evaluating the ERS sub-industry, the 
majority of them suggested no alternative data sources. A few suggested 
using the market research and sources sought data from Federal 
agencies. SBA is not aware that such data is stored or available, nor 
is it necessarily complete, since each contracting officer may conduct 
market research in a different way, and firms respond to sources sought 
notices in different ways, or sometimes not at all based on various 
factors.
    While SBA agrees with the commenters that the presence of large 
firms would affect the magnitude of industry factors and supported size 
standards, it disagrees with their argument that large firms should be 
excluded from the analysis if ERS is not their primary activity. Even 
if ERS is not their primary activity in terms of its contribution to 
their total revenue or employment, large firms can have significant 
competitive advantage in the market over their smaller counterparts. 
For example, a 10,000-employee company, even if only 2.5 percent of its 
workforce (or 250 employees) is engaged in the ERS activity, would have 
a significant competitive edge over a 500-employee company that only 
performs ERS work, due to its considerable resources and economies of 
scale. However, in response to the comments, in this final rule SBA has 
updated its analysis of industry and Federal contracting factors for 
the ERS sub-industry by using more recent data for fiscal years 2012-
2014 and by excluding the largest firms for which ERS work was not a 
significant source of their Federal revenues. This also addresses 
concerns from some commenters that the 2009-2011 data SBA used in the 
proposed rule were influenced by ARRA funds and the results in the 
proposed rule were not comparable to the Economic Census.
    SBA also disagrees with the commenters' suggestion that SBA should 
only consider the number of employees associated with the ERS activity 
when a company operates in multiple NAICS codes. For size standards 
purposes, SBA defines business size in terms of total employees or 
receipts for the overall company, not based on employees or receipts 
associated with individual NAICS codes. Additionally, none of the data 
sources SBA considers in its size standards analysis (such as Economic 
Census, SAM, and FPDS-NG) would provide employees or receipts broken 
down by NAICS code or type of work performed.
    The argument by some commenters that the SBA's analysis focused on 
all firms in NAICS 562910 is not correct. As explained in the proposed 
rule, SBA analyzed only about 700 firms receiving Federal contracts for 
environmental remediation services during fiscal years 2009-2011, as 
compared to more than 3,000 firms in NAICS 562910 from the 2007 
Economic Census, nearly 9,300 firms registered in SAM (as of March 
2015), and about 1,700-1,800 firms receiving Federal contracts during 
fiscal years 2012-2014 under that NAICS code. On the other hand, 
analyses from other commenters applied to total NAICS 562910, instead 
of the ERS sub-industry. For example, some noted that 77 percent of 
firms in NAICS 562910 are below 500 employees and that would increase 
to 90 percent if the size standard is increased to 1,250 employees. For 
the majority of industries, the current size standards cover 90-95 
percent of firms. Thus, even if the 1,250-employee size standard would 
include 90 percent firms within the ERS sub-industry, that would not be 
inconsistent with most other industries. One commenter argued that the 
two PSCs SBA used to identify the ERS contracts accounted for only 38 
percent of awards in NAICS 562910, but did not specify what other PSCs 
SBA should consider in identifying the ERS contracts. SBA agrees that 
there exist a large number of other PSCs associated with contracts 
under NAICS 562910, but it should be noted that they all do not apply 
to ERS contracts. The FPDS-NG data for fiscal years 2012-2014 show 432 
PSCs under NAICS 562910, significantly fewer than 716 PSCs suggested by 
the commenter. SBA selected the two PSCs based on its thorough review 
of contract awards data on FPDS-NG.
    In response to comments that the Federal ERS market has been in 
decline, SBA examined Federal contracting trends under NAICS 562910 for 
fiscal years 2001-2014 using the data from FPDS-NG. Total contract 
dollars for overall NAICS 562910 showed continuous growth from a little 
above $1.0 billion in 2001, peaking at a little over $7.0 billion in 
2009 in conjunction with the ARRA. Since then annual contract dollars 
for NAICS 562910 have remained at about the same level as that for 
several pre-ARRA years. Similarly, total dollar awards under the two 
PSCs (i.e., F108 and F999) that SBA used to identify ERS contracts also 
showed a similar trend. That is, total dollars under ERS contracts also 
showed continuous growth, increasing from nearly $0.64 billion in 2001 
to nearly $2.0 billion in 2009. ERS contract dollars declined during 
fiscal years 2010-2011, but bounced back averaging

[[Page 4458]]

a little over $2.0 billion during fiscal years 2012-2014. Although the 
growth in Federal ERS market has slowed and seen some ups and downs in 
recent years, these trends do not necessarily support the argument that 
the ERS industry is shrinking.

Comments Supporting SBA's Proposed Size Standards in General

    An association representing small business investment companies 
(SBICs) applauded SBA's effort to review and increase size standards 
for the 30 industries covered by the proposed rule. The association 
also supported SBA's approach to maintaining the current size standards 
for 24 industries. Specifically, it supported the proposed increases to 
size standards in the Mining, Freight Transportation and Publishing and 
Technology Sectors because SBICs have substantial investments in those 
sectors. The association noted that proposed size standards increases 
will expand investment opportunities for SBICs and promote job creation 
and suggested that SBA should review and update size standards on a 
regular basis.

Comments Opposing SBA's Proposed Size Standards in General

    One commenter opposed SBA's proposed increases to size standards. 
The commenter argued that instead of focusing on the 98 percent of 
businesses that are truly small businesses, SBA is focusing on the 2 
percent of the largest corporations and classifying them as small 
businesses so that they can take business and loans away from truly 
small businesses. The commenter added that SBA's small business 
definitions are much larger than those used by other countries (such as 
Australia and European Union) and by the U.S Congress, for example, for 
the Affordable Health Care Act. The commenter further stated that since 
2008, SBA, by expanding small business definitions, has allowed more 
than 74,000 larger corporations to be classified as small. The 
commenter claimed that the average size of SBA's loan increased from 
$185,000 in 2008 to $534,000 in 2013, while the share of loans under 
$100,000, which the commenter claimed generally go to truly small 
businesses, decreased from 24 percent to 9 percent. The commenter used 
these statistics to conclude that the expansion of small business size 
definitions has excluded truly small businesses from SBA's loans 
programs. Lastly, the commenter claimed that large corporations that 
qualify as small under the expanded definition of small businesses will 
take away government contracts from truly small businesses that SBA is 
supposed to be supporting.

SBA's Response

    SBA acknowledges that some of its proposed size standards could 
include as much as 97 percent to 99 percent of firms in a given 
industry. However, it is very important to point out that while it may 
appear to be a large segment of an industry in terms of the percentage 
of firms, small firms in those industries represent only about a third 
of total industry receipts.
    What constitutes a small business in other countries does not apply 
and has no relevance to SBA's small business definitions and U.S. 
Government programs that use them. Depending on their economic and 
political realities, other countries have their own programs and 
priorities that can be very different from those in the U.S. 
Accordingly, small business definitions other countries use for their 
government programs can be vastly different from those established by 
SBA for U.S. Government programs. From time to time, the U.S. Congress 
has used different thresholds, sometimes below the SBA's thresholds, to 
define small firms under certain laws or programs, but those thresholds 
apply only to those laws and programs and generally are of no relevance 
to SBA's size standards. SBA establishes size standards, in accordance 
with the Small Business Act, for purposes of establishing eligibility 
for Federal small business procurement and financial assistance 
programs. The primary statutory definition of a small business is that 
the firm is not dominant in its field of operation. Accordingly, rather 
than representing the smallest size within an industry, SBA's size 
standards generally designate the largest size that a business concern 
can be relative to other businesses in the industry and still qualify 
as small for Federal government programs that provide benefits to small 
businesses.
    The commenter's figures on average loan size for 2008 and 2013 are 
not correct. Based on numbers and amounts of loans issued under SBA's 
7(a) and CDC/504 loan programs, the average loan size increased from 
about $230,500 in 2008 to about $426,900 in 2013, rather than from 
$185,000 to $534,000 as claimed by the commenter.
    SBA does not agree that increases in average loan amounts and 
decreases in smaller loans are solely due to the increases in size 
standards for two reasons. First, with the passage of the Jobs Act in 
2010, Congress increased the limits for SBA's 7(a) loans from $2 
million to $5 million, for CDC/504 loans from $1.5 million to $5.5 
million, and for SBA Express loans made during the one year period 
following the Jobs Act from $350,000 to $1 million. Second, at the same 
time, Congress also increased the tangible net worth and net income 
limits of the alternative size standard from $8.5 million and $3 
million to $15 million and $5 million, respectively. Under the 
alternative size standard, businesses that are above their industry 
size standards can qualify for SBA's loans. These statutory changes are 
important factors behind the increase in the average size of an SBA 
loan. However, such changes do not necessarily mean that truly small 
businesses are getting fewer loans now than in 2008. In fact, 
businesses with less than 10 employees received a total of $12.1 
billion in loans through SBA's 7(a) and 504 programs in 2014, as 
compared to $10.6 billion in 2008. That was an increase of more than 14 
percent.
    With respect to the claim that large corporations that qualify as 
small under the expanded definition of small businesses will take away 
government contracts from truly small businesses, the commenter did not 
provide any supporting data.

Analyses and Conclusions

ITVAR Industry Analysis

    In the 2003 final rule, SBA used a hybrid approach to create and 
evaluate the ITVAR exception. Specifically, based on the assumption 
that ITVARs operate in NAICS Industry Group 5415 (Computer System 
Design and Related Services) and in NAICS 423430 (Computer and Computer 
Peripheral Equipment and Software Merchant Wholesalers), SBA used the 
1997 Economic Census data and combined part of NAICS Industry Group 
5415 with part of NAICS 423430 and defined the result as the ITVAR 
industry and used it as the basis to establish the characteristics of 
ITVAR firms. As discussed elsewhere in this final rule, SBA now finds 
several problems with that approach. First, there is no need to create 
the ITVAR industry in that manner because, based on their primary 
activity of selling computer hardware and software, ITVARs are included 
in NAICS 423430. Accordingly, SBA now believes the industry data for 
NAICS 423430 alone would provide a more accurate description of ITVAR 
firms than the hybrid approach, especially given significant 
differences in economic structure between firms in NAICS Industry Group 
5415 and ITVAR firms, as suggested by the Economic Census data and also 
confirmed by

[[Page 4459]]

many commenters. Second, in combining the two industry categories, the 
sale of computer hardware and software segment of NAICS 423430 was 
excluded even if that segment accounted for more than 80 percent of 
total receipts of that industry. Many commenters also argued that the 
sales of computer hardware and software account for the majority of 
receipts of ITVAR firms. SBA has determined that had the computer 
hardware and software segment been included, the analysis would have 
supported the same 500-employee nonmanufacturer size standard for ITVAR 
firms as well. Third, by construction, the ITVAR exception applies to 
procurements that are predominantly supply contracts, yet the 2003 
final rule included it as an exception to NAICS 541519, which is a 
services NAICS code. For these reasons, in this final rule, SBA is not 
adopting the 2003 hybrid approach although some commenters suggested 
using the same approach to evaluate the ITVAR exception and its 150-
employee size standard.
    SBA's analysis in this final rule is based on the premise that 
ITVARs are basically wholesalers and supply computer hardware and 
software as nonmanufacturers and that all firms in Wholesale Trade 
(NAICS Sector 42) share the same 500-employee size standard for 
purposes of Federal procurement of supplies under the NMR. Thus, any 
size standard exception to the ITVARs, if warranted, should be 
addressed within the context of the NMR.
    In response to the comments and reevaluation of all available 
industry and Federal procurement data relating to the ITVAR exception, 
SBA analyzed economic characteristics of ITVAR firms and their size 
standard using two data sources. The first is the 2007 Economic Census 
data (the latest available) for NAICS Sector 42, including NAICS 
423430. Second is the FPDS-NG and small business goaling data on firms 
receiving contracts under the ITVAR exception to NAICS 541519 during 
fiscal years 2012-2014. SBA also looked at the data from USASpending 
(www.usaspending.gov), but business size information of some 
contractors was found to be outdated. Therefore, for Federal 
procurement data SBA relied on FPDS-NG and small business goaling data, 
and relied on SAM for business size data.
    As stated in the proposed rule, the Economic Census industry data 
are limited to the 6-digit NAICS codes and do not provide economic 
characteristics for the exception. As explained above and also noted in 
the 2003 final rule, based on their primary activity, ITVARs are 
classified under NAICS 423430 in Wholesale Trade Sector (NAICS Sector 
42). Given that ITVARs are part of one of the industries in Wholesale 
Trade and that the current size standard for Federal procurement of 
supplies for all firms in the Wholesale Trade sector is 500 employees 
under the NMR, SBA believes it is pertinent to examine the 
characteristics of ITVAR firms relative to those for other industries 
in the sector to determine if a different size standard is appropriate 
for ITVAR firms. For this, using the 2007 Economic Census data, SBA 
ranked all industries in NAICS Sector 42 based on each industry factor 
and placed them in one of the five ranked quintiles (i.e., less than 
the 20th percentile, the 20th to less than the 40th percentile, the 
40th to less than the 60th percentile, the 60th to less than the 80th 
percentile, and the 80th or higher percentile). The quintile ranges of 
values for each industry factor are shown in Table 1, ``Values of 
Industry Factors for NAICS Sector 42 by Quintile.'' The second row from 
the bottom shows the values for firms in NAICS 423430, while values for 
industry factors for NAICS 541519 are in the last row for comparison.

                                                               Table 1--Values of Industry Factors for NAICS Sector 42 by Quintile
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                          Weighted average firm
            Quintile                   Percentile  (%)        Simple average firm size       size  (number of         Average assets size     Average number employees      Gini coefficient
                                                               (number of  employees)           employees)                 ($million)           of largest four firms
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
1st quintile....................  <20%.....................  <13.5....................  <78.0....................  <2.8.....................  <700.0..................  <0.680
2nd quintile....................  20% to <40%..............  13.5 to <17.0............  78.0 to <141.0...........  2.8 to <4.5..............  700.0 to <1,096.3.......  0.680 to <0.731
3rd quintile....................  40% to <60%..............  17.0 to <20.8............  141.0 to <202.8..........  4.5 to <6.5..............  1,096.3 to <1,648.8.....  0.731 to <0.786
4th quintile....................  60% to <80%..............  20.8 to <26.0............  202.8 to <448.9..........  6.5 to <8.8..............  1,648.8 to <4,034.3.....  0.786 to <0.844
5th quintile....................  >=80%....................  >=26.0...................  >=448.9..................  >=8.8....................  >=4,034.3...............  >=0.844
------------------------------------------------------------
NAICS Sector 42 (total)....................................  18.7.....................  606......................  5.4......................  7,562...................  0.814
NAICS 423430...............................................  36.0.....................  1,249....................  8.8......................  25,321..................  0.891
NAICS 541519...............................................  10.2.....................  283......................  0.6......................  3,860...................  0.756
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------

    As can be seen from the above table, NAICS 423430 falls in the 
fifth or highest quintile for all industry factors. This means that for 
all factors NAICS 423430 ranked above more than 80 percent of the 
industries in Sector 42. Thus, the data do not support a lower size 
standard for firms in NAICS 423430 than for other industries in the 
sector. In other words, the current 150-employee size standard for 
ITVARs is inconsistent with their characteristics as compared to the 
characteristics of firms in other wholesale trade industries for which 
the size standard for Federal procurement is 500 employees. In the 
proposed rule, published on May 19, 2014 (79 FR 28631), SBA proposed 
retaining the current 500-employee size standard for procurement of 
supplies under the NMR. Additionally, the results also depict that 
firms in NAICS 423430 differ from those in NAICS 541519.
    To determine characteristics of ITVAR firms and the impact of SBA's 
proposal, many commenters recommended that SBA evaluate the data on 
employees and receipts of firms receiving contracts under various GWACs 
(e.g., DHS's FirstSource I/II, Air Force's NETCENTS-2, Army's ITES-3H, 
NASA's SEWP IV/V, and NIH's CIO-CS) which, according to the commenters, 
have used the ITVAR exception and 150-employee size standard. However, 
the review of the FPDS-NG data showed that, of various GWACs suggested 
by the commenters, only DHS's FirstSource I/II and NASA's SEWP IV/V 
used the ITVAR exception and 150-employee size standard. Among others, 
no awards have been made yet under NIH's CIO-CS and Army's ITES-3H. 
Their predecessor programs used

[[Page 4460]]

manufacturing NAICS codes. Specifically, NIH's ECS-3 used NAICS 334111, 
while Army's ITES-2H mostly used NAICS 334111, 334112 and 334119. Air 
Force's NETCENTS-2 used NAICS 334210. Additionally, based on review of 
FPDS-NG data and various GSA supply schedules, SBA found that agencies 
have also procured new computer and networking hardware through GSA's 
Schedule 70 SIN 132-8 using NAICS 541519.
    SBA examines the data from SAM, small business goaling statistics 
and FPDS-NG to evaluate all exceptions and industries that are not 
covered by the Economic Census. Accordingly, using the FPDS-NG and 
small business goaling data, SBA identified 259 unique firms that 
received contracts under DHS's FirstSource I and II, NASA's SEWP IV and 
V, and GSA's Schedule 70 SIN 132-8 using the ITVAR exception to NAICS 
541519 during fiscal years 2012-2014. By program, 37 firms received 
contracts under FirstSource I and II, 174 firms under SEWP IV and V, 
and 111 firms under Schedule 70. These figures add up to more than 259 
firms because some firms received contracts under more than one 
program. SBA obtained latest information on average annual receipts and 
number of employees of those firms from their SAM profiles. Of those 
259 unique firms, SBA excluded some very large manufacturing firms for 
which the ITVAR activity was not a major source of their Federal 
revenues, as well as others with missing or questionable employee and 
revenue information, yielding a total of 231 firms. This group of firms 
still contained quite large firms for which the ITVAR activity did not 
appear to be a major source of their Federal revenues. To prevent such 
large firms from skewing the results and obtain a more representative 
group of ITVAR firms, SBA further excluded 7.5 percent of the largest 
firms based on number of employees and another 5 percent of the largest 
firms based on revenue, resulting in a total of 204 firms. SBA analyzed 
the employee and revenue data on these firms to establish industry 
characteristics of ITVAR firms in terms of average size, industry 
concentration, and distribution by size. Firms that received contracts 
under NASA's SEWP V did not yet have dollars awarded to them. Thus, SBA 
excluded those firms when calculating the Federal contracting factor 
(i.e., the difference between small business share of total industry 
receipts and the similar share of total contracts dollars). SBA derived 
the size standard for each factor using the methodology for employee 
based size standards that the Agency used in the proposed rule. These 
results along with supported size standards by each of those factors 
are provided in Table 2 ``Size Standards Supported by Each Factor for 
Firms Receiving ITVAR Contracts (No. of Employees),'' below. As shown 
in the table, the results support a 500-employee size standard for 
ITVAR firms.
    Many commenters expressed concerns about having to compete with 
larger ITVARs if the ITVAR exception is eliminated and ITVAR contracts 
are reclassified under the manufacturing NAICS codes, thereby 
subjecting them to the 500-employee nonmanufacturer size standard. To 
validate these concerns, SBA analyzed characteristics of firms 
receiving computer hardware and software contracts under NIH's ECS-3, 
NASA's SEWP IV, Army's ITES-2H, and GSA's Schedule 70 SIN 132-8 that 
used the manufacturing codes under Industry Group 3411 (Computer and 
Peripheral Equipment Manufacturing), NAICS 423430 (Computer and 
Computer Peripheral Equipment and Software Merchant Wholesalers), or 
NAICS 443142/443120 (Electronic Stores (NAICS 2012)/Computer and 
Software Stores (NAICS 2007)).

                                                      Table 2--Size Standards Supported by Each Factor for Firms Receiving ITVAR Contracts
                                                                                      [Number of employees]
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
                                (1)                                      (2)           (3)           (4)           (5)           (6)           (7)           (8)           (9)          (10)
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                       Simple       Weighted                                                                           Calculated
                                                                       average       average       Average                    Four-firm                    Federal        size      Current size
                      NAICS Code/GWAC Program                         firm size     firm size    assets size    Four-firm   average size      Gini        contract      standard      standard
                                                                     (number of    (number of    ($million)    ratio  (%)     (number of   coefficient   factor  (%)   (number of    (number of
                                                                     employees)    employees)                               employees) *                               employees)    employees)
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
ITVAR Exception, 541519...........................................            63           298          $9.5          11.3            NA         0.359          23.0           500           150
NASA SEWP IV and V, DHS First Source I and 2, and GSA Schedule 70            500           500           500  ............  ............           500           150  ............  ............
 SIN 132 8........................................................
3341, 423430 and 443142/443120....................................            57           438          $7.1          11.3            NA         0.519           3.2           500           500
NASA SEWP IV, NIH ECS-3, ARMY ITES-2H, and GSA Schedule 70 SIN 132-          500           750           500  ............  ............           500           500  ............  ............
 8................................................................
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
* Size standard for four-firm average size is not calculated as the four-firm ratio is less than 40%.

    Using the FPDS-NG and small business goaling data, SBA identified 
446 unique firms that received contracts during fiscal years 2012-2014 
through those programs using NAICS Industry Group 3411, NAICS 423430, 
and NAICS 443142/443120. After the exclusion of manufacturing firms and 
very large firms for which the sales of computer hardware and software 
was not a major source of their Federal revenue, as well as others with 
missing or questionable employee and revenue information, there 
remained 421 firms. This group of firms still included some large firms 
for which computer hardware and software contracts did not appear to be 
a principal source of their Federal sales. To prevent such large firms 
from biasing the results, SBA further removed 7.5 percent of the 
remaining largest firms based on the number of employees and another 5 
percent based on revenue, yielding a total of 371 firms. Using these 
firms, SBA derived industry factors (e.g., average size, average 
assets, industry concentration, and the Gini coefficient) and Federal 
contracting factor and supported size standards using the ``SBA's Size 
Standards Methodology'' (available at www.sba.gov/size) used in the 
proposed rule. These results are also shown in

[[Page 4461]]

Table 2, ``Size Standards Supported by Each Factor for Firms Receiving 
ITVAR Contracts (No. of Employees), above. The results on individual 
factors and size standards supported by them do not seem to suggest 
that firms receiving computer hardware and software contracts under the 
manufacturing NAICS codes are larger than those receiving similar 
contracts under the ITVAR exception to NAICS 541519. The data from both 
groups of firms support the same 500-employee size standard for ITVARs.
    Thus, based on the characteristics of firms in NAICS 423430 
relative to those for all firms in NAICS Sector 42 and data on firms 
receiving computer hardware and software contracts both under the ITVAR 
exception and manufacturing NAICS codes, the data suggests that the 
size standard for ITVAR firms should be the same as the 500-employee 
nonmanufacturer size standard. However, in view of concerns from most 
commenters that with the elimination of the ITVAR exception small 
ITVARs with fewer than 150 employees would be forced to compete for 
Federal opportunities with large companies up to 500 employees under 
the 500-employee nonmanufacturer size standard, SBA has decided to 
leave the exception under NAICS 541519 with the 150-employee size 
standard.
    As discussed elsewhere in this final rule SBA has determined that 
there is no legal basis to exclude ITVAR contracts, which by definition 
are primarily supply contracts, from the manufacturing performance 
requirements or the NMR. Accordingly, in this final rule, SBA has 
amended Footnote 18 by adding the requirement that the offeror on small 
business set-aside ITVAR contracts must comply with the manufacturing 
performance requirements or the NMR. That means products being supplied 
must be of a small business manufacturer made in the U.S., unless no 
small business manufacturers exist. If an agency determines that no 
small businesses manufacturers can be expected to meet requirements 
under a particular solicitation, they can request a waiver of the NMR, 
as discussed in more detail at 13 CFR 121.406 and 121.1204. This would 
eliminate the current confusion on the applicability of the 
manufacturing performance requirements or the NMR to the ITVAR 
contracts. This would also eliminate inconsistency in the current 
regulations that exempt the ITVAR contracts from the manufacturing 
performance requirements or the NMR, even if by definition they are 
primarily supply contracts.
    The current definition of the ITVAR exception in Footnote 18 also 
provides for eligibility of ITVARs for SBA's financial assistance. For 
firms in NAICS Sectors 42 and 44-45, the applicable size standard for 
SBA's financial assistance is the size standard for their primary 
industry. Accordingly, for SBA's financial assistance, ITVARs will 
qualify under the industry-specific size standard for NAICS 423430, 
which SBA recently increased from 100 employees to 250 employees. 
Because this size standard is higher than the 150-employee ITVAR size 
standard and ITVARs that exceed the 150-employee size standard can 
still qualify for financial assistance under the tangible net worth and 
net income based alternative size standard, SBA does not see the need 
to include the eligibility requirement for SBA's financial assistance 
under the ITVAR exception. SBA's amendments to Footnote 18 to SBA's 
table of size standards also reflect this change.
    Given the above amendment to Footnote 18 to the table of size 
standards that the offeror on small business set-aside ITVAR contracts 
must comply with the manufacturing performance requirements or the NMR, 
SBA is also amending paragraph b(3) under 13 CFR 121.406 to provide 
that the NMR also applies to procurements that have been assigned the 
Information Technology Value Added Resellers (ITVAR) exception to NAICS 
code 541519. Similarly, SBA is also amending paragraph b(4) under 13 
CFR 121.406 to provide that the NMR also applies to the supply 
component of a requirement classified as an ITVAR contract.
    Finally, SBA is also amending introductory text in paragraph b(5) 
under 13 CFR 121.406 to correct a typo in paragraph citation from 
paragraph b(1)(iii) to paragraph b(1)(iv).

ERS Industry Analysis

    In response to the comments, SBA reevaluated the methodology and 
data sources it used in the proposed rule. Specifically, in this final 
rule, SBA has analyzed the data on firms receiving ERS contracts during 
fiscal years 2012-2014 and the 2014 top 200 environmental firms from 
Engineering News-Record (ENR) (http://enr.construction.com/toplists/) 
that some commenters provided. The review of the 2012-2014 Federal 
contracting data confirms that the two PSC codes SBA used in the 
proposed rule to identify ERS contracts were correct. SBA believes that 
this more recent data not only provides a better reflection of the ERS 
market conditions, but also addresses the commenters' concerns for 
including ARRA funds in the 2009-2011 data used in the proposed rule. 
Additionally, in computing the industry and Federal contracting 
factors, SBA excluded the largest environmental firms for which ERS 
contracts did not appear to be a major source of their total revenues.
    Using the FPDS-NG and small business goaling data, SBA identified 
921 unique firms that received ERS contracts during fiscal years 2012-
2014. With the exclusion of known non-environmental firms and those 
with missing or questionable employee and revenue information, there 
remained 882 firms. To prevent very large, diversified firms from 
biasing the results, SBA further excluded 5 percent of the largest 
firms for which ERS activity did not generally appear to be a principal 
source of their total sales. Additionally, using the information on the 
top 200 environmental firms from ENR that the commenters provided, SBA 
excluded five more very large firms for which environmental work 
(including both Federal and non-Federal) accounted for less than 25 
percent of their total revenues. This yielded a total of 833 firms. SBA 
analyzed the employment and revenue data on these firms to obtain 
industry factors (e.g., average size, industry concentration, and the 
Gini coefficient) and the Federal contracting factor and supported size 
standards using the SBA's size standards methodology used in the 
proposed rule. As in the proposed rule, SBA is unable to compute the 
average assets due to the lack of data. The results of this analysis 
are provided in Table 3, ``Size Standards Supported by Each Factor for 
the ERS Sub-industry (No. of Employees),'' below.

[[Page 4462]]



                                                            Table 3--Size Standards Supported by Each Factor for the ERS Sub-Industry
                                                                                      [Number of employees]
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                      Simple         Weighted                                        Four-firm                                      Calculated
                                                                   average firm    average firm       Average        Four-firm     average size        Gini           Federal      size standard
                                                                   size  (number   size  (number    assets size      ratio (%)      (number of      coefficient      contract       (number of
                                                                   of employees)   of employees)    ($ million)                    employees) *                     factor  (%)     employees)
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Factor..........................................................              89             492              NA            38.5              NA           0.749            10.1             750
Size standard...................................................             750           1,000              NA  ..............              NA             500             500  ..............
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
* Size standard for four-firm average size is not calculated as the four-firm ratio is less than 40%.

    Thus, based on the results above, in this final rule, SBA is 
adopting 750 employees as the size standard for the ERS exception under 
NAICS 562910. Based on FPDS-NG and SAM data, about 10-15 additional 
firms will gain small business status under the new 750-employee size 
standard for ERS. SBA believes that this will not have a significant 
impact on small businesses below the current 500-employee size 
standard.

Exceptions Under NAICS 541712, Research and Development in the 
Physical, Engineering, and Life Sciences (Except Biotechnology)

    NAICS 541712, Research and Development in the Physical, 
Engineering, and Life Sciences (except Biotechnology), has three sub-
industries or ``exceptions.'' As stated in Footnote 11 to SBA's table 
of size standards, for research and development (R&D) contracts 
requiring the delivery of a manufactured product, the appropriate size 
standard is that of the corresponding manufacturing industry. To better 
match the exceptions under NAICS 541712 to the corresponding proposed 
industry specific size standards in manufacturing, SBA proposed to 
modify the titles of the three exceptions. The Other Guided Missile and 
Space Vehicle Parts and Auxiliary Equipment category was dropped from 
the third exception because the proposed size standard for the 
corresponding manufacturing industry (NAICS 336419) was the same as the 
proposed size standard for rest of NAICS 541712. In the absence of 
adverse comments, SBA is adopting the modified exceptions as shown in 
Table 4, ``Modified Exceptions to NAICS 541712 and Their Revised Size 
Standards,'' as proposed.

                  Table 4--Modified Exceptions to NAICS 541712 and Their Revised Size Standards
----------------------------------------------------------------------------------------------------------------
                            Current                                                 Proposed
----------------------------------------------------------------------------------------------------------------
                                                 Size standard                                     Size standard
                   Exception                      (number of                Exception               (number of
                                                  employees)                                        employees)
----------------------------------------------------------------------------------------------------------------
Aircraft......................................           1,500  Aircraft, Aircraft Engine, and             1,500
                                                                 Engine Parts.
Aircraft Parts and Auxiliary Equipment, and              1,000  Other Aircraft Parts and                   1,250
 Aircraft Engine Parts.                                          Auxiliary Equipment.
Space Vehicles and Guided Missiles, Their                1,000  Guided Missiles and Space                  1,250
 Propulsion Units Parts, and Their Auxiliary                     Vehicles, Their Propulsion
 Equipment and Parts.                                            Units and Propulsion Parts.
----------------------------------------------------------------------------------------------------------------

    Additionally, to eliminate possible confusion and provide more 
clarity, SBA also proposed to amend Footnote 11 by converting the 
introductory paragraph to a new sub-paragraph (b) and renaming existing 
sub-paragraphs (b) and (c) to sub-paragraphs (c) and (d), respectively. 
SBA is adopting the proposed amendments to Footnote 11 to BA's table of 
size standards.

Offshore Marine Air Transportation Services and Offshore Marine 
Services

    Offshore Marine Air Transportation Services is a sub-industry or 
``exception'' under both NAICS 481211, Nonscheduled Chartered Passenger 
Air Transportation, and NAICS 481212, Nonscheduled Chartered Freight 
Air Transportation. The size standards are 1,500 employees for both 
NAICS codes 481211 and 481212 and $30.5 million in average annual 
receipts for the exception. Similarly, as indicated in Footnote 15 to 
SBA's table of size standards, Offshore Marine Services is an exception 
to all industries under NAICS Subsector 483, Water Transportation, with 
the size standard of $30.5 million in average annual receipts. All 
industries within Subsector 483 currently have a 500-employee size 
standard. SBA did not review the receipts based exceptions when it 
reviewed receipts based size standards in NAICS Sector 48-49, 
Transportation and Warehousing. For the reasons provided in the 
proposed rule, SBA proposed to eliminate both exceptions and their 
$30.5 million receipts based size standard and only apply the 
applicable employee based size standard. As a result, SBA also proposed 
to eliminate Footnote 15 from SBA's table of size standards. Since 
there were no comments against the proposed change, SBA is eliminating 
both exceptions and their receipts based size standard, as proposed. 
This will not affect the eligibility of firms that are small under the 
$30.5 million receipts based size standard because they will continue 
to be eligible under the employee based size standard.

Conclusions

    Based on SBA's analyses of the latest available industry and 
Federal market data and its evaluation of public comments on the 
proposed rule, in this final rule, SBA is adopting all proposed 
changes, with two exceptions. SBA is not adopting its proposed 
elimination of the ITVAR exception to NAICS 541519 or its proposed 
increase to the size standard for ERS exception to NAICS 562910 from 
500 employees to 1,250 employees.
    With regard to the ITVAR exception to NAICS 541519, in response to 
the comments, SBA retains the ITVAR

[[Page 4463]]

exception to NAICS 541519 with the 150-employee size standard. However, 
SBA amends Footnote 18 to SBA's table of size standards by adding the 
requirement that the supply (i.e., computer hardware and software) 
component of small business set-aside ITVAR contracts must comply with 
the manufacturing performance requirements, or comply with the NMR by 
supplying the products of small business concerns, unless SBA has 
issued a class or contract specific waiver of the NMR. With regard to 
the ERS exception under NAICS 562910, based on its analysis of more 
recent data and evaluation of public comments, in this final rule, SBA 
increases the size standard for the ERS exception from 500 employees to 
750 employees, instead of the proposed 1,250 employees. All revisions 
adopted in this final rule are shown in Table 5, ``Summary of Adopted 
Size Standards Revisions,'' below.

                              Table 5--Summary of Adopted Size Standards Revisions
----------------------------------------------------------------------------------------------------------------
                                                                   Current size    Current size    Adopted size
                                                                     standard        standard        standard
           NAICS code                  NAICS industry title        (millions of     (number of      (number of
                                                                     dollars)       employees)      employees)
----------------------------------------------------------------------------------------------------------------
211111..........................  Crude Petroleum and Natural     ..............             500           1,250
                                   Gas Extraction.
211112..........................  Natural Gas Liquid Extraction.  ..............             500             750
212111..........................  Bituminous Coal and Lignite     ..............             500           1,250
                                   Surface Mining.
212112..........................  Bituminous Coal Underground     ..............             500           1,500
                                   Mining.
212113..........................  Anthracite Mining.............  ..............             500             250
212210..........................  Iron Ore Mining...............  ..............             500             750
212221..........................  Gold Ore Mining...............  ..............             500           1,500
212222..........................  Silver Ore Mining.............  ..............             500             250
212231..........................  Lead Ore and Zinc Ore Mining..  ..............             500             750
212234..........................  Copper Ore and Nickel Ore       ..............             500           1,500
                                   Mining.
212291..........................  Uranium-Radium-Vanadium Ore     ..............             500             250
                                   Mining.
212299..........................  All Other Metal Ore Mining....  ..............             500             750
212312..........................  Crushed and Broken Limestone    ..............             500             750
                                   Mining and Quarrying.
212313..........................  Crushed and Broken Granite      ..............             500             750
                                   Mining and Quarrying.
212324..........................  Kaolin and Ball Clay Mining...  ..............             500             750
212391..........................  Potash, Soda, and Borate        ..............             500             750
                                   Mineral Mining.
212392..........................  Phosphate Rock Mining.........  ..............             500           1,000
213111..........................  Drilling Oil and Gas Wells....  ..............             500           1,000
221210..........................  Natural Gas Distribution......  ..............             500           1,000
481211..........................  Offshore Marine Air                      $30.5  ..............       Eliminate
Except,.........................   Transportation Services.
481212..........................  Offshore Marine Air                       30.5  ..............       Eliminate
Except,.........................   Transportation Services.
482112..........................  Short Line Railroads..........  ..............             500           1,500
483112..........................  Deep Sea Passenger              ..............             500           1,500
                                   Transportation.
483113..........................  Coastal and Great Lakes         ..............             500             750
                                   Freight Transportation.
483211..........................  Inland Water Freight            ..............             500             750
                                   Transportation.
511110..........................  Newspaper Publishers..........  ..............             500           1,000
511120..........................  Periodical Publishers.........  ..............             500           1,000
511130..........................  Book Publishers...............  ..............             500           1,000
511140..........................  Directory and Mailing List      ..............             500           1,250
                                   Publishers.
511191..........................  Greeting Card Publishers......  ..............             500           1,500
512220..........................  Integrated Record Production/   ..............             750           1,250
                                   Distribution.
512230..........................  Music Publishers..............  ..............             500             750
519130..........................  Internet Publishing and         ..............             500           1,000
                                   Broadcasting and Web Search
                                   Portals.
541711..........................  Research and Development in     ..............             500           1,000
                                   Biotechnology\11\.
541712..........................  Research and Development in     ..............             500           1,000
                                   the Physical, Engineering,
                                   and Life Sciences (except
                                   Biotechnology)\11\.
Except,.........................  Aircraft Engine and Engine      ..............           1,000           1,500
                                   Parts.
Except,.........................  Other Aircraft Parts and        ..............           1,000           1,250
                                   Auxiliary Equipment.
Except,.........................  Guided Missiles and Space       ..............           1,000           1,250
                                   Vehicles, Their Propulsion
                                   Units and Propulsion Parts.
562910..........................  Environmental Remediation       ..............             500             750
Except,.........................   Services.
----------------------------------------------------------------------------------------------------------------

Evaluation of Dominance in Field of Operation

    SBA has determined that for the industries for which it is revising 
size standards in this final rule, no individual firm at or below the 
revised size standard will dominate its field of operation. Among the 
industries for which the size standards are revised in this rule, the 
small business share of total industry receipts is, on average, 3.4 
percent, with an interval showing a minimum of less than 0.01 percent 
to a maximum of 20.0 percent. These market shares effectively preclude 
a firm at or below the proposed size standards from exerting control 
over any of the industries.

Compliance With Executive Orders 12866, 13563, 12988 and 13132, the 
Paperwork Reduction Act (44 U.S.C. Ch. 35) and the Regulatory 
Flexibility Act (5 U.S.C. 601-612). Executive Order 12866

    The Office of Management and Budget (OMB) has determined that this 
final rule is a significant regulatory action for purposes of Executive 
Order 12866. Accordingly, in the next section, SBA

[[Page 4464]]

provides a Regulatory Impact Analysis of this rule. However, this rule 
is not a ``major rule'' under the Congressional Review Act, 5 U.S.C. 
800.

Regulatory Impact Analysis

1. Is there a need for the regulatory action?
    SBA believes that the size standards adopted in this rule better 
reflect the economic characteristics of small businesses in the 
affected industries and the Federal government marketplace. SBA's 
mission is to aid and assist small businesses through a variety of 
financial, procurement, business development, and advocacy programs. To 
determine the intended beneficiaries of these programs, SBA establishes 
distinct definitions of which businesses are deemed small businesses. 
The Small Business Act (15 U.S.C. 632(a)) delegates to SBA's 
Administrator the responsibility for establishing small business 
definitions. The Act also requires that small business definitions vary 
to reflect industry differences. The Jobs Act also requires SBA to 
review all size standards and to make whatever adjustments are 
necessary to reflect market conditions. The supplementary information 
section of this rule explains SBA's methodology for analyzing a size 
standard for a particular industry.
2. What are the potential benefits and costs of this regulatory action?
    The most significant benefit to businesses becoming small because 
of this rule is gaining or retaining eligibility for Federal small 
business assistance programs. These include SBA's financial assistance 
programs, economic injury disaster loans, and Federal procurement 
programs intended for small businesses. Federal procurement programs 
provide targeted opportunities for small businesses under SBA's 
business development programs, such as 8(a), Small Disadvantaged 
Businesses (SDB), small businesses located in Historically 
Underutilized Business Zones (HUBZone), women-owned small businesses 
(WOSB), economically disadvantaged women-owned small businesses 
(EDWOSB), and service-disabled veteran-owned small businesses (SDVOSB). 
Federal agencies may also use SBA's size standards for a variety of 
other regulatory and program purposes. These programs assist small 
businesses to become more knowledgeable, stable, and competitive. SBA 
estimates that in 30 industries and three sub-industries 
(``exceptions'') for which it has increased size standards in this 
rule, more than 370 firms, not small under the existing size standards, 
will become small under the revised size standards and eligible for 
these programs. That is about 0.5 percent of all firms classified as 
small under the current size standards in all industries and sub-
industries reviewed in this rule. This should increase the small 
business share of total receipts in those industries from 18.3 percent 
to 21.3 percent. In the three industries for which reduced size 
standards apply, only the one or two largest firms will be impacted in 
each of them.
    Three groups will benefit from the size standards revisions in this 
rule: (1) Some businesses that are above the current size standards may 
gain small business status under the higher size standards, thus 
enabling them to participate in Federal small business assistance 
programs; (2) growing small businesses that are close to exceeding the 
current size standards may retain their small business status under the 
higher size standards, thereby enabling them to continue their 
participation in the programs; and (3) Federal agencies will have a 
larger pool of small businesses from which to draw for their small 
business procurement programs.
    SBA estimates that, based on Federal contracting data for fiscal 
years 2012-2014, firms gaining small business status under the revised 
size standards might receive Federal contracts totaling $85 million to 
$95 million annually under SBA's small business, 8(a), SDB, HUBZone, 
WOSB, EDWOSB, and SDVOSB Programs, and other unrestricted procurements. 
The added competition for many of these procurements may also result in 
lower prices to the Government for procurements reserved for small 
businesses, but SBA cannot quantify this benefit.
    Under SBA's 7(a) and 504 Loan Programs, based on the fiscal years 
2012-2014 data, SBA estimates up to about five SBA 7(a) and 504 loans 
totaling about $2.0 million might be made to these newly defined small 
businesses under the revised size standards. Increasing the size 
standards will likely result in more small business guaranteed loans to 
businesses in these industries, but it is impractical to try to 
estimate exactly the number and total amount of loans. There are two 
reasons for this: (1) Under the Jobs Act, SBA can now guarantee 
substantially larger loans than in the past; and (2) as described 
above, the Jobs Act established a higher alternative size standard ($15 
million in tangible net worth and $5 million in net income after income 
taxes) for business concerns that do not meet the size standards for 
their industry. Therefore, SBA finds it difficult to quantify the 
actual impact of the revised size standards on its 7(a) and 504 Loan 
Programs.
    Newly defined small businesses will also benefit from SBA's 
Economic Injury Disaster Loan (EIDL) Program. Since this program is 
contingent on the occurrence and severity of a disaster in the future, 
SBA cannot make a meaningful estimate of this impact.
    In addition, newly defined small businesses will also benefit 
through reduced fees, less paperwork, and fewer compliance requirements 
that are available to small businesses throughout the Federal 
government.
    To the extent that those 375 newly defined additional small firms 
could become active in Federal procurement programs, the revisions to 
size standards may entail some additional administrative costs to the 
government as a result of more businesses being eligible for Federal 
small business programs. For example, there will be more firms seeking 
SBA's guaranteed loans, more firms eligible for enrollment in the 
System of Award Management (SAM) database, and more firms seeking 
certification as 8(a) or HUBZone firms or qualifying for small 
business, WOSB, EDWOSB, SDVOSB, and SDB status. Among those newly 
defined small businesses seeking SBA's assistance, there could be some 
additional costs associated with compliance and verification of small 
business status and protests of small business or other status. 
However, SBA believes that these added administrative costs will be 
minimal because mechanisms are already in place to handle these 
requirements.
    Additionally, in some cases, Federal government contracts may have 
higher costs. With a greater number of businesses defined as small, 
Federal agencies may choose to set aside more contracts for competition 
among small businesses only rather than using full and open 
competition. The movement from unrestricted to small business set-aside 
contracting might result in competition among fewer total bidders, 
although there will be more small businesses eligible to submit offers. 
However, the additional costs associated with fewer bidders are 
expected to be minor since, by law, procurements may be set aside for 
small businesses or reserved for the 8(a), HUBZone, WOSB, EDWOSB, or 
SDVOSB Programs only if awards are expected to be made at fair and 
reasonable prices. In addition, there may be higher costs when more 
full and open contracts are awarded to HUBZone businesses that receive 
price evaluation preferences.

[[Page 4465]]

    The new size standards may have some distributional effects among 
large and small businesses. Although SBA cannot estimate with certainty 
the actual outcome of the gains and losses among small and large 
businesses, it can identify several probable impacts. There may be a 
transfer of some Federal contracts from large businesses to newly 
eligible small businesses. Large businesses may have fewer Federal 
contract opportunities as Federal agencies decide to set aside more 
contracts for small businesses. In addition, some Federal contracts may 
be awarded to HUBZone businesses instead of large businesses since 
these firms may be eligible for a price evaluation preference for 
contracts when they compete on a full and open basis.
    Similarly, some businesses defined small under the previous size 
standards may receive fewer Federal contracts due to increased 
competition from more businesses defined as small under the revised 
size standards. This transfer may be offset by a greater number of 
Federal procurements set aside for all small businesses. The number of 
newly defined and expanding small businesses that are willing and able 
to sell to the Federal government will limit the potential transfer of 
contracts from large and small businesses under the current size 
standards. SBA cannot estimate the potential distributional impacts of 
these transfers with any degree of precision.
    The revisions to the employee based size standards for these 33 
industries and three sub-industries are consistent with SBA's statutory 
mandate to assist small business. This regulatory action promotes the 
Administration's objectives. One of SBA's goals in support of the 
Administration's objectives is to help individual small businesses 
succeed through fair and equitable access to capital and credit, 
Government contracts, and management and technical assistance. 
Reviewing and modifying size standards, when appropriate, ensures that 
intended beneficiaries have access to small business programs designed 
to assist them.

Executive Order 13563

    Descriptions of the need for this regulatory action and benefits 
and costs associated with this action including possible distributional 
impacts that relate to Executive Order 13563 are included in the 
Regulatory Impact Analysis under Executive Order 12866, above.
    In an effort to engage interested parties in this action, SBA 
presented its size standards methodology (discussed above under 
Supplementary Information) to various industry associations and trade 
groups. SBA also met with a number of industry groups and individual 
businesses to get their feedback on its methodology and other size 
standards issues. In addition, SBA presented its size standards 
methodology to businesses in 13 cities in the U.S. and sought their 
input as part of the Jobs Act tour. The presentation also included 
information on the latest status of the comprehensive size standards 
review and on how interested parties can provide SBA with input and 
feedback on its size standards review.
    Additionally, SBA sent letters to the Directors of the Offices of 
Small and Disadvantaged Business Utilization (OSDBU) at several Federal 
agencies with considerable procurement responsibilities requesting 
their feedback on how the agencies use SBA's size standards and whether 
current size standards meet their programmatic needs (both procurement 
and non-procurement). SBA gave appropriate consideration to all input, 
suggestions, recommendations, and relevant information obtained from 
industry groups, individual businesses, and Federal agencies in 
preparing this rule.
    The review of size standards in industries and sub-industries 
covered in this rule is consistent with Executive Order 13563, Section 
6, calling for retrospective analyses of existing rules. The last 
comprehensive review of size standards occurred during the late 1970s 
and early 1980s. Since then, except for periodic adjustments for 
monetary based size standards, most reviews of size standards were 
limited to a few specific industries in response to requests from the 
public and Federal agencies. The majority of employee based size 
standards have not been reviewed since they were first established. SBA 
recognizes that changes in industry structure and the Federal 
marketplace over time have rendered existing size standards for some 
industries no longer supportable by current data. Accordingly, in 2007, 
SBA began a comprehensive review of its size standards to ensure that 
existing size standards have supportable bases and to revise them when 
necessary. In addition, the Jobs Act requires SBA to conduct a detailed 
review of all size standards and to make appropriate adjustments to 
reflect market conditions. Specifically, the Jobs Act requires SBA to 
conduct a detailed review of at least one-third of all size standards 
during every 18-month period from the date of its enactment and do a 
complete review of all size standards not less frequently than once 
every 5 years thereafter.

Executive Order 12988

    This action meets applicable standards set forth in Sections 3(a) 
and 3(b)(2) of Executive Order 12988, Civil Justice Reform, to minimize 
litigation, eliminate ambiguity, and reduce burden. The action does not 
have retroactive or preemptive effect.

Executive Order 13132

    For purposes of Executive Order 13132, SBA has determined that this 
rule will not have substantial, direct effects on the States, on the 
relationship between the national government and the States, or on the 
distribution of power and responsibilities among the various levels of 
government. Therefore, SBA has determined that this rule has no 
federalism implications warranting preparation of a federalism 
assessment.

Paperwork Reduction Act

    For the purpose of the Paperwork Reduction Act, 44 U.S.C. Ch. 35, 
SBA has determined that this rule does not impose any new reporting or 
recordkeeping requirements.

Final Regulatory Flexibility Analysis

    Under the Regulatory Flexibility Act (RFA), this final rule may 
have a significant impact on a substantial number of small businesses 
in the industries and sub-industries covered by this rule. As described 
above, this rule may affect small businesses seeking Federal contracts, 
loans under SBA's 7(a), 504 and Economic Injury Disaster Loan Programs, 
and assistance under other Federal small business programs.
    Immediately below, SBA sets forth a final regulatory flexibility 
analysis (FRFA) of this rule addressing the following questions: (1) 
What are the need for and objective of the rule?; (2) What are SBA's 
description and estimate of the number of small businesses to which the 
rule will apply?; (3) What are the projected reporting, recordkeeping, 
and other compliance requirements of the rule?; (4) What are the 
relevant Federal rules that may duplicate, overlap, or conflict with 
the rule?; and (5) What alternatives will allow the Agency to 
accomplish its regulatory objectives while minimizing the impact on 
small businesses?
1. What are the need for and objective of the rule?
    Changes in industry structure, technological changes, productivity 
growth, mergers and acquisitions, and updated industry definitions have 
changed the structure of many

[[Page 4466]]

industries reviewed for this rule. Such changes can be sufficient to 
support revisions to current size standards for some industries. Based 
on the analysis of the latest data available, SBA believes that the 
revised size standards in this final rule more appropriately reflect 
the size of businesses that need Federal assistance. The Jobs Act also 
requires SBA to review all size standards and make necessary 
adjustments to reflect market conditions.
2. What are SBA's description and estimate of the number of small 
businesses to which the rule will apply?
    SBA estimates that about 375 additional firms may become small 
because of increased size standards for the 30 industries and three 
sub-industries covered by this rule. That represents 0.5 percent of 
total firms that are small under the previous size standards in all 
industries reviewed by SBA in the September 10, 2014 proposed rule. 
This will result in an increase in the small business share of total 
industry receipts for those industries from 18.3 percent under the 
current size standards to 21.3 percent under the proposed size 
standards. In the three industries for which SBA has proposed to reduce 
their size standards, only the one or two largest firms will be 
impacted in each of those industries. The revised size standards will 
enable more small businesses to retain their small business status for 
a longer period. Many firms may have lost their eligibility and find it 
difficult to compete at current size standards with companies that are 
significantly larger than they are. SBA believes that revisions to size 
standards will have a positive competitive impact on existing small 
businesses and on those that exceed the size standards but are on the 
very low end of those that are not small. They might otherwise be 
called or referred to as mid-sized businesses, although SBA only 
defines what is small; other entities are other than small.
3. What are the projected reporting, recordkeeping and other compliance 
requirements of the rule?
    The revised size standards impose no additional reporting or 
recordkeeping requirements on small businesses. However, qualifying for 
Federal procurement and a number of other programs requires that 
businesses register in the SAM database and certify in SAM that they 
are small at least once annually. Therefore, businesses opting to 
participate in those programs must comply with SAM requirements. 
However, there are no costs associated with SAM registration or 
certification. Changing size standards alters the access to SBA's 
programs that assist small businesses, but does not impose a regulatory 
burden because they neither regulate nor control business behavior.
4. What are the relevant Federal rules, which may duplicate, overlap or 
conflict with the rule?
    Under Sec.  3(a)(2)(C) of the Small Business Act, 15 U.S.C. 
632(a)(2)(c), Federal agencies must use SBA's size standards to define 
a small business, unless specifically authorized by statute to do 
otherwise. In 1995, SBA published in the Federal Register a list of 
statutory and regulatory size standards that identified the application 
of SBA's size standards as well as other size standards used by Federal 
agencies (60 FR 57982 (November 24, 1995)). SBA is not aware of any 
Federal rule that would duplicate or conflict with establishing size 
standards.
    However, the Small Business Act and SBA's regulations allow Federal 
agencies to develop different size standards if they believe that SBA's 
size standards are not appropriate for their programs, with the 
approval of SBA's Administrator (13 CFR 121.903). The Regulatory 
Flexibility Act authorizes an agency to establish an alternative small 
business definition for purposes of that Act, after consultation with 
the Office of Advocacy of the U.S. Small Business Administration (5 
U.S.C. 601(3)).
5. What alternatives will allow the Agency to accomplish its regulatory 
objectives while minimizing the impact on small entities?
    By law, SBA is required to develop numerical size standards for 
establishing eligibility for Federal small business assistance 
programs. Other than varying size standards by industry and changing 
the size measures, no practical alternative exists to the systems of 
numerical size standards.

List of Subjects in 13 CFR Part 121

    Administrative practice and procedure, Government procurement, 
Government property, Grant programs--business, Individuals with 
disabilities, Loan programs--business, Reporting and recordkeeping 
requirements, Small businesses.
    For the reasons set forth in the preamble, SBA amends 13 CFR part 
121 as follows:

PART 121--SMALL BUSINESS SIZE REGULATIONS

0
1. The authority citation for part 121 continues to read as follows:

    Authority:  15 U.S.C. 632, 634(b)(6), 662, and 694a(9).

0
2. Amend Sec.  121.201 in the table ``Small Business Size Standards by 
NAICS Industry'' as follows:
0
a. Revise the entries for ``211111'', ``211112'', ``212111'', 
``212112'', ``212113'', ``212210'', ``212221'', ``212222'', ``212231'', 
``212234'', ``212291'', ``212299'', ``212312'', ``212313'', ``212324'', 
``212391'', ``212392'', ``213111'', ``221210'', ''482112'', ``483112'', 
``483113'', ``483211'', ``511110'', ``511120'', ``511130'', ``511140'', 
``511191'', ``512220'', ``512230'', ``519130'', ``541711'', ``541712'' 
introductory entry and first, second and third sub-entry, and 
``562910'' sub-entry.''
0
b. Amend the entry for ``481211'' by removing the sub-entry ``Except,'' 
``Offshore Marine Air Transportation Services'' ``$30.5''.
0
c. Amend the entry for ``481212'' by removing the sub-entry ``Except,'' 
``Offshore Marine Air Transportation Services'' ``$30.5''.
0
d. Amend the entry for ``Subsector 483--Water Transportation'' by 
removing superscript ``15''.
0
e. Revise Footnote 11.
0
f. Remove Footnote 15 and reserve Footnote 15.
0
g. Revise Footnote 18.
    The revisions read as follows:


Sec.  121.201  What size standards has SBA identified by North American 
Industry Classification System codes?

                                 Small Business Size Standards by NAICS Industry
----------------------------------------------------------------------------------------------------------------
                                                                                  Size standards  Size standards
                NAICS codes                       NAICS U.S. industry title         in millions    in number  of
                                                                                    of dollars       employees
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
211111.....................................  Crude Petroleum and Natural Gas      ..............           1,250
                                              Extraction.

[[Page 4467]]

 
211112.....................................  Natural Gas Liquid Extraction......  ..............             750
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
212111.....................................  Bituminous Coal and Lignite Surface  ..............           1,250
                                              Mining.
212112.....................................  Bituminous Coal Underground Mining.  ..............           1,500
212113.....................................  Anthracite Mining..................  ..............             250
212210.....................................  Iron Ore Mining....................  ..............             750
212221.....................................  Gold Ore Mining....................  ..............           1,500
212222.....................................  Silver Ore Mining..................  ..............             250
212231.....................................  Lead Ore and Zinc Ore Mining.......  ..............             750
212234.....................................  Copper Ore and Nickel Ore Mining...  ..............           1,500
212291.....................................  Uranium[dash]Radium[dash]Vanadium    ..............             250
                                              Ore Mining.
212299.....................................  All Other Metal Ore Mining.........  ..............             750
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
212312.....................................  Crushed and Broken Limestone Mining  ..............             750
                                              and Quarrying.
212313.....................................  Crushed and Broken Granite Mining    ..............             750
                                              and Quarrying.
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
212324.....................................  Kaolin and Ball Clay Mining........  ..............             750
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
212391.....................................  Potash, Soda, and Borate Mineral     ..............             750
                                              Mining.
212392.....................................  Phosphate Rock Mining..............  ..............           1,000
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
213111.....................................  Drilling Oil and Gas Wells.........  ..............           1,000
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
221210.....................................  Natural Gas Distribution...........  ..............           1,000
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
481211.....................................  Nonscheduled Chartered Passenger     ..............           1,500
                                              Air Transportation.
----------------------------------------------------------------------------------------------------------------
481212.....................................  Nonscheduled Chartered Freight Air   ..............           1,500
                                              Transportation.
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
482112.....................................  Short Line Railroads...............  ..............           1,500
----------------------------------------------------------------------------------------------------------------
                                       Subsector 483--Water Transportation
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
483112.....................................  Deep Sea Passenger Transportation..  ..............           1,500
----------------------------------------------------------------------------------------------------------------
483113.....................................  Coastal and Great Lakes Freight      ..............             750
                                              Transportation.
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
483211.....................................  Inland Water Freight Transportation  ..............             750
----------------------------------------------------------------------------------------------------------------
 

[[Page 4468]]

 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
511110.....................................  Newspaper Publishers...............  ..............           1,000
----------------------------------------------------------------------------------------------------------------
511120.....................................  Periodical Publishers..............  ..............           1,000
511130.....................................  Book Publishers....................  ..............           1,000
511140.....................................  Directory and Mailing List           ..............           1,250
                                              Publishers.
511191.....................................  Greeting Card Publishers...........  ..............           1,500
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
512220.....................................  Integrated Record Production/        ..............           1,250
                                              Distribution.
512230.....................................  Music Publishers...................  ..............             750
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
519130.....................................  Internet Publishing and              ..............           1,000
                                              Broadcasting and Web Search
                                              Portals.
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
541711.....................................  Research and Development in          ..............      \11\ 1,000
                                              Biotechnology \11\.
----------------------------------------------------------------------------------------------------------------
541712.....................................  Research and Development in the      ..............      \11\ 1,000
                                              Physical, Engineering, and Life
                                              Sciences (except Biotechnology)
                                              \11\.
Except,....................................  Aircraft, Aircraft Engine, and       ..............           1,500
                                              Engine Parts.
Except,....................................  Other Aircraft Parts and Auxiliary   ..............           1,250
                                              Equipment.
Except,....................................  Guided Missiles and Space Vehicles,  ..............           1,250
                                              Their Propulsion Units and
                                              Propulsion Parts.
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
562910.....................................  Remediation Services...............         $20.5.0  ..............
----------------------------------------------------------------------------------------------------------------
Except,....................................  Environmental Remediation Services   ..............        \14\ 750
                                              \14\.
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------

    Footnotes
* * * * *
    11. NAICS code 541711 and 541712--
    (a) ``Research and Development'' means laboratory or other 
physical research and development. It does not include economic, 
educational, engineering, operations, systems, or other nonphysical 
research; or computer programming, data processing, commercial and/
or medical laboratory testing.
    (b) For research and development contracts requiring the 
delivery of a manufactured product, the appropriate size standard is 
that of the manufacturing industry.
    (c) For purposes of the Small Business Innovation Research 
(SBIR) program only, a different definition has been established by 
law. See Sec.  121.701 of these regulations.
    (d) ``Research and Development'' for guided missiles and space 
vehicles includes evaluations and simulation, and other services 
requiring thorough knowledge of complete missiles and spacecraft.
* * * * *
    14. NAICS 562910--Environmental Remediation Services:
    (a) For SBA assistance as a small business concern in the 
industry of Environmental Remediation Services, other than for 
Government procurement, a concern must be engaged primarily in 
furnishing a range of services for the remediation of a contaminated 
environment to an acceptable condition including, but not limited 
to, preliminary assessment, site inspection, testing, remedial 
investigation, feasibility studies, remedial design, containment, 
remedial action, removal of contaminated materials, storage of 
contaminated materials and security and site closeouts. If one of 
such activities accounts for 50 percent or more of a concern's total 
revenues, employees, or other related factors, the concern's primary 
industry is that of the particular industry and not the 
Environmental Remediation Services Industry.
    (b) For purposes of classifying a Government procurement as 
Environmental Remediation Services, the general purpose of the 
procurement must be to restore or directly support the restoration 
of a contaminated environment (such as, preliminary assessment, site 
inspection, testing, remedial investigation, feasibility studies, 
remedial design, remediation services, containment, removal of 
contaminated materials, storage of contaminated materials or 
security and site closeouts), although the general purpose of the 
procurement need not necessarily include remedial actions. Also, the 
procurement must be composed of activities in three or more separate 
industries with separate NAICS codes or, in some instances (e.g., 
engineering), smaller sub-components of NAICS codes with separate, 
distinct size standards. These activities may include, but are not 
limited to, separate activities in industries such as: Heavy 
Construction; Specialty Trade Contractors; Engineering Services; 
Architectural Services; Management Consulting Services; Hazardous 
and Other Waste Collection; Remediation Services, Testing 
Laboratories; and Research and Development in the Physical, 
Engineering and Life Sciences. If any activity in the procurement 
can be identified with a separate NAICS code, or component of a code

[[Page 4469]]

with a separate distinct size standard, and that industry accounts 
for 50 percent or more of the value of the entire procurement, then 
the proper size standard is the one for that particular industry, 
and not the Environmental Remediation Service size standard.
* * * * *
    18. NAICS code 541519--An Information Technology Value Added 
Reseller (ITVAR) provides a total solution to information technology 
acquisitions by providing multi-vendor hardware and software along 
with significant value added services. Significant value added 
services consist of, but are not limited to, configuration 
consulting and design, systems integration, installation of multi-
vendor computer equipment, customization of hardware or software, 
training, product technical support, maintenance, and end user 
support. For purposes of Government procurement, an information 
technology procurement classified under this exception and 150-
employee size standard must consist of at least 15% and not more 
than 50% of value added services, as measured by the total contract 
price. In addition, the offeror must comply with the manufacturing 
performance requirements, or comply with the non-manufacturer rule 
by supplying the products of small business concerns, unless SBA has 
issued a class or contract specific waiver of the non-manufacturer 
rule. If the contract consists of less than 15% of value added 
services, then it must be classified under a NAICS manufacturing 
industry. If the contract consists of more than 50% of value added 
services, then it must be classified under the NAICS industry that 
best describes the predominate service of the procurement.
* * * * *

0
3. Amend Sec.  121.406 by revising paragraph (b)(3) and paragraphs 
(b)(4) introductory text and (b)(5) introductory text to read as 
follows:


Sec.  121.406  How does a small business concern qualify to provide 
manufactured products or other supply items under a small business set-
aside, service-disabled veteran-owned small business set-aside, WOSB or 
EDWOSB set-aside, or 8(a) contract?

* * * * *
    (b) * * *
    (3) The nonmanufacturer rule applies only to procurements that have 
been assigned a manufacturing or supply NAICS code, or the Information 
Technology Value Added Resellers (ITVAR) exception to NAICS code 
541519. The nonmanufacturer rule does not apply to contracts that have 
been assigned a service (except for the ITVAR exception to NAICS code 
541519), construction, or specialty trade construction NAICS code.
    (4) The nonmanufacturer rule applies only to the supply component 
of a requirement classified as a manufacturing, supply, or ITVAR 
contract. If a requirement is classified as a service contract, but 
also has a supply component, the nonmanufacturer rule does not apply to 
the supply component of the requirement.
* * * * *
    (5) The Administrator or designee may waive the requirement set 
forth in paragraph (b)(1)(iv) of this section under the following two 
circumstances:
* * * * *

Maria Contreras-Sweet,
Administrator.
[FR Doc. 2016-00922 Filed 1-25-16; 8:45 am]
BILLING CODE 8025-01-P



                                                 4436              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 SMALL BUSINESS ADMINISTRATION                           Size Standards Division, (202) 205–6618                standards have not been reviewed since
                                                                                                         or sizestandards@sba.gov.                              they were first established.
                                                 13 CFR Part 121                                                                                                   Because of changes in the Federal
                                                                                                         SUPPLEMENTARY INFORMATION:                             marketplace and industry structure
                                                 RIN 3245–AG51
                                                                                                         Introduction                                           since the last comprehensive size
                                                 Small Business Size Standards:                                                                                 standards review, SBA recognizes that
                                                 Industries With Employee Based Size                        To determine eligibility for Federal                current data may no longer support
                                                 Standards Not Part of Manufacturing,                    small business assistance, SBA                         some of its existing size standards.
                                                 Wholesale Trade, or Retail Trade                        establishes small business size                        Accordingly, in 2007, SBA began a
                                                                                                         definitions (referred to as ‘‘size                     comprehensive review of all size
                                                 AGENCY:  U.S. Small Business                            standards’’) for private sector industries             standards to determine if they are
                                                 Administration.                                         in the United States. SBA uses two                     consistent with current data, and to
                                                 ACTION: Final rule.                                     primary measures of business size—                     adjust them when necessary. In
                                                                                                         average annual receipts and average                    addition, on September 27, 2010, the
                                                 SUMMARY:    The U.S. Small Business                     number of employees. SBA uses                          President of the United States signed the
                                                 Administration (SBA) modifies 36                        financial assets and refining capacity to              Small Business Jobs Act of 2010 (Jobs
                                                 employee based small business size                      measure the size of a few specialized                  Act), 111 Public Law 240, 124 Stat.
                                                 standards for industries and sub-                       industries. In addition, SBA’s Small                   2504, Sep. 27, 2010. The Jobs Act
                                                 industries (i.e., ‘‘exceptions’’ in SBA’s               Business Investment Company (SBIC),                    directs SBA to conduct a detailed
                                                 table of size standards) that are not part              Certified Development Company (CDC/                    review of all size standards and to make
                                                 of North American Industry                              504), and 7(a) Loan Programs use either                appropriate adjustments to reflect
                                                 Classification System (NAICS) Sector                    the industry based size standards or net               market conditions. Specifically, the Jobs
                                                 31–33 (Manufacturing), Sector 42                        worth and net income based alternative                 Act requires SBA to conduct a detailed
                                                 (Wholesale Trade), or Sector 44–45                      size standards to determine eligibility                review of at least one-third of all size
                                                 (Retail Trade). Specifically, SBA                       for those programs. At the start of the                standards during every 18-month period
                                                 increases 30 size standards for                         SBA’s current comprehensive size                       from the date of its enactment. Id. at
                                                 industries and three for sub-industries                 standards review when the size                         § 1344(a)(1)(A). In addition, the Jobs Act
                                                 or ‘‘exceptions.’’ SBA also decreases                   standards were based on NAICS 2007,                    requires that SBA review all size
                                                 size standards from 500 employees to                    there were 41 different size standards                 standards not less frequently than once
                                                 250 employees for three industries,                     covering 1,141 NAICS industries and 18                 every five years thereafter. Id. at
                                                 namely NAICS 212113 (Anthracite                         sub-industry activities (‘‘exceptions’’ in             § 1344(a)(2). Reviewing existing small
                                                 Mining), NAICS 212222 (Silver Ore                       SBA’s table of size standards). Thirty-                business size standards and making
                                                 Mining), and NAICS 212291 (Uranium-                     one of these size levels were based on                 appropriate adjustments based on the
                                                 Radium-Vanadium Ore Mining). SBA                        average annual receipts, seven were                    latest available data are also consistent
                                                 maintains the Information Technology                    based on average number of employees,                  with Executive Order 13563 on
                                                 Value Added Resellers (ITVAR) sub-                      and three were based on other measures.                improving regulation and regulatory
                                                 industry or ‘‘exception’’ under NAICS                   Presently, under NAICS 2012, there are                 review.
                                                 541519 (Other Computer Related                          28 different size standards, covering                     Rather than review all size standards
                                                 Services) with the 150-employee size                    1,031 industries and 16 ‘‘exceptions.’’                at one time, SBA is reviewing size
                                                 standard, but amends Footnote 18 to                     Of the 1,047 corresponding size                        standards on a Sector-by-Sector basis. A
                                                 SBA’s table of size standards by adding                 standards including exceptions, 533 are                NAICS Sector generally includes 25 to
                                                 the requirement that the supply (i.e.,                  based on average annual receipts, 509                  75 industries, except for NAICS Sector
                                                 computer hardware and software)                         on number of employees (one of which                   31–33, Manufacturing, which has
                                                 component of small business set-aside                                                                          considerably more industries. This final
                                                                                                         also includes barrels per day total
                                                 ITVAR contracts must comply with the                                                                           rule covers industries with employee
                                                                                                         capacity), and five on average assets.
                                                 nonmanufacturing performance                                                                                   based size standards that are not part of
                                                                                                            Over the years, SBA has received                    NAICS Sector 31–33 (Manufacturing),
                                                 requirements or nonmanufacturer rule                    comments that its size standards have
                                                 (NMR). Additionally, SBA eliminates                                                                            Sector 42 (Wholesale Trade), or Sector
                                                                                                         not kept up with changes in the                        44–45 (Retail Trade). These include one
                                                 the Offshore Marine Air Transportation                  economy, in particular the changes in
                                                 Services sub-industry or ‘‘exception’’                                                                         industry each in NAICS Sector 11
                                                                                                         the Federal contracting marketplace and                (Agriculture, Forestry, Fishing and
                                                 under NAICS 481211 and 481212 and                       industry structure. The last time SBA                  Hunting), Sector 22 (Utilities), and
                                                 Offshore Marine Services sub-industry                   conducted a comprehensive size                         Sector 52 (Finance and Insurance), 25
                                                 or ‘‘exception’’ under NAICS Subsector                  standards review was during the late                   industries in Sector 21 (Mining,
                                                 483 and their $30.5 million receipts                    1970s and early 1980s. Since then, most                Quarrying, and Oil and Gas Extraction),
                                                 based size standard. This change                        reviews of size standards were limited                 15 industries in Sector 48–49
                                                 includes removing Footnote 15 from the                  to a few specific industries, mostly with              (Transportation and Warehousing), 12
                                                 table of size standards. As part of its                 receipts based size standards, in                      industries in Sector 51 (Information),
                                                 ongoing comprehensive size standards                    response to requests from the public and               two industries and four sub-industries
                                                 review, SBA evaluated employee based                    from Federal agencies. SBA reviews all                 (‘‘exceptions’’) in Sector 54
                                                 size standards for 57 industries and five               monetary based size standards (except                  (Professional, Scientific and Technical
                                                 sub-industries that are not in NAICS                    for statutorily set size standards in                  Services), and one sub-industry
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                                                 Sectors 31–33, 42, or 44–45 to                          NAICS Sector 11) for inflation at least                (‘‘exception’’) in Sector 56
                                                 determine whether they should be                        once every five years. SBA’s latest                    (Administrative and Support, Waste
                                                 retained or revised.                                    inflation adjustment to the monetary                   Management and Remediation Services)
                                                 DATES: This rule is effective on February               based size standards was published in                  that currently have employee based size
                                                 26, 2016.                                               the Federal Register on June 12, 2014                  standards. Once SBA completes its
                                                 FOR FURTHER INFORMATION CONTACT:                        (79 FR 33647). However, the vast                       review of size standards for industries
                                                 Jorge Laboy-Bruno, Ph.D., Economist,                    majority of employee based size                        in a NAICS Sector, it issues a proposed


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                          4437

                                                 rule to revise size standards for those                 its loan programs, SBA analyzed                        industries. However, as SBA pointed
                                                 industries based on latest industry and                 internal data on its guaranteed loan                   out in the proposed rule, lowering size
                                                 program data available and other                        programs for fiscal years 2010–2012 for                standards would reduce the number of
                                                 relevant factors, such as current                       the proposed rule and fiscal years 2012–               firms eligible to participate in Federal
                                                 economic climate and SBA’s and other                    2014 for this final rule.                              small business assistance programs and
                                                 government’s programs and policies to                      SBA’s ‘‘Size Standards Methodology’’                be counter to what the Federal
                                                 help small businesses.                                  White Paper provides a detailed                        government and SBA are doing to help
                                                    As part of the ongoing comprehensive                 description of its analyses of various                 small businesses. Therefore, SBA
                                                 size standards review, SBA also                         industry and program factors and data                  proposed to retain the current size
                                                 developed a ‘‘Size Standards                            sources, and how the Agency uses the                   standards for those industries and
                                                 Methodology’’ White Paper for                           results to establish and revise size                   requested comments on whether the
                                                 developing, reviewing, and modifying                    standards. In the proposed rule itself,                Agency should lower size standards for
                                                 size standards, when necessary. SBA                     SBA detailed how it applied its ‘‘Size                 which its analyses might support
                                                 published the document on its Web site                  Standards Methodology’’ to review and                  lowering them. Finally, SBA also
                                                 at www.sba.gov/size for public review                   modify where necessary, the existing                   welcomed comments on various
                                                 and comments, and included it as a                      employee based size standards for                      methodological issues, including the
                                                 supporting document in the electronic                   industries that are not part of NAICS                  maximum and minimum levels of
                                                 docket of the proposed rule at                          Sectors 31–33, 42, or 44–45. SBA sought                employees based size standards,
                                                 www.regulations.gov.                                    comments from the public on a number                   industry and Federal contracting factors
                                                    In evaluating an industry’s size                     of issues about its ‘‘Size Standards                   the Agency evaluates and/or suggestions
                                                 standard, SBA generally examines its                    Methodology,’’ such as whether there                   on other factors that it should consider
                                                 characteristics (such as average firm                   are alternative methodologies that SBA                 when evaluating or revising employee
                                                 size, startup costs and entry barriers,                 should consider; whether there are                     based size standards, and whether it
                                                 industry competition, and distribution                  alternative or additional factors or data              should weigh each factor equally or it
                                                 of firms by size) and the small business                sources that SBA should evaluate;                      should weigh one or more factors more
                                                 level and share of Federal contract                     whether SBA’s approach to establishing                 or less for certain industries.
                                                 dollars in that industry. SBA also                      small business size standards makes
                                                 examines the potential impact a size                    sense in the current economic                          Discussion of Comments
                                                 standard revision might have on its                     environment; whether SBA’s                               SBA received a total of 202 comments
                                                 financial assistance programs, and                      application of anchor size standards is                on the proposed rule, including 168
                                                 whether a business concern under a                      appropriate in the current economy;                    concerning the ITVAR size standard, 32
                                                 revised size standard would be                          whether there are gaps in SBA’s                        on the Environmental Remediation
                                                 dominant in its industry. SBA analyzed                  methodology because of the lack of                     Services (ERS) size standard, and two
                                                 the characteristics of each industry in                 current or comprehensive data; and                     relating to proposed size standards in
                                                 this final rule, mostly using a special                 whether there are other facts or issues                general.
                                                 tabulation obtained from the U.S.                       that SBA should consider.                                Of the 168 comments relating to the
                                                 Bureau of the Census from its 2007                         On September 10, 2014 (79 FR 53646),                ITVAR size standard, five supported
                                                 Economic Census (the latest available).                 SBA published a proposed rule seeking                  SBA’s proposal to eliminate the ITVAR
                                                 The industry data in the Economic                       comments on a number of proposals and                  exception to NAICS 541519 and its 150-
                                                 Census tabulation are limited to the 6-                 issues. SBA invited comments on its                    employee size standard, while the rest
                                                 digit codes and do not permit the                       proposals to increase employee based                   opposed it. Among those opposing the
                                                 evaluation of size standards for sub-                   size standards for 30 industries and                   proposal, two also asked for a 60-day
                                                 industry categories or ‘‘exceptions.’’                  three sub-industries (‘‘exceptions’’) and              extension of the comment period. Of the
                                                 Thus, as explained in the proposed rule,                decrease them for three industries that                168 comments on the ITVAR size
                                                 when establishing, reviewing, or                        are not part of NAICS Sectors 31–33, 42,               standard, four were from attorneys, one
                                                 modifying size standards for                            or 44–45. SBA requested comments on                    of which was on behalf of 13 small
                                                 ‘‘exceptions,’’ SBA evaluates the data                  a number of issues, including whether                  business ITVARs and three each on
                                                 from the U.S. General Service                           the size standards should be revised as                behalf of individual ITVAR businesses.
                                                 Administration’s (GSA) Federal                          proposed and whether the proposed                      One also provided a list of individuals
                                                 Procurement Data System—Next                            revisions are appropriate. The Agency                  who submitted concerns about the
                                                 Generation (FPDS–NG) and System of                      also sought feedback on its proposals to               SBA’s proposed rule to their
                                                 Awards Management (SAM) databases.                      eliminate the Information Technology                   Congressional representatives through a
                                                 In this final rule, SBA used the data                   Value Added Resellers (ITVAR) sub-                     Web site that the company had
                                                 from FPDS–NG and SAM to determine                       industry (‘‘exception’’) under NAICS                   developed.
                                                 industry and Federal contracting factors                541519 (Other Computer Related                           Of the 32 comments on the ERS size
                                                 for ‘‘Information Technology Value                      Services) and its 150-employee size                    standard, nine favored SBA’s proposal
                                                 Added Resellers,’’ which is an                          standard and eliminate the Offshore                    to increase it from 500 employees to
                                                 exception under NAICS 541519, Other                     Marine Air Transportation Services sub-                1,250 employees, while 23 opposed it.
                                                 Computer Related Services, and for                      industry or ‘‘exception’’ under NAICS                    Among the two general comments,
                                                 ‘‘Environmental Remediation Services,’’                 481211 and 481212 and Offshore                         one supported SBA’s proposed
                                                 which is an exception under NAICS                       Marine Services sub-industry                           increases to size standards, while the
                                                 562910, Remediation Services.                           (‘‘exception’’) under NAICS Subsector                  other opposed it. These comments and
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                                                    SBA also evaluated the small business                483 and their $30.5 million receipts                   SBA’s responses are discussed below.
                                                 level and share of Federal contracts in                 based size standard. The public was also
                                                 each industry using the data from                       welcome to comment on any other size                   Comments on SBA’s Proposal To
                                                 FPDS–NG for fiscal years 2009–2011 for                  standards that the Agency proposed                     Eliminate the ITVAR Exception
                                                 the proposed rule and fiscal years 2012–                retaining at their current levels. SBA’s                 For Federal contracts that combine
                                                 2014 for this final rule. To evaluate the               analyses supported lowering existing                   substantial services with the acquisition
                                                 impact of changes to size standards on                  size standards for a number of                         of computer hardware and software, in


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                                                 4438              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 2002, SBA proposed to establish a new                   to receive fair and reasonable pricing,                circumstances, the elimination of the
                                                 ‘‘Information Technology Value Added                    the fifth commenter argued that                        ITVAR exception would have a minimal
                                                 Resellers (ITVAR)’’ sub-industry or                     predominantly hardware and software                    impact on businesses below 150
                                                 ‘‘exception’’ category under NAICS                      contracts with little or no value added                employees, as those businesses would
                                                 541519, Other Computer Related                          services are awarded under NAICS                       continue to qualify as small for IT
                                                 Services, with a size standard of 500                   541519 instead of the manufacturing                    supply contracts under the 500-
                                                 employees (67 FR 48419 (July 24,                        NAICS code. These comments and                         employee nonmanufacturer size
                                                 2002)). In the final rule, SBA adopted                  SBA’s responses are below.                             standard. The commenter acknowledged
                                                 the ITVAR exception under NAICS                                                                                that while these businesses may be
                                                                                                         Comments That the ITVAR Exception
                                                 541519, as proposed, with a size                                                                               forced to compete with businesses
                                                                                                         Has Created Misuse
                                                 standard of 150 employees (68 FR 74833                                                                         between 150 employees and 500
                                                 (December 29, 2003)). Presently, the size                  One commenter argued that it has                    employees, it disagreed with many
                                                 standard for NAICS 541519 and other                     become common for procuring agencies                   commenters’ arguments that eliminating
                                                 industries in NAICS Industry Group                      to use the ITVAR exception to classify                 the ITVAR exception would force them
                                                 5415, Computer Systems Design and                       multi-agency contracts (MACs) and                      to compete with multi-billion dollar
                                                 Related Services, is $27.5 million in                   government-wide acquisition contracts                  companies.
                                                 average annual receipts.                                (GWACs) to buy commercial off-the-
                                                    As stated in Footnote 18 to SBA’s                    shelf (COTS) IT hardware and software.                 Comments That the ITVAR Exception
                                                 table of size standards, for a Federal                  In many cases, these contracts consist of              Has Created Loopholes
                                                 contract to be classified under the                     less than 15 percent of value added                      One commenter argued that the
                                                 ITVAR exception and its 150-employee                    services as required, and should have                  ITVAR exception has created loopholes
                                                 size standard, it must consist of at least              been classified under the appropriate                  in SBA’s regulations, country-of-origin
                                                 15 percent but not more than 50 percent                 manufacturing (‘‘supply’’) NAICS code,                 requirements, and trade agreements.
                                                 of value added services. If the contract                the commenter noted. Another                           The commenter added that eliminating
                                                 consists of less than 15 percent of value               commenter contended that the biggest                   the ITVAR exception would help to
                                                 added services, it must be classified                   problem has been validating whether                    ensure that the procuring agencies
                                                 under the appropriate manufacturing                     the companies are actually performing                  comply with applicable regulations and
                                                 industry. If the contract consists of more              the 15–50 percent value added services                 requirements. The commenter explained
                                                 than 50 percent of value added services,                and noted that, in most cases, they are                that SBA’s regulations require procuring
                                                 it must be classified under the NAICS                   not providing any service except for                   agencies to select the ‘‘NAICS code
                                                 industry that best describes the                        tacking on their 10–25 percent profit.                 which best describes the principal
                                                 principal nature of service being                          Another commenter mentioned that                    purpose of the product or service being
                                                 procured. In the September 10, 2014,                    the real problem with NAICS 541519 is                  acquired.’’ Where both products and
                                                 proposed rule, SBA proposed to                          not the size standard itself, but the                  services are being acquired, the
                                                 eliminate the ITVAR 150-employee size                   general misuse of the code altogether. It              commenter continued, the acquisitions
                                                 standard exception under NAICS                          argued that IT hardware and software                   must be classified according to the
                                                 541519 because, as explained in the                     procurements in the billions of dollars                component which accounts for the
                                                 proposed rule and elsewhere in this                     that do not have ‘‘significant’’ value                 greatest percentage of the contract value.
                                                 final rule, it has created inconsistencies,             added services are purchased through                   Thus, the commenter stated, the
                                                 confusion, and misuse. As stated above,                 NAICS 541519 instead of the                            procuring agency must identify whether
                                                 SBA received a total of 168 comments,                   manufacturing NAICS code. The                          the contract is primarily for the
                                                 with five supporting SBA’s proposal to                  commenter contended that entire                        acquisition of services or supplies, and
                                                 eliminate the ITVAR exception and the                   GWACs (such as SEWP–IV/V, ECS–3                        noted that the relevant case law (SBA
                                                 rest opposing it.                                       and new CIO–CS) are awarded under                      No. SIZ–1295(1979)) also supports this.
                                                                                                         NAICS 541519 when the majority of                      The solicitation must contain only one
                                                 Comments Supporting SBA’s Proposal                      items purchased are hardware and                       NAICS code and one size standard, and
                                                 To Eliminate the ITVAR Exception                        software only, with little or no value                 for a contract requiring the performance
                                                    Four commenters explicitly supported                 added services at all. The commenter                   of a combination of work, a contracting
                                                 SBA’s proposal to eliminate the ITVAR                   urged SBA to stop the fraud, waste and                 officer must identify whether the
                                                 exception. The commenters provided                      abuse from contracting agencies using                  contract is one for services,
                                                 several reasons for their support of                    the wrong NAICS codes in order to get                  construction, or supplies for purposes of
                                                 SBA’s proposal. One stated that, due to                 around the size standards. The                         applying the performance of work
                                                 its dual supply-services nature, the                    commenter further asked SBA to stop                    requirements under the ‘‘limitations on
                                                 ITVAR exception has created misuse,                     allowing massive GWACs to be                           subcontracting’’ provisions, the
                                                 confusion, and loopholes; removing it                   misclassified under NAICS 541519 so                    commenter concluded.
                                                 would help to ensure that procuring                     that everyone gets a fair chance to                      The same commenter argued that
                                                 agencies comply with SBA’s regulations                  compete for those contracts.                           when agencies set-aside acquisitions
                                                 and relevant case law. Others contended                                                                        using the ITVAR exception, it creates
                                                 that the ITVAR exception allows larger                  Comments That SBA’s Proposal Would                     loopholes that allow agencies to bypass
                                                 businesses making hundreds of millions                  Have Minimal Impact on Small ITVARs                    the NMR and limitations on
                                                 of dollars to bid as small businesses,                    One commenter noted that where the                   subcontracting, which are intended to
                                                 thereby taking Federal opportunities                    greatest portion of the contract value is              ensure that small business is the
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                                                 away from true small businesses. One                    for supplies and a manufacturing NAICS                 ultimate beneficiary of such acquisitions
                                                 also added that the biggest problem is to               code is selected, the size standard for an             instead of a large original equipment
                                                 validate whether the companies are                      IT reseller would be only 500                          manufacturers (OEMs) or systems
                                                 performing 15–50 percent value added                    employees, even if the applicable size                 integrators. The commenter further
                                                 services. While stating that it is                      standard for the manufacturing NAICS                   contended that because the ITVAR
                                                 important to allow ITVARs to compete                    code was higher. The commenter                         exception is part of a services NAICS
                                                 as small businesses for the Government                  believed that, under these                             code, the NMR does not apply to ITVAR


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                           4439

                                                 contracts even if, by definition, supplies              contracts, is inconsistent with SBA’s                  adjustments to reflect the latest industry
                                                 are the majority component of those                     regulations that require procuring                     and Federal market data.
                                                 contracts. This allows IT resellers to                  agencies, based on the principal
                                                                                                                                                                Comments Opposing SBA’s Proposal To
                                                 provide the products under the set-aside                purpose of the service or product being
                                                                                                                                                                Eliminate the ITVAR Exception
                                                 acquisitions from large businesses,                     procured, to identify the procurements
                                                 including foreign-based businesses, the                 either as service contracts or as supply                  Most commenters argued SBA’s
                                                 commenter explained. The commenter                      contracts, but not both. The commenters                proposal to eliminate the ITVAR
                                                 further argued that restricting                         added that the dual service-supply                     exception and its 150-employee size
                                                 acquisitions for IT products to small                   nature of ITVAR contracts has also                     standard and apply the $27.5 million
                                                 businesses under the ITVAR exception                    created confusion with respect to                      receipts based size standard to ITVAR
                                                 also eliminates the country-of-origin                   compliance with SBA’s regulations,                     contracts would have negative impacts
                                                 requirements under both Trade                           such as limitations on subcontracting                  on both many small businesses and on
                                                 Agreements and Buy American Acts,                       and the NMR. They contended that,                      Federal programs. Many contended that
                                                 thereby granting non-designated                         given the inapplicability of the NMR for               a receipts based size standard is not
                                                 countries an avenue to supply products                  the exception, ITVARs are allowed to                   appropriate for the ITVAR industry and
                                                 to the U.S. government. Without the                     provide the products under the set-aside               SBA’s justification to establish the
                                                 NMR, the requirement to furnish the                     acquisitions from large businesses,                    ITVAR exception and the 150-employee
                                                 end item of a U.S. small business is also               including OEMs and foreign-based                       based size standard in its 2003 final rule
                                                 eliminated, the commenter concluded.                    businesses, thereby defeating the very                 is still valid. A large majority of the
                                                                                                         intent of the small business set-aside                 commenters questioned the SBA’s
                                                 Comments That the ITVAR Exception                                                                              conclusions based on the 2007
                                                                                                         programs. The commenters also shared
                                                 Has Caused Adverse Impact on True                                                                              Economic Census data that the proposed
                                                                                                         SBA’s concerns that the agencies use the
                                                 Small Businesses                                                                                               rule would have a minimum impact on
                                                                                                         ITVAR exception and its 150-employee
                                                   One commenter noted that there are                    size standard to acquire computer                      businesses between the 150-employee
                                                 numerous large businesses hiding under                  hardware and software with limited                     size standard and the $27.5 million
                                                 the ITVAR exception, taking business                    value added services, which could have                 receipts based size standard. Many
                                                 away from true small businesses. The                    been classified under the manufacturing                contended that SBA did not provide in
                                                 commenter added that the problem also                   NAICS codes, thereby requiring them to                 the proposed rule a detailed analysis of
                                                 exists in the subcontracting area where                 comply with the NMR.                                   the ITVAR industry and the data to
                                                 large businesses use these large value                                                                         support its reasons that the ITVAR
                                                 added resellers instead of true small                   SBA’s Response                                         exception has created inconsistencies,
                                                 businesses. Another commenter argued                       Regarding commenters’ concerns                      confusion, and misuse. Many stated that
                                                 that the exception creates an unequal                   about the misuse of NAICS 541519, SBA                  there has been no material change in the
                                                 playing field as it allows companies                    agrees that the ITVAR exception has                    ITVAR industry since the 2003 final
                                                 making hundreds of millions of dollars                  allowed Federal agencies to use NAICS                  rule, thereby a change to the size
                                                 a year to bid as small businesses on                    541519, instead of manufacturing                       standard is not warranted. A few
                                                 ITVAR contracts, essentially blocking                   NAICS codes, for computer hardware                     commenters argued that the proposed
                                                 true small businesses from those                        and software procurements that do not                  rule also violates the statutory
                                                 opportunities. These companies are                      have ‘‘significant’’ value added services.             requirements under the National
                                                 much larger than true small businesses                  SBA’s proposal to eliminate the                        Defense Authorization Act for Fiscal
                                                 and have access to vast resources to                    exception was intended to address this                 Year 2013 (NDAA 2013), Regulatory
                                                 assist them in their Request For                        issue.                                                 Flexibility Act (RFA) and Small
                                                 Proposal responses, the commenter                          However, SBA disagrees with the                     Business Regulatory Enforcement
                                                 stated. Removing the exception will                     suggestion that the size standard for                  Fairness Act (SBREFA), while a few
                                                 help level the playing field for                        NAICS 541519 should be increased to                    others also argued the rule is also
                                                 companies bidding for opportunities                     $50 million in receipts to increase small              against the intent of the Jobs Act. One
                                                 under NAICS 541519, the commenter                       business participation in the Federal                  commenter argued that SBA’s proposal
                                                 added. Another commenter contended                      market. The results of industry and                    to eliminate the ITVAR exception runs
                                                 that a small business is the one with                   Federal procurement data published in                  counter to its decision to retain all other
                                                 $27.5 million in sales, not the one with                the proposed rule (76 FR 14323 (March                  exceptions in other industries. Several
                                                 150 employees. There are many                           16, 2011)) and final rule (77 FR 7490                  commenters suggested that SBA should
                                                 companies serving the Federal market                    (February 10, 2012)) on NAICS Sector                   not proceed with the proposal until it
                                                 that win contracts based on having just                 54 supported $25.5 million in average                  conducts a detailed analysis of the
                                                 150 employees with annual receipts of                   annual receipts (now $27.5 million due                 ITVAR industry, while others advocated
                                                 $200 million to $800 million, the                       to inflation adjustment) as the size                   alternative measures to address the
                                                 commenter continued. The commenter                      standard for all industries in NAICS                   issues of inconsistencies, confusion, and
                                                 concluded by suggesting that to make                    Industry Group 5415, including NAICS                   misuse instead of eliminating the
                                                 the size standard more inclusive and see                541519. Data do not support the                        exception. These comments and SBA’s
                                                 more participation of small businesses                  suggested $50 million as the size                      responses are detailed below.
                                                 in the Federal market, the size standard                standard for NAICS 541519, and SBA is
                                                 for NAICS 541519 should be $50                          also concerned that such a high size                   Comments That the Proposed Rule
                                                 million in receipts.                                    standard would negatively impact the                   Would Have Adverse Impacts on Small
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                                                   The commenters supporting SBA’s                       ability of small businesses below the                  Businesses
                                                 proposal shared the Agency’s concerns                   current size standard to compete for                     Most commenters argued that the
                                                 that the exception has created                          Federal opportunities. As part of its                  SBA’s proposed rule to eliminate the
                                                 inconsistencies, confusion, misuse, and                 quinquennial comprehensive review of                   ITVAR exception and its 150-employee
                                                 loopholes. They explained that to treat                 size standards as required by the Jobs                 size standard (some referred to Footnote
                                                 ITVAR contracts as service contracts                    Act, SBA will review all size standards                18) and apply the $27.5 million receipts
                                                 when, by definition, they are supply                    in the coming years and make necessary                 based size standard for NAICS 541519


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                                                 4440              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 to ITVAR contracts would have a                         ITVARs would no longer be able to                      contracts because they have annual
                                                 devastating impact on many small                        compete for Federal opportunities under                receipts above $27.5 million. Some
                                                 businesses that are below the 150-                      NAICS 541519 as small businesses.                      misunderstood SBA’s proposed
                                                 employee size standard, but above the                   Some seemed concerned that the loss of                 elimination of the ITVAR exception to
                                                 $27.5 million receipts based size                       revenue would destroy many small                       change the size standard for
                                                 standard. The commenters added that, if                 ITVARs and force them to close their                   procurement of IT products from 150
                                                 the ITVAR exception and its 150-                        businesses, while others noted that this               employees to $27.5 million in average
                                                 employee size standard were                             would have a negative impact on                        annual receipts. As stated in the
                                                 eliminated, numerous companies (some                    employment and economic growth in                      proposed rule, if the ITVAR exception is
                                                 said thousands) would become                            the region, including the Historically                 eliminated, all ITVAR contracts would
                                                 ineligible to compete for small business                Underutilized Business Zones                           be reclassified under the employee
                                                 set-asides or reserves programs under                   (HUBZones).                                            based size standard for the
                                                 DHS’s FirstSource II, NASA’s SEWP V                        Some commenters stated that, without                manufacturing industries or under the
                                                 and other GWAC or MAC vehicles                          Footnote 18, ITVAR contracts would be                  500-employee nonmanufacturer size
                                                 because they easily exceed the $27.5                    classified either as a services contract               standard. By definition, the ITVAR
                                                 million receipts based size standard for                under the $27.5 million receipts based                 exception is for contracts that are
                                                 NAICS 541519 due to high volumes and                    size standard or as a supply contract                  primarily supply contracts, with some
                                                 costs of products/goods sold under                      under the NMR. They claimed that                       services. The $27.5 million receipts
                                                 ITVAR contracts.                                        small ITVARs would become ineligible                   based size standard is for contracts that
                                                    Many commenters argued that,                         for services contracts because they                    are primarily service contracts, which is
                                                 without Footnote 18, the proposed rule                  exceed the receipts based size standard                not the case under the exception.
                                                 would subject ITVAR firms to the $27.5                  and for supply contracts, they would                   Accordingly, for IT supply contracts
                                                 million receipts based size standard for                have to compete with larger businesses.                using the manufacturing size standards,
                                                 NAICS 541519. The commenters                            One commenter noted that currently the                 the 500-employee nonmanufacturer size
                                                 claimed the proposed rule would make                    ITVAR exception benefits ITVAR firms                   standard, and other elements of the
                                                 those firms lose their small business                   in three ways: (i) It enables them to sell             NMR, would also apply. Thus, all firms
                                                 status, thereby forcing them to compete                 supplies as a small business concern                   that currently qualify under the 150-
                                                 for computer hardware and software                      without the NMR, compliance of which                   employee ITVAR size standard would
                                                 contracts with larger IT companies                      is complicated and cumbersome, (ii) it                 continue to qualify for such contracts as
                                                 (including OEMs) with 500 employees                     shields the firms from competition with                small businesses under the 500-
                                                 to 1,000 employees and receipts in                      firms that have between 151 employees                  employee nonmanufacturer size
                                                 billions of dollars. Some commenters                    and 500 employees, and (iii) it has                    standard.
                                                 noted this would benefit large                          enabled ITVARs to sell some services as                   In response to concerns that by
                                                 contractors, as small ITVARs do not                     small businesses even though they                      eliminating the ITVAR exception and
                                                 have resources to compete with those                    exceed the receipts based size standard.               reclassifying ITVAR contracts under the
                                                 large companies. One commenter                          The commenter argued that the                          manufacturing NAICS codes it would
                                                 acknowledged that small ITVARs are                      proposed rule would wipe out all these                 mainly benefit large companies with
                                                 able to compete against large companies                 benefits. As all IT supplies contracts                 500 employees to 1,000 employees, SBA
                                                 with hundreds of thousands of                           would be under the NMR, ITVARs                         analyzed the FPDS–NG data on IT
                                                 employees and against OEMs that sell IT                 would have to compete with much                        supply contracts under NAICS Industry
                                                 products and services directly to the                   larger companies for small business                    Group 3341, Computer and Peripheral
                                                 Government. However, several argued                     supplies contracts. In addition, ITVARs                Equipment Manufacturing. For fiscal
                                                 that this would reduce their ability to                 that exceed the receipts based size                    years 2012–2014, the results showed
                                                 serve government customers or would                     standard, could not compete for small                  that about 76 percent of dollars awarded
                                                 even potentially force them out of the                  business services contracts.                           to small businesses under NAICS
                                                 Federal IT marketplace entirely. Some                                                                          Industry Group 3341 went to firms with
                                                                                                         SBA’s Response
                                                 commenters noted this would force                                                                              150 or fewer employees. Thus, the
                                                 them to downsize their businesses,                         SBA disagrees with commenters’                      results do not support the argument that
                                                 which may limit business growth and                     interpretation that with the proposed                  IT supply contracts would be dominated
                                                 small business job creation. A few other                elimination of the ITVAR exception and                 by larger companies if they are
                                                 commenters claimed this would make                      its 150-employee size standard, many                   reclassified under the manufacturing
                                                 many IT service companies ineligible                    businesses would lose their small                      NAICS codes. Additionally, while many
                                                 for the type of contracts they have been                business status because they exceed the                commenters expressed concerns for
                                                 performing over the years.                              $27.5 million receipts based size                      having to compete with large companies
                                                    Numerous commenters stated that                      standard associated with NAICS code                    if the exception is eliminated, several
                                                 many small ITVARs seeking                               541519. These comments indicate that                   also noted that small ITVARs have
                                                 opportunities in the Federal IT                         there was some confusion concerning                    capabilities and resources to
                                                 marketplace do a significant amount of                  the impact of SBA’s proposal, if                       outcompete large companies and to
                                                 Federal business utilizing the ITVAR                    adopted, on current small ITVARs.                      provide the best solution to the
                                                 exception under NAICS 541519. They                      Many commenters incorrectly believed                   government. ITVARs would continue to
                                                 added that a considerable amount of                     that, if the exception is eliminated, all              benefit from those attributes if ITVAR
                                                 money is allocated to the NAICS 541519                  contracts that currently use the ITVAR                 contracts were reclassified under the
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                                                 exception and it is not fair to take those              exception and 150-employee size                        manufacturing NAICS codes.
                                                 opportunities away from small                           standard would be subject to the $27.5                    Some commenters contended that the
                                                 businesses. The proposed change, if                     million receipts based size standard for               proposed rule would cause thousands of
                                                 adopted, the commenters indicated,                      NAICS 541519 and that many ITVARs                      small businesses to lose their small
                                                 would be detrimental to those                           with 150 or fewer employees would lose                 business status and become ineligible to
                                                 businesses and Federal agencies that                    their small business status and hence                  compete for ITVAR contracts as small
                                                 depend on them, because many small                      become ineligible to bid on those                      businesses. SBA disagrees for three


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                          4441

                                                 reasons. First, the commenters did not                  standard for NAICS 541519. ITVAR                       mix of products from multiple OEMs.
                                                 provide any data or data sources to                     firms that exceed the receipts based size              One commenter stated that
                                                 support their claim that thousands of                   standards currently would continue to                  approximately 75 percent of Federal
                                                 businesses will be affected. Second, as                 be ineligible for IT services contracts,               sales of many leading OEMs are fulfilled
                                                 explained above, no ITVAR firms below                   regardless of whether the ITVAR                        through their ITVAR partners. The same
                                                 150 employees would actually lose their                 exception is retained or eliminated.                   commenter argued that, without
                                                 small business status under the                         Thus, SBA disagrees with the argument                  Footnote 18, this value-added ability of
                                                 proposed rule, because they would                       that the proposed rule would make                      ITVARs will be lost, because the
                                                 continue to qualify to compete for those                ITVAR firms lose their eligibility to                  majority of ITVARs will no longer
                                                 contracts as small businesses under the                 compete for IT services contracts under                qualify as small businesses and likely be
                                                 500-employee nonmanufacturer size                       the receipts based size standard.                      unable to compete against large
                                                 standard. Third, SBA reviewed                                                                                  businesses.
                                                                                                         Comments That the Proposed Rule                           Several commenters argued that SBA’
                                                 commenters’ data on companies                           Would Have Adverse Impacts on
                                                 receiving contracts under various                                                                              proposal, if adopted, would decrease the
                                                                                                         Federal Agencies                                       pool of responsible and qualified
                                                 GWACs and tasks orders under the
                                                 ITVAR exception and similar data that                     Numerous commenters noted that                       contractors for ITVAR acquisitions, as
                                                 it compiled from other GWACs (such as                   Federal agencies set aside billions of                 companies below the $27.5 million
                                                 GSA’s Schedule 70 SIN 132–8) using                      dollars for small businesses under                     receipts based size standard lack
                                                 FPDS–NG for fiscal years 2012–2014.                     NAICS 541519 using the ITVAR                           financial resources, technical
                                                 The data showed that, of about 260                      exception and 150-employee size                        capabilities, experiences, and qualified
                                                 firms receiving contracts under those                   standard. The commenters identified                    personnel to meet the requirements. The
                                                 GWACs during fiscal years 2012–2014,                    several multi-year, multiple award IDIQ                commenters noted that the receipts
                                                 about 60 or 25 percent had more than                    contracts that are currently set aside to              based size standard would limit the
                                                 the $27.5 million in receipts but fewer                 small businesses to procure computer                   government’s ability to receive
                                                 than 150 employees. However, the                        hardware and software and services,                    competitive pricing for a wide variety of
                                                 proposed rule would have no impact on                   including DHS’ FirstSource, Army’s                     products and services, because
                                                 their small business status under the                   ITES–3H, NASA’s SEWP, and NIH’s                        businesses at the $27.5 million receipts
                                                 receipts based size standard for NAICS                  CIO–CS programs. They argued that                      level have no buying power to leverage
                                                                                                         SBA’s proposed rule would have a                       OEM cost down and qualified personnel
                                                 541519. Moreover, of total contract
                                                                                                         devastating impact on those Federal                    to obtain the OEM certification to be
                                                 dollars received by firms between the
                                                                                                         programs and small businesses that                     able to resell, obtain discounts and
                                                 $27.5 million receipts level and 150-
                                                                                                         depend on them.                                        provide authorized services. Thus, the
                                                 employee level during fiscal years                        Several commenters argued that
                                                 2012–2014, nearly half (46 percent)                                                                            commenters claimed, the companies
                                                                                                         SBA’s proposal to eliminate the 150-                   with annual receipts of $27.5 million
                                                 were from contracts they received under                 employee size standard and retain the
                                                 NAICS codes other than NAICS 541519.                                                                           cannot effectively compete with large
                                                                                                         $27.5 million receipts based size                      companies for Federal IT requirements,
                                                 SBA agrees that, if the exception were                  standard would render ineligible the
                                                 eliminated, firms that currently qualify                                                                       but ITVARs with higher revenue can.
                                                                                                         vast majority of small businesses                      Some commenters claimed that the
                                                 as small for ITVAR contracts would                      currently performing ITVAR contracts                   ITVARs have the revenue base and
                                                 have to compete with larger companies                   under the above programs. According to                 creditworthiness to purchase millions or
                                                 with between 150 employees and 500                      the commenters, there would not be                     tens of millions of dollars of products
                                                 employees under the nonmanufacturer                     enough qualified small businesses                      and that the companies with less than
                                                 size standard, but the relevant data does               under the $27.5 million receipts based                 $27.5 million revenue are unable to
                                                 not support that the impacts would be                   size standard to perform large volumes                 obtain credit facilities necessary to
                                                 as detrimental as those characterized by                of complex ITVAR contracts. This                       purchase the product component of the
                                                 the commenters. However, this was an                    would force, the commenters claimed,                   solution. Several commenters argued
                                                 important factor for the SBA’s decision                 the agencies to procure such contracts                 that, if ITVAR contracts are subject to
                                                 to maintain the current 150-employee                    directly through OEMs or classify them                 the $27.5 million receipts based size
                                                 size standard in this final rule.                       under NAICS codes where businesses                     standard, agencies would not be able to
                                                    In response to concerns that the                     with 1,000 or 500 employees are                        use NAICS 541519 to procure a mix of
                                                 proposed rule would wipe out the                        considered small. Some commenters                      services and large volumes of computer
                                                 benefit the ITVAR exception provides to                 contended that the SBA’s proposed                      hardware and software.
                                                 ITVAR firms by enabling them to sell                    change would curtail the Government’s                     Some commenters argued that the
                                                 supplies under small business set-aside                 ability to count on a reliable small                   ITVAR exception has helped the Federal
                                                 contracts without the NMR, SBA                          business industrial base to provide these              government to obtain information
                                                 believes that, similar to all other small               IT products and services, while others                 systems to improve efficiency and reach
                                                 business supply acquisitions, all small                 claimed that it would eliminate                        its goals. Small ITVARs provide, they
                                                 business acquisitions for computer                      significant depth of products and                      explained, integrated solutions to
                                                 hardware and software, including those                  services the Government receives from                  complex IT challenges, allowing
                                                 classified under the ITVAR exception                    small ITVARs.                                          agencies to focus on their missions, and
                                                 must also comply with the NMR. The                        While some commenters seemed wary                    eliminating the ITVAR exception would
                                                 arguments that the compliance with the                  of having to compete with OEMs if the                  negatively impact the delivery of these
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                                                 NMR is complicated and cumbersome                       exception is removed, many others                      solutions and thus the missions of the
                                                 are not valid reasons for not following                 noted that most ITVARs have                            agencies. One commenter claimed that
                                                 statutory provisions. It should be noted                relationships with hundreds of OEMs,                   small ITVARs play a significant role in
                                                 that the proposed rule would have no                    thereby enabling them to obtain the                    maximizing Federal small business
                                                 impact on qualifying as small for                       most competitive pricing for a given                   utilization, while another noted that the
                                                 contracts that are primarily for services               product and provide the best solution to               elimination of Footnote 18 will
                                                 classified under the receipts based size                a customer need by combining the best                  negatively impact the recent progress


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                                                 4442              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 made toward meeting the Federal                         hardware and software and some                         million size standard that applies to
                                                 government small business contracting                   services valuing nearly $4 billion                     services contracts under NAICS 541519,
                                                 goal.                                                   annually using NAICS Industry Group                    SBA disagrees with the commenters’
                                                                                                         3341 and NAICS 423430. Almost half                     arguments that the proposed rule would
                                                 SBA’s Response
                                                                                                         (48%) of those dollars were awarded to                 decrease the pool of qualified ITVAR
                                                    SBA does not agree with the                          small businesses, of which nearly 75                   contractors. However, these arguments
                                                 commenters’ contention that the                         percent went to firms with fewer than                  support SBA’s concerns that having the
                                                 proposed rule would have a devastating                  150 employees. Even with the ITVAR                     ITVAR exception under the services
                                                 impact on Federal programs and small                    exception, agencies have used NAICS                    NAICS code and allowing agencies to
                                                 businesses that depend on them. As                      Industry Group 3341 and other                          include significant services in ITVAR
                                                 stated earlier in this preamble, under                  manufacturing NAICS codes to classify                  contracts may have negatively impacted
                                                 the proposed rule, not a single ITVAR                   IT supply acquisitions under various                   companies below the receipts based size
                                                 firm below 150 employees would lose                     GWACs. For example, during fiscal                      standard by forcing them to compete for
                                                 its small business status to qualify for                years 2012–2014, NAICS Industry                        small business contracts with
                                                 ITVAR contracts as small businesses.                    Group 3341 accounted for almost all                    companies that have much higher
                                                 Moreover, a size standard change would                  contract dollars under NIH’s ECS–3 and                 revenue base and financial resources.
                                                 have no impact on small business status                 nearly three-fifths of dollars awarded                   With respect to the commenter’s
                                                 for current contracts; it would only                    under Army’s ITES–2H, and nearly 15                    argument that the ITVAR exception
                                                 affect future contracts. If Footnote 18                 percent under NASA’s SEWP IV.                          plays a role in maximizing small
                                                 were removed as proposed, ITVAR                         Similarly, all contracts under Air                     business participation in government
                                                 contracts, which are by definition                      Force’s NETCENTS–2 were classified                     contracting and meeting the Federal
                                                 supply contracts, would be reclassified                 under NAICS 334210. The data on                        government small business contracting
                                                 under a higher manufacturing size                       companies receiving contracts under                    goal, SBA considers the share of
                                                 standard along with the 500-employee                    various GWACs that utilized the ITVAR                  contract dollars awarded to small
                                                 nonmanufacturer size standard. As a                     exception and 150-employee size                        businesses relative to their share in the
                                                 result, all currently small ITVARs                      standard does not appear to support the                overall industry as one of the primary
                                                 would continue to qualify as small                      commenters’ argument that the                          factors in determining size standards for
                                                 businesses to provide exactly the same                  companies at or below the receipts                     specific industries. However, whether
                                                 products and services they are currently                based size standard lack financial                     the government is meeting its small
                                                 providing to the Federal government                     resources and personnel to perform                     business goal is not considered as a
                                                 under the ITVAR exception.                              ITVAR contracts. During fiscal years                   factor because that is influenced by a
                                                    SBA also does not agree with the                     2012–2014, there were 155 GWAC                         myriad of factors, mostly unrelated to
                                                 concerns that, under the proposed rule,                 contracts (i.e., with dollar awards) set               size standards. Further, agencies can
                                                 there would not be enough qualified                     aside for small businesses using the                   request that SBA waive the NMR, which
                                                 small businesses below the $27.5                        ITVAR exception for a total of $5.4                    would enable the agencies to set aside
                                                 million receipts based size standard for                billion in dollars obligated. Small                    the very same acquisitions for small
                                                 the Government to choose from to                        businesses below the receipts based size               business concerns, under the
                                                 perform large volumes of complex                        standard accounted for more than 70                    manufacturing NAICS code and
                                                 ITVAR contracts. First, if the exception                percent of those contracts and 40                      utilizing the nonmanufacturer size
                                                 is removed, ITVAR contracts would be                    percent of dollars awarded.                            standard of 500 employees. Moreover,
                                                 reclassified under one of the                              SBA does not agree with the argument                class waivers already exist for a wide
                                                 manufacturing NAICS codes, with the                     that by losing small business status,                  range of IT products under computer
                                                 higher manufacturing size standard                      under the proposed rule, ITVARs would                  and peripheral equipment
                                                 along with the 500-employee                             also lose the relationships they have                  manufacturing related NAICS codes that
                                                 nonmanufacturer size standard, not the                  with OEMs to be able to provide the                    may cover the types of IT products
                                                 $27.5 million receipts based standard                   Government with best mix of products                   purchased using the ITVAR exception.
                                                 for NAICS 541519. Second, because                       at most competitive prices. As
                                                 additional ITVARs between 150                                                                                  Comments That the Proposed Rule Is
                                                                                                         explained elsewhere in this rule, even if
                                                 employees and 500 employees could                                                                              Contrary to SBA’s Previous Rules
                                                                                                         the exception is removed, because they
                                                 also compete on those contracts as small                would maintain their small business                       Several commenters argued that the
                                                 businesses, there would actually be                     status for ITVAR contracts under the                   SBA’s proposed rule is contrary to its
                                                 more small businesses, not fewer,                       500-employee nonmanufacturer size                      justification and analysis it provided in
                                                 available for the agencies to choose                    standard, there is no reason why they                  its 2002 proposed rule (67 FR 48419
                                                 from. Therefore, SBA does not believe                   would not be able to maintain their                    (July 24, 2002)) and 2003 final rule (68
                                                 that the proposed rule would                            relationship with OEMs and use that in                 FR 74833 (December 29, 2003)) for
                                                 necessarily lead the agencies, due to                   future contracts. While SBA recognizes                 establishing the ITVAR exception and
                                                 lack of small businesses, to procure IT                 that the relationship ITVARs have with                 150-employee based size standard, as
                                                 products directly from OEMs or large                    OEMs plays an important role in the                    well as its 2011 proposed rule (76 FR
                                                 businesses. SBA also does not believe                   Federal IT marketplace, the Agency is                  14323 (March 16, 2011)) and 2012 final
                                                 that this would necessarily have any                    concerned with the negative impact it                  rule (77 FR 7490 (February 10, 2012)) on
                                                 impact on quality or depth of products                  could have on many small                               NAICS Sector 54 (Professional,
                                                 or services the government receives.                    manufacturers of various IT products,                  Scientific and Technical Services),
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                                                 Every year the agencies allocate billions               especially given the fact that, according              where the Agency reaffirmed the 150-
                                                 of dollars to the manufacturing NAICS                   to one commenter, almost 75 percent of                 employee size standard for the
                                                 codes and NAICS 423430 (albeit                          Federal sales of many leading OEMs are                 exception. The commenters argued that
                                                 incorrectly) to procure computer                        fulfilled through their ITVAR partners.                the SBA’s 2002/2003 and 2011/2012
                                                 hardware and software. For example,                        As discussed earlier, if the exception              rationale that an employee based size
                                                 during fiscal years 2012–2014, the                      is eliminated, because ITVAR contracts                 standard, not the receipts, was an
                                                 Federal government procured computer                    would not be subject to the $27.5                      accurate and appropriate measure of


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                           4443

                                                 small business size for ITVARs is even                  primarily merchant wholesalers or                      elsewhere in this rule, the proposed
                                                 more appropriate today. One commenter                   distributors of the computer hardware                  rule, would only have led to
                                                 stated that selling a combination of                    and software products with a very                      reclassifying ITVAR contracts using
                                                 computer hardware and software and                      different production function when                     applicable manufacturing NAICS codes
                                                 services still exists as a distinctive                  compared to firms in NAICS 541519.                     in which ITVAR firms would continue
                                                 industry category and that it should be                 The analyses many commenters                           to qualify under the 500-employee
                                                 retained. Another reiterated several                    provided to support their position that                nonmanufacturer size standard. The
                                                 reasons SBA provided when                               ITVAR firms have very different                        nature of the work under ITVAR
                                                 establishing the exception in its 2002/                 revenue and cost structure as compared                 contracts would remain intact. First,
                                                 2003 rulemaking and argued they are                     to their counterparts in NAICS 541519                  current small ITVARs would continue
                                                 still valid today. First, the ITVAR sub-                also demonstrate that including the                    to qualify to participate in Federal IT
                                                 industry serves the Federal                             ITVAR exception under NAICS 541519                     market as small businesses and provide
                                                 government’s preference to go to a                      is inconsistent with differences in                    a combination of computer hardware
                                                 single source to obtain IT equipment                    economic realities between the ITVAR                   and software and services to the Federal
                                                 and supporting services. Second, most                   industry and NAICS 541519.                             government. Second, under the NMR,
                                                 acquisitions are for numerous IT                        Additionally, as discussed elsewhere in                Federal agencies would continue to be
                                                 products, and it is unrealistic to expect               this rule, SBA now finds that its                      able to procure multiple products
                                                 one manufacturer to produce all of the                  approach to creating the ITVAR                         through a single distributer or reseller
                                                 required items. Third, IT contracts often               industry by combining parts of NAICS                   instead of having to go to individual
                                                 require the contractor to customize the                 Industry Group 5415 and NAICS 423430                   manufacturers of different products.
                                                 computer hardware or install                            was also not correct.                                  Third, classifying acquisitions of IT
                                                 specialized software to meet an                            Second, the 2003 final rule defined                 products under the manufacturing
                                                 individual user’s needs. Fourth, the new                ITVAR contracts as services contracts,                 NAICS codes along with a higher 500-
                                                 industry category enables agencies to                   even if services, by definition, never                 employee nonmanufacturer size
                                                 better utilize small business preference                account for more than 50 percent of                    standard should, in fact, help, not
                                                 programs for their IT acquisitions.                     total values of such contracts, thereby                hinder, Federal agencies to better utilize
                                                    Several commenters were concerned                    exempting them from the manufacturing                  small business set-aside programs for
                                                 that SBA did not provide any                            performance requirements and NMR.                      acquisitions of IT supplies, because
                                                 explanation or reason why the                           These rules are critical to ensure that                agencies would have a larger pool of
                                                 justification, rationale, or industry                   small businesses are the ultimate                      small businesses to draw from to meet
                                                 analyses provided in its 2002/2003 and                  beneficiaries of small business set-aside              their needs.
                                                 2011/2012 rulemakings no longer apply                   contracts. The statutory manufacturing
                                                 in 2014. Commenters suggested SBA                       performance requirements and NMR                       Comments That the Proposed Rule
                                                 provided no facts or reasons showing                    provisions apply to all supply contracts,              Lacks Industry Data and Analysis
                                                 changes in the ITVAR industry and                       and do not exempt information                             Many commenters contended that the
                                                 Federal IT procurement to justify its                   technology acquisitions.                               proposed rule does not provide the
                                                 proposal to eliminate the employee size                    SBA disagrees with the commenters’                  required industry analysis and latest
                                                 standard in the current proposed rule.                  argument that the proposed rule is                     economic data to justify the removal of
                                                 Some commenters argued that because                     against its 2011/2012 rulemaking on                    the ITVAR exception and its 150-
                                                 SBA is not able to provide a convincing                 NAICS Sector 54. It should be noted that               employee size standard similar to what
                                                 justification for its proposed removal of               SBA’s decision to retain the 150-                      SBA provided in its 2003 final rule to
                                                 the ITVAR exception it established in                   employee based size standard for the                   establish the exception and the size
                                                 the 2002/2003 rulemaking, it should                     ITVAR exception under Footnote 18 in                   standard. Two commenters argued that
                                                 retain it. Still some complained that                   its 2011/2012 rulemaking was not based                 the proposed rule does not provide the
                                                 SBA’s decision to establish the ITVAR                   on the analysis of the relevant industry               required analyses of the industry and
                                                 sub-industry and its 150-employee size                  and market data. The SBA’s decision to                 competitive environment as required by
                                                 standard in 2003 was based on a                         retain the 150-employee size standard                  the statute in support of the proposed
                                                 detailed analysis of market and industry                was only temporary until the Agency                    elimination of the ITVAR exception.
                                                 data, but its current proposal to repeal                reviewed employee based size                           One of those two commenters also
                                                 it without similar analysis or other                    standards. In the same rule, SBA had                   contended that the proposed rule does
                                                 persuasive reasons cannot be justified.                 also retained the employee based size                  not provide the detailed impact analysis
                                                                                                         standards for NAICS codes 541711 and                   of the proposed change to the ITVAR
                                                 SBA’s Response                                          541712, which the Agency proposed to                   size standard as required by the
                                                    As the result of the review of its small             change in the September 10, 2014                       Regulatory Flexibility Act (RFA). The
                                                 business regulations and size standards                 proposed rule.                                         same commenter argued that SBA’s
                                                 as required by Executive Order 13563                       SBA does not believe that                           rationale that the ITVAR exception has
                                                 and the Jobs Act, SBA now believes that                 reclassifying ITVAR contracts under the                resulted in inconsistencies, confusion,
                                                 the two key provisions of the 2003 final                manufacturing NAICS codes would                        and misuse does not in itself justify its
                                                 rule are inappropriate, which SBA is                    require the agencies to make significant               elimination that will have a substantial
                                                 attempting to amend through this                        changes to the ways they acquire                       impact on a significant number of small
                                                 rulemaking.                                             computer hardware and software using                   businesses. Several commenters argued
                                                    First, the Agency’s decision in its                  the ITVAR exception, except that the                   that the proposed rule provides no
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                                                 2002/2003 rulemaking to place the                       agencies would be required to comply                   discussion, analysis, data, or valid
                                                 ITVAR exception for supply contracts as                 with the NMR. The proposed rule                        reasons as to why the SBA now
                                                 a sub-industry category under NAICS                     would have eliminated the ITVAR sub-                   considers the proposed approach to be
                                                 541519, a services NAICS code, is                       industry only as an exception to NAICS                 appropriate, when in 2002–2003 it
                                                 inconsistent with NAICS industry                        541519, but would not have eliminated                  established the ITVAR exception and
                                                 definitions. Under NAICS, as also noted                 the ITVAR industry in its entirety from                considered the receipts based size
                                                 in the 2003 final rule, ITVARs are                      the Federal IT market. As explained                    standard not appropriate for ITVARs.


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                                                 4444              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 Some commenters noted that the                          conclusions from the 2007 Economic                     about the potential impact the proposed
                                                 proposed rule is based on unfounded                     Census.                                                rule would have on current small
                                                 conclusions and represents an error in                    Other commenters also challenged                     ITVARs, SBA analyzed the 2007
                                                 judgment that would have dire                           SBA’s seemingly conflicting statements                 Economic Census data for NAICS
                                                 consequences for many small businesses                  in the proposed rule. For instance, in                 541519 because the ITVAR exception is
                                                 and a number of government programs.                    one place, SBA stated that, based on                   under that NAICS code. That analysis
                                                    Many commenters challenged the                       2007 Economic Census, 99 percent of                    suggested that 150 employees is more or
                                                 results from the 2007 Economic Census                   small ITVARs will retain their small                   less equivalent to $27.5 million for firms
                                                 data that SBA included in the proposed                  business status under the receipts based               in that industry. The results also
                                                 rule that ‘‘150 employees is more or less               size standard, while elsewhere in the                  showed that 99 percent of firms with
                                                 equivalent to $27.5 million receipts in                 rule it acknowledged that the Economic                 150 or fewer employees would have
                                                 NAICS 541519 and that more than 99                      Census do not provide the data to                      receipts below $27.5 million. SBA
                                                 percent of firms below the 150-                         analyze sub-industry categories or                     agrees with the comments that these
                                                 employee level will continue to qualify                 exceptions. The commenters argued that                 results most likely apply to all firms
                                                 as small under the $27.5 million                        this shows SBA lacks an understanding                  within NAICS 541519 and not
                                                 receipts based size standard.’’ Using a                 of the economic realities and                          necessarily to ITVAR firms, given the
                                                 sample of small ITVARs awarded                          characteristics of the ITVAR industry                  differences in economic characteristics
                                                 contracts under the various GWAC                        and has no knowledge of the number of                  between the two. In response to the
                                                 vehicles (such as DHS’s FirstSource II,                 small businesses receiving contracts                   comments, SBA analyzed the data on
                                                 Air Force’s NETCENTS–2, and NASA’s                      under the 150-employee size standard.                  firms receiving ITVAR contracts and
                                                 SEWP V), one commenter countered the                    This led, as some commenters                           other contracts under NAICS 541519
                                                 Economic Census results that the                        contended, SBA to come to the faulty                   and Economic Census data for NAICS
                                                 average size of small ITVAR companies                   conclusion that 99 percent of firms                    541519 and 423430. The results, as
                                                 was about $48 million in receipts and                   below the 150-employee size standard                   detailed elsewhere in this final rule,
                                                 45 employees and that more than 50                      would continue to qualify as small                     would support the commenters’ claims
                                                 percent of ITVARs between $27.5                         under the $27.5 million receipts based                 that the results for NAICS 541519 do not
                                                 million and 150 employees would lose                    size standard.                                         provide an accurate description of
                                                 their small business status under the                   SBA’s Response                                         ITVAR firms. The results would also
                                                 SBA’s proposed change. The same                                                                                support SBA’s assessment that it would
                                                                                                            SBA’s proposal to remove the ITVAR                  be inappropriate to include the ITVAR
                                                 commenter also stated that 12 of 13 of                  exception was not driven by the
                                                 its small ITVAR clients had receipts in                                                                        sub-industry as an exception to NAICS
                                                                                                         analysis of the industry data. Rather, the             541519.
                                                 excess of $27.5 million (average $123                   proposal was primarily driven by the                      With respect to the commenters’
                                                 million) and averaging only 50                          need to eliminate obvious                              challenge to the SBA’s statement on the
                                                 employees. Using a scenario analysis                    inconsistencies, confusion, and misuse                 equivalence between 150 employees
                                                 with various percentages of value added                 that the ITVAR exception has created. In               and $27.5 million receipts, it should be
                                                 services and the average wage for the IT                response to the comments, elsewhere in                 noted that, using the 1997 Economic
                                                 sector, another commenter                               this final rule, SBA has provided a                    Census data, SBA had reached a similar
                                                 demonstrated that 150 employees is not                  detailed analysis of data on firms                     conclusion in the 2003 final rule that
                                                 equivalent to $27.5 million in receipts.                receiving ITVAR contracts. Regarding                   150 employees is equivalent to the
                                                 Another commenter countered the                         the comment relating to the lack of the                average number of employees of firms
                                                 Economic Census results by saying that                  impact analysis of the proposed rule, as               under the then $21 million receipts
                                                 virtually all ITVARs have annual                        part of regulatory impact analysis as                  based size standard for computer related
                                                 receipts exceeding $27.5 million, while                 required by Executive Order 12866 and                  services (NAICS Industry Group 5415)
                                                 employing significantly fewer than 150                  initial regulatory flexibility analysis                (68 FR 74833). In fact, the discussion in
                                                 employees and in many cases fewer                       (IRFA) as required by the RFA, SBA                     the 2003 final rule indicates that the
                                                 than 50. Similarly, another contended                   provided the estimate for the number of                equivalence between the receipts based
                                                 that the Economic Census (but did not                   small businesses impacted by changes                   size standard at that time and 150-
                                                 specify which Economic Census) shows                    to industry size standards covered by                  employee level was the key factor for
                                                 72 percent of ITVARs, not 99 percent,                   the proposed rule, along with the                      establishing the 150-employee size
                                                 would qualify as small under the $27.5                  estimates on the impacts on small                      standard for the ITVAR exception,
                                                 million receipts based size standard.                   business participation in Federal                      although the vast majority of the
                                                 Several others also claimed that SBA’s                  procurement and SBA financial                          commenters on the SBA’s proposed 500-
                                                 statements are not supportable, but did                 assistance programs. As in all previous                employee size standard had suggested
                                                 not provide or suggest the specific data                proposed and final rules on size                       using a 100-employee size standard.
                                                 to support their claims.                                standards for other NAICS sectors, SBA                 Moreover, given the equivalence
                                                    A number of commenters dismissed                     only provided the aggregate estimates of               between 150 employees and the then
                                                 the above results as being based on the                 the impacts for all affected industries,               $21 million size standard for NAICS
                                                 outdated data, arguing that the 2007                    instead of separate estimates for each                 Industry Group 5415, in the 2003 final
                                                 economic data has no relevance for                      industry or sub-industry.                              rule, SBA even contemplated using the
                                                 contracts awarded in 2014 under NAICS                      As explained in the proposed rule, the              same receipts based size standard for
                                                 541519, especially to ITVAR contracts                   Economic Census data SBA uses for size                 the ITVAR industry.
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                                                 awarded under the 150-employee size                     standards analysis are limited to the 6-                  Regarding some commenters’
                                                 standard. Some argued that SBA’s                        digit NAICS industry codes and hence                   concerns that SBA’s results based on the
                                                 results only apply to IT service provider               do not provide the data for sub-industry               2007 data are outdated and have no
                                                 firms in NAICS 541519, but not to                       categories or ‘‘exceptions,’’ including                relevance to contracts awarded in 2014,
                                                 ITVAR firms, while others contended                     the ITVAR sub-industry. Given the lack                 it should be noted that the 2007
                                                 that SBA provides no other recent                       of data specific to the ITVAR sub-                     Economic Census is the latest and most
                                                 economic data to support its                            industry, to get some general sense                    comprehensive industry data available


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                          4445

                                                 to the Agency when the proposed rule                    One commenter noted that there has                     dollar value of the IT product
                                                 was developed and this final rule was                   been no single investigation from the                  component of an ITVAR acquisition, the
                                                 prepared. The data on the more recent                   GAO or SBA’s Inspector General to                      product is not the principal purpose of
                                                 2012 Economic Census tabulation will                    substantiate the SBA’s position. Others                these acquisitions. Responding to the
                                                 not be available until late 2016. It                    argued that to eliminate the ITVAR                     same issue, another commenter
                                                 should also be noted that the SBA’s                     exception, SBA did not provide similar                 contended that SBA fails to account for
                                                 analysis in the 2003 final rule that                    data and analyses that the Agency                      numerous ways the Federal government
                                                 established the 150-employee based size                 provided in its 2003 final rule.                       treats IT purchases differently than
                                                 standard for ITVARs was also based on                     Several commenters dismissed SBA’s                   other types of purchases, as reflected in
                                                 the similarly outdated 1997 Economic                    justification for the proposed rule that               the TechFAR. The same commenter
                                                 Census data. As discussed elsewhere in                  the ITVAR exception has created some                   went on to challenge the proposed rule
                                                 the rule, several commenters noted that                 inconsistencies, confusion, and misuse                 for not addressing the concerns that led
                                                 there has been no material change in the                as being vague, conjectural, and                       to the creation of the ITVAR size
                                                 ITVAR industry since the 2003 final                     speculative. In response to SBA’s                      standard that still exist today.
                                                 rule, which bodes well with using the                   statement about the confusion due to                      In response to SBA’s language that it
                                                 2007 data. Many commenters criticized                   the inability of contracting officers to               is also unclear from the terms of the
                                                 the 2007 Economic Census data as                        identify size standards exceptions in                  exception itself whether a contract using
                                                 outdated, but except for a limited                      FPDS–NG, some commenters suggested                     the ITVAR 150-employee size standard
                                                 sample data on companies receiving                      that SBA should pursue modification of                 should be classified as a service contract
                                                 ITVAR contracts under some GWACs or                     FPDS–NG, while others suggested                        or a supply contract, one commenter
                                                 some general suggestions to look at the                 adding an independent ITVAR NAICS                      noted that with or without Footnote 18,
                                                 data on FPDS–NG and USASpending,                        code.                                                  NAICS 541519 is a service NAICS code
                                                 commenters really did not provide or                      With respect to the SBA’s statement                  and that, according to the 2003 rule, the
                                                 suggest alternative data to evaluate the                that in many cases Federal agencies                    NMR does not apply to small business,
                                                 ITVAR industry.                                         have applied the 150-employee size                     8(a), or HUBZone set-aside contracts
                                                   In response to the comments, using                    standard, instead of the receipts based                classified under the ITVAR exception.
                                                 the data from small business goaling                    size standard, for contracts that were                    Several commenters also challenged
                                                 reports and FPDS–NG for fiscal years                    primarily for services, thereby                        the SBA’s statement that the lack of data
                                                 2012–2014 (the latest available when                    benefitting more successful or mid-sized               on characteristics of firms in ITVAR
                                                 the final rule was prepared), SBA                       companies at the expense of those                      activities in the Economic Census
                                                 analyzed receipts and number of                         below the receipts based size standard,                tabulation and FPDS–NG to evaluate the
                                                 employees for firms receiving contracts                 one commenter noted that                               current 150-employee size standard also
                                                 under various GWACs and task orders                     misapplications of NAICS codes are not                 justifies the proposal to eliminate the
                                                 that used the ITVAR exception. The                      limited to Footnote 18 and that SBA did                ITVAR sub-industry category by arguing
                                                 results showed, of about 260 such firms,                not present any evidence to show that                  that the lack of data or government
                                                 about 60 firms had 150 or fewer                         Footnote 18 is particular cause of error,              inability to collect or track the data are
                                                 employees and receipts above $27.5                      while another argued that SBA did not                  not valid reasons for the elimination of
                                                 million. Although this figure is higher                 provide the data to support its                        the exception or changing industry size
                                                 than the one suggested by the 2007                      argument. The commenters suggested                     standards. Some commenters criticized
                                                 Economic Census, this is quite small                    that training and guidance to                          the Agency for making no attempt to
                                                 relative to some commenters’ claim that                 procurement personnel would be a                       obtain the necessary data, while others
                                                 thousands of currently small ITVARs                     better remedy than eliminating the                     contended that the lack of data to
                                                 exceed $27.5 million and lose their                     exception. On the same issue, one                      support any change should mean that
                                                 small business status under the                         commenter noted that misuse is not the                 SBA should take no action in the first
                                                 proposed rule. More importantly, as                     valid reason to eliminate the exception,               place. For the data, some commenters
                                                 stated elsewhere in this final rule, under              because it is a training issue and it is               suggested either splitting the NAICS
                                                 the proposed rule, none of the firms                    SBA’s responsibility to ensure that the                541519 or creating a new NAICS code
                                                 between the $27.5 million receipts level                exception is used correctly.                           for ITVARs, while others suggesting
                                                 and 150-employee employee level                           With regard to the SBA’s statement                   reproducing the analysis from the SBA’s
                                                 would actually lose their small business                that firms may or may not be eligible as               2002/2003 rulemaking.
                                                 status because they would continue to                   small for the exact purchase simply
                                                                                                         based on the contracting officer’s                     SBA’s Response
                                                 qualify as small for the IT supply
                                                 contracts under the 500-employee                        selection of the NAICS code and size                     As stated elsewhere in this rule,
                                                 nonmanufacturer size standard. In fact,                 standard, the commenter countered that                 SBA’s proposal to remove the exception
                                                 based on the same data, the majority of                 this is not an issue limited to                        was not driven by the analysis of the
                                                 ITVARs below 150 employees and                          procurements using Footnote 18. The                    Economic Census data. Rather SBA’s
                                                 above $27.5 million receipts were                       commenter argued that this is the nature               proposal was primarily driven by the
                                                 already found to have received IT                       of the Federal acquisition process,                    need to eliminate inconsistencies,
                                                 supply contracts as small businesses                    which gives discretion to contracting                  confusion, and misuse that the ITVAR
                                                 under the 500-employee                                  officers in selecting the NAICS code and               exception has created. In response to the
                                                 nonmanufacturer size standard.                          the size standard.                                     comments, elsewhere in this rule, the
                                                                                                           With respect to the SBA’s assessment                 Agency has provided a detailed analysis
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                                                 Comments That SBA Provides No                           that the combination of services and                   of the ITVAR industry, using both the
                                                 Evidence for Its Rationale                              supplies in an acquisition is not unique               Economic Census data and the relevant
                                                   Several commenters claimed that SBA                   to the IT industry, one commenter                      procurement data.
                                                 provides no evidence, facts, or data to                 claimed that the general principle is that               As explained in the proposed rule, the
                                                 support its justification to eliminate the              agencies classify procurements based on                major source of confusion and
                                                 ITVAR exception because it has created                  the principal purpose of the acquisition               misunderstanding with all ‘‘exception’’
                                                 inconsistencies, confusion, and misuse.                 and that regardless of the relatively high             size standards, including the 150-


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                                                 4446              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 employee ITVAR size standard, is that                   unclear whether the services or supply                 products and services are currently
                                                 FPDS–NG (https://www.fpds.gov/) does                    requirements of the limitation on                      using the receipts based size standard,
                                                 not allow contracting offers to enter the               subcontracting should apply to these                   ITVAR exception with the 150-
                                                 specific size standard under which the                  contracts and whether the prime                        employee size standard, or the higher
                                                 awardee was ‘‘small.’’ The only                         contractors are meeting those                          manufacturing size standards and
                                                 designation they can enter is whether                   requirements. Similarly, confusion also                nonmanufacturer size standard of 500
                                                 the awardee was ‘‘SMALL’’ or ‘‘OTHER                    exists both among contracting officers                 employees. SBA reviewed a sample of
                                                 THAN SMALL.’’ For example, if a                         and industry participants with respect                 procurements posted on the Federal
                                                 contract under NAICS 541519 was                         to the application of the NMR for the                  Business Opportunities (FBO) Web site
                                                 awarded to a ‘‘small’’ business, the                    supply component of the contract. For                  at http://www.fbo.gov and found that
                                                 FPDS–NG data do not show whether the                    the same reason, it is also difficult to               procuring agencies appear to have
                                                 awardee qualified as ‘‘small’’ under the                ascertain if resellers provided the                    struggled with selecting the appropriate
                                                 regular receipts based size standard or                 supplies produced by small domestic                    NAICS code, or a size standard for set-
                                                 under the 150-employee ‘‘exception’’                    manufacturers, large OEMs, or other                    aside procurements involving the mix of
                                                 size standard. SBA agrees with the                      large manufacturers. If the resellers                  computer hardware and software and
                                                 commenters that such confusion applies                  provided the supplies produced                         services. For example, solicitations that
                                                 to all exceptions, not just the ITVAR                   primarily by the large OEMs or other                   seemed to be for equipment, software
                                                 exception. However, in view of the large                large manufacturers, without a waiver of               and maintenance used the receipts
                                                 value of contracts the agencies award                   the NMR that would be inconsistent                     based size standard, while those that
                                                 each year using the ITVAR exception                     with the intent of the Small Business                  appeared to be primarily for
                                                 and the data, as discussed below,                       Act. SBA is concerned that without the                 maintenance services applied the 150-
                                                 indicating the inconsistent application                 compliance with the NMR, the ITVAR                     employee size standard. Similarly, some
                                                 of the exception in procuring the mix of                exception may have allowed small IT                    solicitations that seemed to be primarily
                                                 products and services, SBA is                           resellers to simply serve as ‘‘pass                    for supplies and some services used the
                                                 particularly concerned with the ITVAR                   throughs’’ for large OEMs and other                    receipt based size standard instead of
                                                 exception.                                              large manufacturers. Some commenters                   the employee based size standard. In
                                                    Some commenters suggested creating                   stated that as much as 75 percent of                   some cases, both the receipt based and
                                                 a separate NAICS industry code for                      total sales of many leading OEMs are                   the 150-employee based size standards
                                                 ITVAR firms with its own size standard                  fulfilled through their ITVAR partners.                were included. If a contract is primarily
                                                 to address this issue. However, SBA                        With respect to the comment that,                   a supply contract, along with some
                                                 disagrees for two reasons. First, SBA                   according to the 2003 final rule, the                  services, that would qualify for the
                                                 does not have authority to create or                    NMR does not apply to small business                   ITVAR exception, contracting officers
                                                 modify NAICS industry definitions.                      set-aside contracts classified under the               can still use the higher manufacturing
                                                 Second, a relevant NAICS code already                   ITVAR exception, SBA now determines                    size standards (such as 1,000 employees
                                                 exists—NAICS 423430 (Computer and                       that treating ITVAR contracts as services              for NAICS 334111, Electronic Computer
                                                 Computer Peripheral Equipment and                       contracts and to exempt them from the                  Manufacturing) or the 500-employee
                                                 Software Merchant Wholesalers). The                     NMR was an error in the 2002/2003                      nonmanufacturer size standard. SBA
                                                 NAICS classifies establishments based                   rule, which the agency is attempting to                found several small business
                                                 on their primary activity. ITVAR firms                  correct in the current rulemaking.                     solicitations involving integration of IT
                                                 may provide some value added IT                         Additionally, to include the ITVAR
                                                                                                                                                                hardware, software and services, but the
                                                 services; however, since selling and                    firms, which are, by NAICS definition,
                                                                                                                                                                contracting officer used NAICS 334112,
                                                 distributing computer hardware and                      wholesalers and distributors of
                                                                                                                                                                Computer Storage Device
                                                 software is their primary activity, they                computer hardware and software, as
                                                                                                                                                                Manufacturing, with a size standard of
                                                 are still classified under NAICS 423430.                part of a service NAICS code was also
                                                                                                                                                                1,000 employees, instead of the ITVAR
                                                 The SBA’s 2003 final rule also noted                    an error the proposed rule intended to
                                                                                                                                                                exception with 150-employee size
                                                 that ITVAR firms are basically                          correct. Finally, including ITVAR
                                                                                                                                                                standard.
                                                 Computer and Computer Peripheral                        contracts, which are by definition
                                                 Equipment and Software Merchant                         supply contracts, as an exception under                   Some commenters believed that SBA
                                                 Wholesalers. More importantly, many                     a service NAICS code was also                          used the lack of data as a reason to
                                                 commenters also asserted that most of                   inconsistent with SBA’s regulations and                eliminate the exception, but, as
                                                 their revenues come from the sales of                   NAICS industry definitions. Many                       explained in the proposed rule and
                                                 computer hardware and software. Under                   commenters also argued and provided                    elsewhere in the final rule, the lack of
                                                 SBA’s rules, agencies do not use                        supporting data that economic                          data was not the primary reason to
                                                 wholesale or retail NAICS codes for                     characteristics of the ITVAR firms are                 eliminate the ITVAR exception. What
                                                 small business set-aside supply                         significantly different from those for IT              SBA indicated in the proposed rule was
                                                 contracts. Agencies use the                             services firms in NAICS 541519. This                   that eliminating the exception would
                                                 manufacturing NAICS code that                           provides further support to the SBA’s                  also address the challenge the Agency
                                                 describes the product to be acquired,                   determination in the proposed rule that                faces, due to the lack of data, when
                                                 and firms may qualify under the                         the ITVAR exception should not be                      evaluating the exception size standard
                                                 manufacturing size standard or the 500-                 classified under NAICS 541519.                         in the same manner the Agency
                                                 employee nonmanufacturer size                              Regarding the comment that the                      evaluates the size standards for regular
                                                 standard.                                               proposed rule does not provide any data                industries using the industry data from
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                                                    Confusion also exists with respect to                to support the reason that the ITVAR                   the Economic Census. For the reasons
                                                 prime contractor performance                            exception has created misuse, it should                provided elsewhere in this rule, SBA
                                                 requirements or ‘‘limitations on                        be noted that SBA’s regulations do not                 does not agree with the commenters’
                                                 subcontracting’’ (see 13 CFR 125.6 and                  require the agencies to use the ITVAR                  suggestions for creating a new NAICS
                                                 FAR 52.219–14). Since ITVAR contracts                   exception and its 150-employee size                    code for ITVAR firms or reproducing the
                                                 contain both services and supply                        standard. The data show that different                 analysis from the Agency’s 2002/2003
                                                 (computer hardware) components, it is                   agencies acquiring the same mix of IT                  rulemaking to address the concern for


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                           4447

                                                 the lack of data on the ITVAR exception.                revenue of ITVARs comes from the sale                  the agencies to procure computer
                                                 First, SBA does not see the need for                    of computer hardware and software.                     hardware and software with services
                                                 creating a new NAICS code for ITVAR                        One commenter noted that in creating                using the ITVAR exception under
                                                 firms, because such a NAICS code                        the ITVAR exception, SBA identified                    NAICS 541519. Moreover, the small
                                                 already exists in NAICS 423430.                         ITVARs as a distinct industry from both                business ITVAR contracts, although by
                                                 Second, the analysis SBA provided in                    IT product distributors and IT service                 definition they are predominantly
                                                 its 2002/2003 rules has several flaws. In               providers. The key differentiator was                  supply contracts, are not subject to the
                                                 accordance with its current size                        the delivery of IT solutions involving                 NMR, thereby allowing small ITVARs to
                                                 standards methodology, SBA has                          both IT products and services, the                     provide products from the large
                                                 presented an alternative approach to                    commenter added. The commenter                         manufacturers, including foreign
                                                 analyzing the ITVAR industry and                        argued that significant changes in the IT              manufacturers.
                                                 determining its size standard.                          landscape, especially the cloud, have                     In the 2003 final rule, to arrive at the
                                                    SBA is also concerned that by                        validated the existence of ITVAR                       Federal procurement factor to determine
                                                 allowing contracting officers to combine                industry. The commenter claimed that                   the ITVAR size standard, SBA used
                                                 services contracts with supply contracts,               cloud cannot be effectively delivered by               Product and Service Code (PSC)
                                                 the ITVAR exception might be hurting                    a small business under a product based                 Category D ‘‘Information Technology
                                                 small businesses that are primarily                     NAICS. Delivering cloud to the                         and Telecommunications’’ (PSC codes
                                                 involved in IT services and are below                   government is a perfect example of an                  D301 through D399) to identify the
                                                 the $27.5 million receipts based size                   ITVAR solution and the transition from                 ‘‘ITVAR type’’ contracts (i.e., those
                                                 standard. The commenters who                            a customer’s current environment to the                involving the mix of computer hardware
                                                 supported the SBA’s proposal also                       cloud requires significant services, the               and software and services). During fiscal
                                                 shared these concerns. As discussed                     commenter added. ITVARs leverage the                   years 2001–2003, such PSCs accounted
                                                 elsewhere in this rule, after the                       capabilities of a cloud provider with the              for more than 81 percent of total dollars
                                                 exception, the share of supply                          addition of their own services to                      awarded under small business set-aside
                                                 dominated contracts in total dollars                    support delivery of a solution. The                    contracts in NAICS 541519 and about 70
                                                 awarded under small business contracts                  commenter argued that by treating an                   percent for other industries in NAICS
                                                 in NAICS 541519 increased sharply at                    ITVAR contract as a service contract                   Industry Group 5415. That figure for
                                                 the expense of the share of purely                      versus a product contract tied to the                  fiscal years 2012–2014 decreased to 40
                                                 services oriented contracts.                            NMR makes small business                               percent for NAICS 541519 and to 64
                                                    SBA also determines that some of the                 participation in migration to cloud                    percent for other industries in NAICS
                                                 other reasons the Agency provided to                    possible.                                              Industry Group 5415. Much of this
                                                 create the ITVAR sub-industry category                                                                         decrease in NAICS 541519 could be
                                                 in its 2002/2003 rulemaking are not                     SBA’s Response
                                                                                                                                                                explained by the increased share of
                                                 unique to the procurement of IT                            SBA believes that many of the reasons               predominantly product oriented PSCs,
                                                 products. For example, the SBA’s reason                 the Agency provided in the 2003 final                  including ADP Software (PSC 7030),
                                                 that IT acquisitions entail numerous                    rule for creating the exception and the                ADP Support Equipment (PSC 7035)
                                                 products, making it unrealistic to expect               150-employee size standard would                       ADP Components (PSC 7050), ADP
                                                 one manufacturer to produce all                         remain intact when the ITVAR contracts                 System Configuration (PSC 7010), and
                                                 products and that the agencies prefer to                are reclassified under the manufacturing               ADP Input/Output and Storage Devices
                                                 fulfill their requirements from a single                NAICS codes. For example, using the                    (PSC 7025) that the agencies procure
                                                 source, also hold true for many other                   500-employee nonmanufacturer size                      using the ITVAR exception. For
                                                 acquisitions that entail numerous items                 standard, the agencies could still fulfill             example, of total small business set-
                                                 involving several manufacturers. They                   their needs for multiple products and                  aside dollars awarded in NAICS 541519,
                                                 are still subject to the manufacturing                  services from a single source.                         the share of contracts classified under
                                                 performance requirements and the                        Additionally, how ITVAR firms derive                   PSC Group 70 (Automatic Data
                                                 NMR.                                                    their revenues would not be an issue                   Processing Equipment, Software,
                                                                                                         under the 500-employee based size                      Supplies and Support Equipment)
                                                 Comments That There Has Been No                         standard. However, for the reasons
                                                 Change in Federal IT Market or ITVAR                                                                           increased from less than 3 percent
                                                                                                         discussed below, SBA disagrees with                    during fiscal years 2001–2003 to 41
                                                 Industry                                                the commenters’ argument that there                    percent during fiscal years 2012–2014.
                                                    Many commenters argued there has                     has been no material change in Federal                 That percentage decreased from about 9
                                                 been no material change in the ITVAR                    IT procurement and the ITVAR                           percent to 3 percent for other industries
                                                 industry, market conditions, or how the                 industry.                                              in NAICS Industry Group 5415. During
                                                 Federal government procures IT                             Prior to the exception, agencies                    the same period, the average value of
                                                 requirements since the 2003 final rule.                 procured computer hardware and                         dollars obligated under the small
                                                 Therefore a change to the ITVAR size                    software with some services as supply                  business set-aside contracts classified
                                                 standard is not warranted, they argued.                 contracts under the manufacturing                      under PSC Group 70 increased from less
                                                 The commenters argued that SBA’s                        NAICS codes as long as the supplies                    than $300,000 to nearly $2.8 million for
                                                 reasons to create the ITVAR sub-                        remained the largest component of the                  NAICS 541519 and remained stagnant at
                                                 industry category are still valid—                      total contract value. The agencies were                around $500,000-$600,000 for other
                                                 agencies’ preference to procure IT                      required to comply with the NMR rule                   industries in NAICS Industry Group
                                                 equipment and supporting services from                  if the contracts were set aside for small              5415. SBA believes that most of these
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                                                 a single source; most IT acquisitions                   businesses. For procurements that were                 changes in Federal IT procurement
                                                 involve numerous IT products making it                  primarily for IT services, the agencies                under NAICS 541519 are attributable to
                                                 unrealistic to expect for a single                      applied one of the computer services                   the ITVAR exception.
                                                 manufacturer to fulfill all requirements;               related industry codes under NAICS                        Despite the above facts, SBA’s
                                                 IT contracts require services involving                 Industry Group 5415. The 2003 final                    proposal to eliminate the exception
                                                 customization of hardware and                           rule has resulted in significant changes               from NAICS 541519 was not because it
                                                 software; and a substantial portion of                  in Federal IT procurement by allowing                  believed there have been changes to the


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                                                 4448              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 ITVAR industry, or in the Federal IT                    forthcoming proposed rule clarifying                   employees to compete with large
                                                 market. Nor was it based on an                          changes to NMR rule are finalized.                     companies (including OEMs) with 500
                                                 assumption that the ITVAR industry is                   ITVARs should be given a chance to                     employees to 1,500 employees, but it
                                                 no longer relevant. Rather, the proposal                consider the impact of the proposed                    would also create significant problems
                                                 was to address the inconsistency,                       change in conjunction with any                         for agencies to obtain the best
                                                 confusion, and misuse concerning the                    proposed changes or clarifications to the              combination of IT services, equipment
                                                 exception.                                              NMR.                                                   and software in a timely manner. Some
                                                    With respect to the argument from                                                                           noted that SBA’s assessment in the
                                                 one commenter that because of ‘‘cloud’’                 SBA’s Response
                                                                                                                                                                proposed rule that ITVAR contracts
                                                 services the ITVAR exception is more                       In response to the comments,                        could easily transition to product based
                                                 relevant today, SBA’s regulations would                 elsewhere in the final rule, SBA has                   NAICS codes without significant harm
                                                 require the agencies to classify such                   provided a detailed analysis of the                    to small businesses is incorrect. Others
                                                 contracts under one of the IT services                  available industry and Federal                         argued that using the manufacturing
                                                 NAICS codes with the $27.5 million                      procurement data that are relevant to                  NAICS codes, instead of the ITVAR
                                                 receipts based size standard. Using the                 ITVAR firms. Similarly, SBA has also                   exception, would create an undue
                                                 150-employee size standard and                          provided a detailed discussion on its                  burden on small ITVARs by forcing
                                                 allowing companies that typically have                  position to and analyses of various                    them to compete in various
                                                 receipts in the range of $50 million to                 alternatives that the commenters                       manufacturing NAICS codes dominated
                                                 $200 million to qualify for a contract                  provided to eliminate the confusion,                   by much larger companies.
                                                 whose primary purpose is services                       and misuse of the ITVAR exception.                       The commenters expressed various
                                                 would negatively impact small                           SBA does not agree with the suggestion                 concerns about classifying IT supply
                                                 businesses at the $27.5 million receipts                to delay the proposed rule until SBA                   contracts under the manufacturing
                                                 based size standard.                                    analyzes more current Economic Census                  NAICS codes with a higher employee
                                                                                                         data, which will not be available until                size standard or 500-employee
                                                 Comments That SBA Should Not                            late 2016.                                             nonmanufacturer size standard, instead
                                                 Implement the Proposed Rule                                SBA acknowledges that, if adopted,                  of the 150-employee ITVAR size
                                                    Several commenters argued that the                   the proposed rule would have some                      standard. One commenter argued that
                                                 proposed rule should not be                             impacts on businesses that currently                   the existence of an alternative
                                                 implemented because it represents a                     perform ITVAR contracts under the 150-                 purchasing method does not justify the
                                                 policy error from a judgmental,                         employee ITVAR size standard. Further,                 removal of a well-established NAICS
                                                 economic, and common sense                              agencies would benefit by having a                     exception. Some commenters stated that
                                                 standpoint. The commenters noted that                   bigger pool of firms to compete for IT                 manufacturing NAICS codes are not
                                                 with the absence of applicable,                         product contracts. The businesses that                 designed to supply IT products and do
                                                 complete and relevant or current data                   are currently small under the ITVAR                    not include value added services that
                                                 regarding the impact of the proposal, the               size standard would continue to qualify                ITVARs offer with the products. Others
                                                 passage of the proposed rule would be                   as small, except for that they would                   claimed that classifying IT supply
                                                 arbitrary and capricious and constitute                 need to compete with somewhat larger                   contracts under the manufacturing
                                                 the abuse of the SBA’s rule making                      businesses between 150 employees and                   NAICS codes would create a significant
                                                 authority. The commenters                               500 employees and comply with the                      workload for SBA in responding to
                                                 recommended that, to move forward                       NMR. Without the exception, the                        requests for waivers of the NMR and
                                                 with the proposal, SBA should conduct                   agencies would reclassify IT supply                    would substantially delay IT
                                                 a thorough and detailed analysis of the                 contracts under the applicable                         procurements.
                                                 procurement and industry data, evaluate                 manufacturing NAICS codes and be able                    Many commenters expressed
                                                 alternatives to eliminate the confusion,                to fulfill their requirements through a                concerns against classifying IT supply
                                                 and misuse, and publish the analysis for                single reseller or distributor under the               contracts under the manufacturing
                                                 further industry comment. Specifically,                 500-employee nonmanufacturer size                      NAICS codes because of the NMR. They
                                                 they suggested that SBA analyze the                     standard, except for that they would be                argued that resorting to a manufacturing
                                                 current data on multiple award IDIQ                     required to comply with the NMR. This                  NAICS code would force small ITVARs
                                                 contracts being used to procure                         is how the agencies were procuring IT                  to a restrictive nonmanufacturer size
                                                 combinations of computer hardware and                   products prior to the exception. Based                 standard unless there is a waiver from
                                                 software and services from the FPDS–                    on the procurement data analyzed and                   the NMR. The commenters contended
                                                 NG and USASpending to more                              discussed in this rule, SBA does not                   that the waiver process is cumbersome
                                                 accurately estimate the number of                       believe that the impacts from these                    and in some cases waivers are difficult
                                                 businesses that would be impacted if                    changes would be as detrimental as                     to obtain in a timely manner. They
                                                 the proposed rule is adopted. Some                      projected by the commenters.                           further argued that the NMR would
                                                 commenters added that without an                                                                               significantly limit the number of
                                                 adequate justification and analysis,                    Comments on the Inapplicability of                     products a small business could offer to
                                                 SBA’s proposed rule would harm small                    Manufacturing NAICS Codes and the                      the government. This would, as the
                                                 ITVARs and impede the ability of                        NMR                                                    commenters added, not only restrict the
                                                 Federal agencies to fulfill their needs.                  Several commenters rejected SBA’s                    small ITVARs from providing the full
                                                 Some commenters recommended that                        statement that, under the proposed rule,               spectrum of desired products to
                                                 SBA should delay the proposed rule                      agencies would reclassify computer                     agencies, but would also restrict the
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                                                 until it analyzes more current economic                 hardware and software supply contracts                 government’s ability to procure the
                                                 census data for a more accurate                         under the manufacturing NAICS codes                    state-of-the-art technology products
                                                 assessment of the impacts the rule                      and ITVARs below 150 employees could                   through small businesses. Some
                                                 would have on small ITVARs. One                         qualify under the 500-employee                         commenters argued that, from a
                                                 commenter suggested that since the                      nonmanufacturer size standard. They                    practical standpoint, the ITVAR
                                                 ITVAR issue is related to the NMR, SBA                  argued that it would not only be unfair                contracts would be unlikely to be set
                                                 should hold the rule until the                          to compel ITVARs with less than 150                    aside for small businesses because there


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                          4449

                                                 are not many small businesses that                      few value added resellers would remain                 NAICS 541519, but not the ITVAR
                                                 manufacture hardware and equipment                      small.                                                 activity altogether.
                                                 to meet the demand. The commenters                         One commenter supporting SBA’s                         SBA does not agree with the comment
                                                 argued that if the exception is                         proposal argued that it would be                       that the manufacturing NAICS codes are
                                                 eliminated and contracts to procure                     impossible to comply with the NMR for                  not designed to supply IT products and
                                                 computer hardware and software are                      acquisitions of IT products (e.g.,                     do not include value added services that
                                                 reclassified under the manufacturing                    software and hardware) even if they are                ITVARs offer with the products. The
                                                 NAICS codes, many businesses                            properly classified under a                            regulation allows agencies to include
                                                 considered small under the exception                    manufacturing NAICS code, because                      some services in IT supply contracts
                                                 would not be able to participate because                many of the IT products desired by the                 classified under the manufacturing
                                                 it would not be possible to comply with                 government are not manufactured by                     NAICS codes as long as the products
                                                 the NMR for every item that can be                      small businesses and do not have                       remained the principal purpose of the
                                                 currently sold under the ITVAR                          waivers. As such, these procurements                   contract. Prior to the ITVAR exception,
                                                 exception.                                              are fundamentally defective because no                 agencies were using the manufacturing
                                                    One commenter noted that, by using                   small businesses could perform the                     NAICS codes to procure IT products
                                                 the 150-employee ITVAR size standard,                   requirements of the contract without                   that required some services. Even now
                                                 agencies are currently able to procure                  violating SBA’s regulations. The                       with the exception, many agencies
                                                 multiple IT products and services                       commenter suggested that acquisitions                  procure the mix of IT products and
                                                 through a single procurement without                    for IT products should be competed on                  services using the manufacturing NAICS
                                                 the requirement to supply products                      a full and open basis.                                 codes. As stated elsewhere, even with
                                                 manufactured by small business                                                                                 the ITVAR exception, agencies use the
                                                 concerns or having to secure SBA’s                      SBA’s Response                                         manufacturing NAICS codes to obtain
                                                 waivers for numerous products on the                       If the ITVAR exception is eliminated                computer hardware and software
                                                 procurement. As the commenter                           as proposed and ITVAR contracts are                    through various GWACs, including
                                                 continued, the ITVAR exception also                     reclassified under the manufacturing                   NIH’s ECS–3 and Army’s ITES–2H.
                                                 allows small resellers to offer the most                                                                          SBA does not believe that the waiver
                                                                                                         NAICS codes, the size standard for an IT
                                                 optimum combination of products from                                                                           process of the NMR is cumbersome and
                                                                                                         reseller would be only 500 employees,
                                                 both small and large manufacturers,                                                                            that waivers are difficult to obtain in a
                                                                                                         although the size standard for computer
                                                 thereby providing the best value to the                                                                        timely manner are good reasons for not
                                                                                                         and peripheral equipment
                                                 government, which would not be                                                                                 applying the statutory rule. SBA
                                                                                                         manufacturing related NAICS codes is
                                                 possible if they are compelled to offer                                                                        believes it is inconsistent and unlawful
                                                                                                         higher at 1,000 employees. While SBA                   to require distributors or resellers of
                                                 the products from small manufacturers
                                                                                                         acknowledges that these businesses                     thousands of other products to comply
                                                 under the NMR. The commenter
                                                                                                         would have to compete with businesses                  with the NMR and exempt the resellers
                                                 concluded that this can become very
                                                                                                         between 150 employees and 500                          of IT products from the rule. While SBA
                                                 complex when there are similar
                                                                                                         employees, it disagrees with the                       recognizes that the NMR may work
                                                 products manufactured by small
                                                                                                         commenters’ argument that eliminating                  better for some products than for others,
                                                 manufacturers that are not compatible
                                                                                                         the ITVAR exception would force them                   it strongly believes that the rule must
                                                 with other IT equipment or software
                                                                                                         to compete with large companies up to                  apply to all supply contracts equally.
                                                 that must be used in combination to best
                                                 meet agency requirements.                               1,500 employees.                                       Thus, similar to all other products and
                                                    One commenter noted that if agencies                    SBA did not propose to eliminate the                supplies, the NMR must also apply to IT
                                                 are compelled to use the manufacturing                  ITVAR exception simply because there                   products, including those purchased
                                                 NAICS codes to obtain both IT services                  is an alternative method to procure IT                 through the ITVAR exception. SBA is
                                                 and products, they would run the risk                   supplies using the 500-employee                        aware and agrees with some
                                                 of the NMR delaying the procurement or                  nonmanufacturer size standard. The                     commenters that small business
                                                 preclude the utilization of the most                    proposal was to ensure that small                      manufacturers may not be available to
                                                 optimum combination of IT products to                   business IT supply contracts, like all                 comply with the NMR for the
                                                 meet their requirements. The need to                    other supply contracts, are in                         procurement of some computer
                                                 justify and obtain waivers from the                     compliance with applicable statute and                 hardware and software. Under those
                                                 NMR, the commenter claimed, would                       regulations, especially the NMR and                    instances, the regulations allow agencies
                                                 discourage agencies from setting aside                  limitations on subcontracting. The                     to request waivers of the NMR from
                                                 IT procurements for small businesses                    Small Business Act provides that, on a                 SBA, as they have done for hundreds of
                                                 under the manufacturing NAICS codes.                    supply contract set aside for small                    other products. In fact, waivers already
                                                 Thus, the commenter concluded, the                      business, the offeror must account for 50              exist for a wide range of IT products
                                                 elimination of the ITVAR exception and                  percent of the cost of manufacturing the               under computer and peripheral
                                                 its 150-employee size standard could                    product, or qualify as a                               equipment manufacturing related
                                                 significantly reduce the number and                     nonmanufacturer. Under the Small                       NAICS codes (see https://www.sba.gov/
                                                 magnitude of ITVAR contracts set aside                  Business Act and implementing                          content/class-waivers). However, based
                                                 for small businesses. Another                           regulations, a firm may qualify as a                   on SAM and FPDS–NG data, SBA
                                                 commenter contended that using the                      nonmanufacturer on a supply contract                   believes that there are small
                                                 500-employee nonmanufacturer size                       set aside for small business by                        manufacturers for a wide variety of IT
                                                 standard would put small ITVARs (with                   supplying the product of a small                       products, which may have been
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                                                 50–60 employees) in direct competition                  business or SBA must have issued a                     deprived from Federal opportunities
                                                 with larger companies with up to 500                    class or individual contract waiver of                 under the ITVAR exception because of
                                                 employees. The commenter added that                     the NMR, which would allow the                         the inapplicability of the NMR to
                                                 unless a company is allowed to separate                 nonmanufacturer to supply the product                  procurements under the ITVAR
                                                 hardware and software revenue from                      on any size business. Additionally, the                exception.
                                                 services for the purpose of being small                 rule proposed to eliminate the ITVAR                      Reclassifying ITVAR contracts under
                                                 under NAICS Industry Group 5415, very                   sub-industry only as an exception to                   the manufacturing NAICS codes would


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                                                 4450              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 not change the agencies’ ability to                        Finally, with respect to the comment                ITVAR sub-industry or exception to
                                                 procure multiple IT products from a                     that IT products should only be                        NAICS 541519.
                                                 single source. They could continue to                   competed on a full and open basis, SBA                    With respect to the statutory
                                                 acquire multiple products from a single                 believes that doing so would not only                  provisions of the rulemaking, the
                                                 source by using the 500-employee                        hurt many existing small businesses by                 commenter noted that for the majority of
                                                 nonmanufacturer size standard.                          forcing them to compete with the largest               the 30 industries that face a changed
                                                 Similarly, this would also not affect                   firms, which dominate the industry, it                 size standard, the only description
                                                 resellers’ ability to provide the most                  would also reduce competition and                      provided is the NAICS code and
                                                 optimum combination of IT products                      innovation in the economy.                             industry title. The commenter argued
                                                 from multiple manufacturers. If the                                                                            that the proposed rule did not provide
                                                                                                         Comments That the Proposed Rule                        the types of analyses SBA provided in
                                                 products from small manufacturers are                   Violates Statutory Requirements
                                                 not compatible with other hardware and                                                                         its 2003 final rule to establish the
                                                 software, agencies may request a waiver                    One commenter applauded SBA for                     ITVAR exception and the 150-employee
                                                 of the NMR for the items.                               complying with the Jobs Act, but noted                 size standard.
                                                                                                         that the proposed rule violates the                       The commenter argued that with no
                                                    While ITVAR contracts include some
                                                                                                         statutory language added to the Small                  justification for the use of the ‘‘anchor
                                                 services, they are basically supply
                                                                                                         Business Act by the National Defense                   size standard’’ approach as a basis for
                                                 contracts. Thus, according to the SBA’s
                                                                                                         Authorization Act for Fiscal Year 2013                 evaluating characteristics of individual
                                                 regulations, like all other supply                      (NDAA 2013). The commenter added                       industries, the proposed rule violates
                                                 contracts, ITVAR contracts should be                    that the provisions in the proposed rule               the statutory requirement on using
                                                 classified under the applicable                         concerning the ITVAR size standard fail                common size standards. The commenter
                                                 manufacturing NAICS codes. If such                      to address the issues facing the IT                    also challenged the proposed rule for
                                                 contracts are set aside for small                       industry and the misuse of the size                    placing the ITVAR firms under one of
                                                 businesses, they are also subject to the                standards.                                             the common size standards created in
                                                 NMR. If there are no domestic small                        The commenter noted that                            2012 that, as the commenter contended,
                                                 manufacturers of the products being                     modifications to SBA’s size standards                  prompted Congress to change the
                                                 procured to comply with the NMR,                        have significant implications for SBA                  statute.
                                                 agencies can request waivers. The                       programs, Federal procurement                             The commenter noted that by limiting
                                                 potential burden on agencies to obtain                  opportunities for small businesses, the                the number of employee based size
                                                 NMR waivers is not a convincing reason                  Regulatory Flexibility Act, Executive                  standards to five levels (500 employees,
                                                 for not following the statute, because                  Order 12866, and Federal regulatory                    750 employees, 1,000 employees, 1,250
                                                 compliance with the NMR and                             programs in which the term ‘‘small                     employees, and 1,500 employees), SBA
                                                 obtaining waivers is ultimately in the                  business’’ is used. For these reasons, the             disregarded the statute in the proposed
                                                 interest of small businesses. Similarly,                commenter urged SBA to withdraw the                    rule. In response to SBA’s approach
                                                 the arguments that it would create a                    current proposed rule and directed it to               against the practicality and need for
                                                 significant workload for SBA to respond                 undertake a rulemaking that is legally                 establishing separate size standards for
                                                 to requests for nonmanufacturer waivers                 sufficient, withstands judicial scrutiny,              each of 1,000 plus industries, the
                                                 and substantially delay IT procurements                 and does not tempt Congress to take                    commenter indicated that Congress
                                                 are not good reasons for not complying                  ameliorative action.                                   would not oppose thousands of size
                                                 with the statute. SBA believes that                        The commenter was concerned with                    standards as they would provide better
                                                 potential delays, if any, resulting from                limiting the number of size standards to               insights into the small business
                                                 the requests for waivers can be                         choose from and applying common size                   industrial base, inform the creation of
                                                 ameliorated by proper planning and                      standards for some industries. The                     better scope of work for contracts,
                                                 scheduling of contracts. Even if agencies               commenter referred to the SBA’s 2011                   increase opportunities for small
                                                 are currently setting aside many IT                     proposed rule on NAICS Sector 54                       businesses, and mitigate the impact of
                                                 contracts for small businesses using the                where the Agency had proposed the                      outgrowing the size standard.
                                                 exception, without the NMR, most of                     common size standards for industries in                   Another commenter argued that
                                                 the benefits of those contracts are                     NAICS Industry Group 5413                              proposed rule does not comply with the
                                                 simply passed through to large OEMs or                  (Architectural, Engineering, and Related               RFA. The commenter noted that the
                                                 other large manufacturers, including                    Services) and Industry Group 5415                      RFA, as amended by the Small Business
                                                 foreign companies. Many commenters                      (Computer Systems Design and Related                   Regulatory Enforcement Fairness Act
                                                 themselves stated that small resellers                  Services).                                             (SBREFA), requires the agency to
                                                 have only small profit margins on                          The commenter claimed that the                      consider the impact of the proposed
                                                 ITVAR contracts. SBA disagrees with                     proposed rule violated the statutory                   rulemaking on small entities and
                                                 the suggestion to separate revenues from                provisions of the NDAA 2013 relating to                analyze alternatives to minimize the
                                                 computer hardware and software sales                    SBA’s size standards. Specifically, the                impacts on small entities. The
                                                 from services to allow ITVARs to qualify                commenter noted that the proposed rule                 commenter argued that the SBA’s IRFA
                                                 as small under the receipts based size                  does not follow the statutory provisions               does not include any discussion on the
                                                 standard. First, for size standards                     of the proposed rulemaking, does not                   impact of eliminating Footnote 18.
                                                 purposes, SBA defines the size of a                     honor the statutory prohibition on
                                                 business concern in terms of its overall                common size standards, and ignores the                 SBA’s Response
                                                 revenues or employees, not in terms of                  statutory language on the number of size                 With respect to the impact of the
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                                                 revenues or employees for specific                      standards. The commenter considered                    NDAA 2013 on the comprehensive
                                                 products or services. Second, allowing                  that the proposed rule is fundamentally                review required by the Jobs Act, SBA
                                                 ITVAR firms with revenues significantly                 flawed because SBA applied the same                    maintains its existing approach is
                                                 higher than the receipts based size                     methodology prior to NDAA 2013                         consistent with those requirements.
                                                 standard to qualify as small would                      without any change to increase the size                SBA’s methodology, as outlined in its
                                                 negatively impact businesses below the                  standards for 30 industries and three                  publicly available white paper and
                                                 receipts based size standard.                           sub-industries, and to eliminate the                   utilized in each proposed and final


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                           4451

                                                 rulemaking, discusses the impact on                     average firm size, measures of start-up                address new statutory requirements and
                                                 firms, provides an analysis of the                      costs and barriers, industry                           improve the methodology, SBA is
                                                 competitive environment, discusses the                  concentration, and distribution of firms               considering alternative approaches to
                                                 sources of data, and the anticipated                    by size) to evaluate the competitive                   evaluating industry characteristics in
                                                 effect on firms. If SBA proposes                        environment in specific industries, not                the next round of the review.
                                                 common size standards, it will and does                 just the NAICS industry code and title.                   Regarding the comment on limiting
                                                 provide a justification in the proposed                 In addition, SBA also evaluated the                    the number of size standards, there have
                                                 and final rule. Further, SBA is not                     Federal contract market place in terms                 been concerns from businesses and the
                                                 limiting the number of size standards. It               of ability of small businesses to compete              contracting community that size
                                                 is important to note that much of the                   for Federal opportunities under the                    standards are too complex to
                                                 data available is based on ranges. It is                existing and changed size standards. As                understand and cumbersome to use. To
                                                 not possible to establish size standards                part of the regulatory impact analysis as              simplify, SBA proposed to reduce the
                                                 at such a granular level that size                      required by Executive Order 12866 and                  number of receipts based size standards
                                                 standards would vary by a single dollar                 the IRFA as required by the RFA, SBA                   to eight (8) from 31 different levels that
                                                 or single employee. When conducting                     provided the impacts of the proposed                   existed at the start of the current size
                                                 economic analysis using varying data                    rule, including the number of                          standards review. However, because of
                                                 sources and multiple factors, there must                businesses impacted and their                          Agency general policy to not lower size
                                                 be some rounding to dollar values or                    participation in Federal contracting and               standards except to exclude the
                                                 employee numbers. However, for the                      SBA’s financial assistance.                            dominant firms, there are still 17
                                                 review of employee based size                              As discussed elsewhere in this rule,                different receipts based size standards
                                                 standards, to the extent permitted by the               based on the review of the 2003 final                  in effect. In all proposed rules on
                                                 2007 Economic Census tabulation and                     rule, SBA has determined that the                      receipts based size standards, SBA
                                                 other available data, SBA adjusted its                  analysis the Agency used to create the                 sought comments on the number of size
                                                 size standards methodology in response                  exception had several flaws. In                        standards available to apply for
                                                 to the NDAA 2013 requirements.                          response, in this final rule, SBA has                  individual industries. Almost all
                                                 Specifically, for manufacturing and                     provided alternative approaches to                     comments addressing this issue strongly
                                                 other industries that have employee                     analyzing the ITVAR activity that are                  supported the SBA’s proposed eight
                                                 based size standards for which SBA                      more consistent with the SBA’s current                 receipts based size standards. Since its
                                                 published the proposed rules on                         size standards methodology and NAICS                   publication for comments in 2009, SBA
                                                 September 10, 2014, the Agency added                    industry definitions.                                  had received many comments specific
                                                 an additional size standard level of                       Since SBA did not receive major                     to its size standards methodology and
                                                                                                         adverse comments against using the                     almost all of those comments supported
                                                 1,250 employees between 1,000
                                                                                                         common size standard for industries                    using a fixed number of size standards.
                                                 employees and 1,500 employees. In
                                                                                                         under NAICS Industry Group 5415                        Moreover, SBA has received no
                                                 addition, SBA increased the number of
                                                                                                         (Computer Systems Design and Related                   concerns from the public and
                                                 size standards for industries in
                                                                                                         Services), SBA retained the common                     contracting communities that limiting
                                                 Wholesale Trade for SBA’s financial
                                                                                                         size standard for those industries in the              the number of size standards is having
                                                 assistance. Currently, all industries in
                                                                                                         final rule. Moreover, adopting industry                an adverse impact on small businesses
                                                 Wholesale Trade have one common size
                                                                                                         specific size standards would have                     or contracting activities. Additionally,
                                                 standard of 100 employees for SBA’s
                                                                                                         meant lowering size standards for some                 in the proposed rule, SBA did not
                                                 loans. SBA had proposed three
                                                                                                         industries in that group. It is not the                reduce the number of employee based
                                                 additional size levels, namely 150                      current proposed rule that placed the                  size standards. Rather, as mentioned
                                                 employees, 200 employees and 250                        ITVAR firms under NAICS 541519 that                    elsewhere in the rule, SBA expanded
                                                 employees and published the rule for                    share a common size standard with                      the number of employee based size
                                                 comments (79 FR 28631 (May 19,                          three other computer services related                  standards by adding an additional size
                                                 2014)). SBA proposed no common size                     industries (i.e., 541511, 541512, and                  standard level of 1,250 employees
                                                 standards for any industries that have                  541513). Rather, SBA decided to place                  between 1,000 employees and 1,500
                                                 employee based size standards. As part                  the ITVAR exception under NAICS                        employees. Furthermore, in this rule,
                                                 of preparation for the next round of the                541519 in its 2002–2003 rulemaking                     SBA has lowered size standards for
                                                 size standards review as required by the                that created the ITVAR exception. It                   three industries from 500 employees to
                                                 Jobs Act, SBA is currently reviewing                    should be noted that SBA created the                   250 employees to prevent the largest
                                                 and updating its current ‘‘Size                         common size standard for ‘‘Computer                    and dominant firms from being
                                                 Standards Methodology’’ White Paper to                  Programming, Data Processing and                       qualified as small. Until this rule, for
                                                 incorporate the provisions of the NDAA                  Other Computer Related Services’’ in                   purposes of Federal procurement, no
                                                 2013 to the extent possible. SBA plans                  the early 1990s (56 FR 38364 (August                   industry had an employee based size
                                                 to issue the updated methodology for                    13, 1991) and 57 FR 27907 (June 23,                    standard lower than 500 employees. As
                                                 public comments and finalize it prior to                1992)), not in the 2012 final rule for                 stated earlier, SBA is currently
                                                 launching the next round of size                        NAICS Sector 54.                                       reviewing and updating its current
                                                 standards review, possibly in the first                    With respect to the anchor size                     ‘‘Size Standards Methodology’’ White
                                                 quarter of Fiscal Year 2017.                            standard, it should be noted that SBA                  Paper (methodology) to incorporate the
                                                    SBA disagrees with the comment that                  provides a detailed justification for                  provisions of the NDAA 2013 to the
                                                 the proposed rule did not provide any                   using the ‘‘anchor size standard’’                     extent possible.
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                                                 analysis of industry data or the                        approach in its ‘‘Size Standards                          SBA does not agree with the comment
                                                 competitive environment to the                          Methodology’’ White Paper, as cited in                 that the proposed rule did not provide
                                                 industries that faced a size standard                   the proposed rule. In fact, SBA has been               the impact analysis of the proposed
                                                 change. As explained in the proposed                    using the ‘‘anchor’’ approach since the                elimination of the ITVAR exception. As
                                                 rule and the methodology white paper,                   1980s when reviewing and modifying                     part of regulatory impact analysis as
                                                 when developing the proposed rule,                      size standards without much concern                    required by Executive Order 12866 and
                                                 SBA examined several factors (such as                   from the public. As part of its effort to              IRFA as required by RFA, SBA provided


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                                                 4452              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 the estimate for the number of small                    commenter was concerned that the same                  many small businesses to lose their
                                                 businesses impacted by changes to                       reason may lead SBA to eliminate other                 small business status as in most cases
                                                 industry size standards covered by the                  size standards exceptions that were put                exceptions have higher size standards
                                                 proposed rule, along with estimates on                  in place for important reasons, which                  than those for regular industries. That is
                                                 the impacts on small business                           will negatively impacts those industries               not the case with removing the ITVAR
                                                 participation in Federal procurement                    and Federal customers.                                 exception because, as stated elsewhere
                                                 and SBA financial assistance programs.                                                                         in the rule, if the ITVAR exception is
                                                                                                         SBA’s Response
                                                 As in all previous proposed and final                                                                          eliminated, the ITVAR contracts would
                                                 rules on size standards for other NAICS                    As stated elsewhere in this final rule,             be reclassified under applicable
                                                 sectors, SBA only provided the                          lack of data was not SBA’s primary                     manufacturing NAICS codes and all
                                                 aggregate estimates of the impacts for all              reason for eliminating the ITVAR                       ITVARs below 150 employees would
                                                 affected industries, instead of separate                exception. SBA’s primary reason for the                continue to qualify as small for those
                                                 estimates for each industry or sub-                     proposal was to eliminate the                          contracts as small businesses under the
                                                 industry.                                               inconsistency, confusion, and misuse                   500-employee nonmanufacturer size
                                                                                                         that the exception has created. Only as                standard.
                                                 Comments That the Proposed Rule                         an ancillary reason, SBA noted that the
                                                 Violates Congress’ Intent on the Jobs Act               proposal would also ameliorate the                     Comments Suggesting Alternatives to
                                                    Five commenters contended that by                    challenge SBA faces when evaluating                    SBA’s Proposal
                                                 eliminating the ITVAR exception and its                 economic characteristics and size                        In response to SBA’s rationale to
                                                 higher 150-employee size standard and                   standards for exception categories. The                remove the ITVAR exception because it
                                                 replacing it with the lower $27.5 million               challenge is especially acute here                     has created inconsistencies, confusion,
                                                 receipts based size standard, the                       because the industry represented by                    and misuse, many commenters
                                                 proposed rule violates Congress’ intent                 Footnote 18 is already represented in                  suggested alternative measures or
                                                 in the Jobs Act to increase size                        the NAICS table under the wholesale                    courses of action to address these issues
                                                 standards. To support this contention,                  NAICS code. In other words, the data                   rather than eliminating the exception.
                                                 one of the commenters referred to                       challenge exists because SBA created an                These include modifying FPDS–NG to
                                                 Section 404 of the Report from the                      exception for suppliers under a services               enable contracting officers to identify or
                                                 Committee on Small Business and                         NAICS code.                                            show the exception size standard,
                                                 Entrepreneurship where the Committee                       As part of its comprehensive review                 creating a new NAICS code for the
                                                 discussed Federal market conditions                     of all size standards, SBA has                         ITVAR exception with its own size
                                                 and the need for a reasonable increase                  considered whether each of the existing                standard, requiring ITVAR contracts and
                                                 in size standards (S. Rep. 343, 111th                   exceptions or footnotes to size standards              task orders to indicate separate values
                                                 Cong., 2d Sess. (Sep. 29, 2010)).                       could be eliminated. As a result, SBA                  for goods and services, and
                                                                                                         eliminated Footnote 1 relating to the                  development of training and guidelines
                                                 SBA’s Response                                          size standard for electric utilities (see 78           for procurement officials to ensure the
                                                    SBA disagrees for two reasons. First,                FR 77343 (December 23, 2013), the Map                  proper application of the size standard
                                                 with the proposed elimination of the                    Drafting exception to NAICS 541340                     exception.
                                                 ITVAR exception, ITVAR contracts,                       (Drafting Services) (see 77 FR 7490                      With respect to the new ITVAR
                                                 which by definition are primarily                       (February 10, 2012)), and Aircraft                     NAICS code, the commenters suggested
                                                 supply contracts, would be reclassified                 Dealers, Retail exception to NAICS                     that SBA should develop a new or
                                                 under applicable manufacturing NAICS                    441229 (All Other Motor Vehicles                       independent NAICS industry code to
                                                 codes for which all current small                       Dealers) (see 75 FR 61597 (October 6,                  represent the ITVAR activity, as defined
                                                 ITVARs would continue to qualify as                     2010)). More recently, in the same                     in Footnote 18, with an employee based
                                                 small under the 500-employee                            proposed rule, partly for the lack of                  size standard of 150 employees, while
                                                 nonmanufacturer size standard. As a                     data, SBA also proposed eliminating the                keeping NAICS 541519 intact with its
                                                 result, ITVARs would actually see an                    Offshore Marine Air Transportation                     current $27.5 million receipts based size
                                                 increase in their size standard, not a                  Services exception to NAICS 481211                     standard. The commenters further
                                                 decrease. Second, the Jobs Act required                 (Nonscheduled Chartered Passenger Air                  recommended that SBA should analyze
                                                 SBA to conduct a detailed review of size                Transportation) and NAICS 481212                       the data on both the multiple award
                                                 standards and make appropriate                          (Nonscheduled Chartered Freight Air                    IDIQ contracts used to acquire the mix
                                                 adjustments to reflect market                           Transportation and Offshore Marine                     of IT products (hardware/software) and
                                                 conditions. SBA believes such                           Services exception (along with Footnote                services under NAICS 541519 and small
                                                 adjustments would mean either                           15) to NAICS Subsector 483 (Water                      businesses that are selected to perform
                                                 increases or decreases to size standards,               Transportation).                                       these acquisitions to support the
                                                 not only increases. Thus, even if the                      Additionally, although SBA, after                   creation of the new ITVAR NAICS code.
                                                 elimination had resulted in a decrease                  public comments, has decided to retain                 One commenter also suggested making
                                                 to the size standard, SBA does not                      some of the exceptions in the final rules,             the new ITVAR NAICS code a service
                                                 believe that would constitute a violation               the Agency had always discussed in the                 NAICS code, with a 150 employee size
                                                 of the Jobs Act.                                        proposed rules the data issues related to              standard. As an alternative to creating a
                                                                                                         evaluating all exception categories and                new ITVAR NAICS code, one
                                                 Comments That the Proposed Rule                         associated size standards and sought                   commenter suggested creating a new IT
                                                 Conflicts With Retention of Other                       comments if they could be removed. For                 services NAICS code with a size
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                                                 Exceptions                                              these reasons, SBA does not agree with                 standard of 150 employees.
                                                    A couple of commenters argued that                   the commenter that the proposal to                       In response to SBA’s reason to remove
                                                 SBA’s reason to eliminate the ITVAR                     eliminate the ITVAR is totally                         the exception due to the lack of data to
                                                 exception for lack of data in the                       inconsistent with its decision to retain               evaluate the ITVAR industry, one
                                                 Economic Census is inconsistent with                    other exceptions. In addition, SBA did                 commenter suggested refining the
                                                 its decisions to retain all other                       not remove other exceptions mainly                     Economic Census to collect data on
                                                 exceptions in other industries. Another                 because doing so would have forced                     ITVARs, while another suggested


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                           4453

                                                 creating a product service code (PSC) for               definitions. Creating or modifying                     ITVAR firms come from the sales of
                                                 ITVAR contracts to track data on                        NAICS industry definitions or codes is                 computer hardware and software.
                                                 ITVARs in FPDS–NG. Another                              done through the U.S. Economic                         Despite these differences, SBA
                                                 suggested that SBA should reproduce                     Classification Policy Committee under                  combined the data from these very
                                                 the type of the analysis it did in the                  the Office of Management and Budget                    distinct NAICS industry categories into
                                                 2002–2003 rulemaking by combining                       (OMB) in cooperation with statistical                  one and defined the result as the new
                                                 the data for Computer Systems Design                    agencies from the U.S., Canada, and                    ITVAR industry and included it as sub-
                                                 and Related Services (NAICS Industry                    Mexico. If the industry believes that a                industry or exception under NAICS
                                                 Group 5415) and for the Computer and                    new NAICS code is warranted for the                    541519.
                                                 Computer Peripheral Equipment and                       ITVAR industry, it should approach                        2. In combining the two industry
                                                 Software Merchant Wholesalers                           OMB (see http://www.census.gov/eos/                    categories, SBA only included the
                                                 industry (NAICS 423430) from the                        www/naics/). Every five years, OMB                     services segment in NAICS 423430,
                                                 Economic Census and data from the                       updates NAICS codes and definitions,                   which accounted for only about 14
                                                 industry, such as Computer Reseller                     the next being the NAICS 2017 updates                  percent of total receipts in that industry.
                                                 News. In addition, the commenter                        to be effective January 1, 2017.                       The sales of computer hardware and
                                                 suggested GSA’s Federal Supply                             SBA also disagrees with the                         software segment, which is the primary
                                                 Schedules for IT solutions and SAM as                   suggestion to apply a single size                      activity of ITVARs and accounted for
                                                 additional sources of data to analyze                   standard of 150 employees for both IT                  more than 80 percent of total sales in
                                                 ITVAR firms. A number of commenters                     services firms in NAICS 541519 and                     that industry, were excluded. SBA has
                                                 recommended that SBA should review                      ITVARs. SBA believes that such a size                  reproduced that analysis and
                                                 the procurement data from FPDS–NG                       standard would negatively impact small                 determined that, had the computer
                                                 and USASpending.                                        businesses at or below the $27.5 million               hardware and software segment in
                                                    Some commenters argued that, rather                  receipts level by forcing them to                      NAICS 423430 been included in
                                                 than eliminating the 150-employee size                  compete against some ITVARs with                       creating the ITVAR industry, the results
                                                 standard, the confusion from having two                 significantly larger receipts levels and               would have supported a substantially
                                                 size standards in NAICS 541519 could                    more financial resources. Several                      larger size standard than 150 employees.
                                                 best be cured by eliminating the $27.5                  commenters noted that ITVARs below                        3. There is no need to create a new
                                                 million receipts size standard and                      150 employees have a much stronger                     industry for ITVAR firms. ITVARs,
                                                 adopting the 150-employee size                          financial base and better                              because they are primarily engaged in
                                                 standard as the single size standard for                creditworthiness as compared to their                  the distribution or resale of computer
                                                 entire NAICS 541519. On a different                     counterparts below the $27.5 million                   equipment and software, are already
                                                 note, instead of removing the exception                 receipts based size standard. Without                  classified under NAICS 423430. In the
                                                 and its 150-employee size standard, one                 ITVARs, the industry data would                        2003 final rule, SBA selected NAICS
                                                 commenter suggested lowering its size                   actually support a 150-employee size                   Industry Group 5415 and NAICS 423430
                                                 standard to 50, 75, or 100 employees,                   standard for NAICS 541519. However,                    for constructing the ITVAR industry
                                                 without a dollar limit.                                 to conform to its general policy of using              based on an assumption that ITVAR
                                                    Another commenter argued that, if                    number of employees to measure                         firms operate in either one of these
                                                 SBA eliminates the ITVAR exception,                     business size of firms in manufacturing                categories. As reflected in the Economic
                                                 only the services provided by the small                 industries and receipts to measure                     Census data, some firms in NAICS
                                                 firms should be counted in the                          business size in services industries, SBA              Industry Group 5415 may provide some
                                                 calculation of annual receipts and                      will maintain the receipts based size                  computer hardware and software, but
                                                 hardware and software obtained from                     standard for NAICS 541519.                             most of their revenue comes from
                                                 other suppliers or manufacturers should                    Several commenters suggested                        services. Similarly, firms in NAICS
                                                 be excluded. The commenter further                      reproducing the analysis SBA                           423430 may provide some services, but
                                                 argued that this is similar to excluding                performed in its 2003 final rule.                      the vast majority of their revenue comes
                                                 the amounts collected for a third party                 However, SBA disagrees with the 2003                   from the sales of computer hardware
                                                 from the receipts by travel agents, real                analysis for the following reasons:                    and software.
                                                 estate agents, advertising agents,                         1. Both the 1997 Economic Census                       4. As discussed exhaustively in this
                                                 conference organizers and freight                       data used in the 2003 final rule and                   rule, SBA now disagrees with the
                                                 forwarders.                                             2007 Economic Census data (still latest                decision to include the exception meant
                                                                                                         available) showed vast differences                     for primarily supply contracts as an
                                                 SBA’s Response                                          between the characteristics of firms in                exception to NAICS 541519, which is a
                                                   As explained elsewhere in the rule,                   Industry Group 5415 and those in                       service NAICS code. Furthermore, SBA
                                                 SBA does not agree that there is the                    NAICS 423430. For example, based on                    sees no legal basis to treat ITVAR
                                                 need to create a new NAICS code for                     the 1997 data, sales of computer                       contracts as services contracts, thereby
                                                 ITVARs, because such a code already                     hardware and software accounted for 81                 exempting them from the manufacturing
                                                 exists in NAICS 423430. The Economic                    percent of total receipts in NAICS                     performance requirements and the
                                                 Census data show that more than 80                      423430, as compared to less than 5                     NMR.
                                                 percent of revenues of firms in NAICS                   percent in NAICS Industry Group 5415.                     SBA now believes that, in accordance
                                                 423430 come from the sales of computer                  The corresponding figures for the 2007                 with SBA’s current ‘‘Size Standards
                                                 hardware and software. Many                             Economic Census data were about 83                     Methodology,’’ any analysis for
                                                 commenters also affirmed this by saying                 percent and 9.5 percent, respectively.                 establishing industry characteristics of
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                                                 that ITVARs’ revenue merely reflects the                Many commenters also argued that                       ITVAR firms should focus on data for
                                                 sales of computer hardware and                          firms in NAICS Industry Group 5415                     NAICS 423430, which is their primary
                                                 software. The SBA’s 2003 final rule also                have vastly different economic                         industry. All firms in Wholesale Trade
                                                 stated that ITVARs are part of NAICS                    characteristics as compared to ITVAR                   (NAICS Sector 42) share the same 500-
                                                 423430. Additionally, SBA has no                        firms and that the two cannot be                       employee size standard for purposes of
                                                 authority or expertise to create or                     compared. The commenters further                       Federal procurement under the NMR. If
                                                 modify NAICS industry codes or                          argued that most of the receipts of                    ITVAR firms need any special


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                                                 4454              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 provisions from the size standard or                    on their net commissions by excluding                  and improper comparison between
                                                 from the NMR, such provisions should                    the amount they collect on behalf of the               ITVARs and IT services providers for
                                                 be addressed within the context of the                  third parties. The same definition does                failing to account for the ITVAR’s
                                                 same rule. If ITVAR firms needed a                      not apply to ITVAR firms. Additionally,                business and operational model. The
                                                 separate employee based size standard,                  as explained elsewhere, by allowing the                commenter stressed that although
                                                 it should be based on data from NAICS                   ITVAR firms to exclude sales from                      ITVARs with 150 or fewer employees
                                                 Sector 42.                                              computer hardware and software from                    have annual receipts substantially
                                                    With respect to data sources, SBA has                receipts and qualify under the receipts                higher than $27.5 million, they are truly
                                                 obtained data from SAM and FPDS–NG                      based size standard would hurt many IT                 small. The commenter argued that since,
                                                 to evaluate industries or sub-industries                services firms below the receipts based                unlike general IT service providers,
                                                 (‘‘exceptions’’) that are not covered by                size standard.                                         ITVARs also provide products with very
                                                 the Economic Census. However, SBA is                       Vendors of computer hardware and                    thin profit margins, it would be unfair
                                                 concerned that this data does not                       peripherals are not comparable to travel               to compare them using the same
                                                 provide an accurate and representative                  agents, real estate agents, advertising                revenue levels.
                                                 picture of all firms within the industry.               agents, conference organizers, and
                                                 The data from those sources only                        freight forwarders. Receipts from the                  SBA’s Response
                                                 pertain to firms that are either registered             sale of computer hardware substantially                   While SBA is committed to ensure
                                                 in SAM or have received Government                      increase the size of a business. Those                 that Federal government contracts set
                                                 contracts. The results from these sources               receipts can be used to replenish                      aside for small businesses only go to
                                                 generally tend to support much larger                   inventory, pay employees, reduce                       small businesses, not large businesses,
                                                 size standards than those supported by                  payables and debt, pay bonuses, and for                the issue is beyond the scope of this
                                                 the Economic Census data. Some                          other business purposes. They add to                   rule. With respect to the comment
                                                 commenters suggested that SBA should                    the business’ asset base and net worth.                regarding whether or not the size
                                                 use the private data sources that SBA                   However, travel agents and similarly                   standards need to be adjusted, the U. S.
                                                 used in the 2003 final rule. However, in                operating businesses operate on a                      Congress has required SBA to review all
                                                 the 2003 final rule, SBA considered                     commission and/or fee basis. Their                     size standards and make necessary
                                                 private sources for data on ITVAR firms,                receipts are held in trust. The funds do               adjustments to reflect market conditions
                                                 but for several reasons as explained in                 not add to the business’ asset base, and               every five years (see Public Law 111–
                                                 that rule, it did not utilize them in                   cannot be used to reduce payables or                   240, Section 1344). Although the
                                                 establishing the characteristics of the                 debt, or for any other business purposes.              percentage of firms below 100
                                                 ITVAR industry.                                         For sellers of computer hardware, the                  employees has remained more or less
                                                    SBA disagrees with the suggestion for                receipts constitute revenue. For travel                constant over time, their market share in
                                                 creating a new IT services NAICS code                   agents and the like, although their total              the economy has been shrinking. For
                                                 with a 150-employee size standard.                      receipts may be high, most of their                    example, the share of total sales/receipts
                                                 First, there already exist four NAICS                   receipts do not constitute revenue.                    of firms with less than 100 employees
                                                 codes under Industry Group 5415 to                                                                             decreased from nearly 29 percent in
                                                 include a wide range of IT related                      Other Comments on the ITVAR                            1997 to less than 26 percent in 2007 and
                                                 services, including those that can be                   Exception                                              those of larger firms has increased. The
                                                 included under ITVAR contracts.                            A few commenters noted that instead                 data would suggest bigger changes in
                                                 Second, it would hurt small businesses                  of focusing its efforts on eliminating the             many individual industries. The
                                                 under the $27.5 million receipts based                  exception and on solving the non-                      commenter’s rebuttal of another
                                                 size standard by forcing them to                        existent problem, SBA should focus its                 comment in support of SBA’s proposal
                                                 compete with businesses with much                       effort toward preventing small business                also supports the Agency’s current
                                                 larger receipts and better financial                    contracts from being diverted to large                 position that ITVARs should not be
                                                 resources. That would likely encourage                  Fortune 500 companies and their                        treated as an exception to the receipt
                                                 contracting officers to use the 150-                    subsidiaries.                                          based size standard that applies to IT
                                                 employee size standard for IT services                     In response to SBA’s justification to               services.
                                                 contracts instead of the receipts based                 change size standards because of the
                                                                                                         comments that size standards have not                  Comments on the Environmental
                                                 size standard. This would not only
                                                                                                         kept up with changes to the economy,                   Remediation Services Exception
                                                 create more confusion, but also would
                                                 have detrimental impact on small                        the commenter argued that those                           On September 15, 1994, SBA issued a
                                                 businesses that are currently receiving                 comments are false because there have                  final rule designating Environmental
                                                 small business contracts under the                      been no changes to the percentage of                   Remediation Services (ERS) an
                                                 receipts based size standard.                           U.S. firms that have less than 100                     ‘‘exception’’ under Standard Industrial
                                                    SBA also disagrees with the                          employees.                                             Classification (SIC) code 8744, Facilities
                                                 suggestion to allow ITVAR firms to                         One commenter also countered a                      Support Management Services, with a
                                                 exclude the revenue from computer                       comment from another commenter in                      size standard of 500 employees (59 FR
                                                 hardware and software sales from the                    support of the SBA’s proposal that the                 47236). Effective October 1, 2000, SBA
                                                 calculation of receipts, similar to travel              removing the ITVAR exception will                      adopted NAICS replacing the SIC
                                                 agents, real estate agents, advertising                 help level the playing field for                       system for its table of size standards (65
                                                 agents, conference organizers and                       companies looking for Federal                          FR 30836). Currently, the 500-employee
                                                 freight forwarders. In calculating                      opportunities by stating that the                      size standard for ERS is an ‘‘exception’’
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                                                 receipts for size standards, SBA follows                exception is allowing companies                        to the $20.5 million receipts based size
                                                 the U.S. Census Bureau’s definition of                  making hundreds of millions of dollars                 standard for NAICS code 562910,
                                                 receipts for its Economic Census.                       to bid as small businesses on ITVAR                    Remediation Services. The 500-
                                                 Accordingly, SBA defines receipts for                   contracts, thereby blocking true small                 employee size standard applies to
                                                 travel agents, real estate agents,                      businesses from Federal opportunities.                 Federal procurements that involve three
                                                 advertising agents, conference                          The commenter dismissed the                            or more services related to restoring a
                                                 organizers, and freight forwarders based                supporting comment as a misleading                     contaminated environment, such as


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                          4455

                                                 preliminary assessment, site inspection,                They contended that the current size                   perform more complex and larger jobs,
                                                 testing, remedial investigation, remedial               standard does not reflect the                          but cannot compete for those
                                                 action, containment, and removal and                    consolidated structure and current                     opportunities under the 500-employee
                                                 storage of contaminated materials. The                  economic reality of the ERS industry                   size standard. With small businesses
                                                 requirements that apply to the ERS                      and added that the proposed higher size                more than doubling their size under the
                                                 exception and its 500-employee size                     standard represents a more accurate                    proposed size standard, there would be
                                                 standard for Federal procurement and                    reflection of current market conditions                a corresponding increase in small
                                                 SBA’s financial assistance are in                       in the ERS industry. Some commenters                   business capabilities, they argued.
                                                 Footnote 14 to SBA’s table of small                     stated that since the size standard for                Another commenter stated that many
                                                 business size standards (13 CFR                         ERS has not changed since 1994, the                    agencies solicit work under performance
                                                 121.201).                                               proposed increase would be a                           based remediation contracts, under
                                                    In the September 10, 2014 proposed                   reasonable step toward matching                        which the prime contractor assumes all
                                                 rule, SBA proposed to increase the size                 current market conditions. With a                      risk. Current small businesses under the
                                                 standard for the ERS exception under                    disproportionately large amount of ERS                 500-employee size standard are not in a
                                                 NAICS code 562910 from 500                              work being set aside for small                         position, according to the commenter, to
                                                 employees to 1,250 employees. SBA                       businesses with fewer than 500                         undertake these risks, but the increased
                                                 sought public comments on its analyses                  employees, as some commenters                          size standard would allow small
                                                 of the industry and Federal market data                 maintained, the current size standard                  businesses to assume those risks. The
                                                 and its justification for the proposal to               adversely affects larger businesses’                   commenter added that because of the
                                                 increase the size standard for the ERS                  ability to obtain work in the ERS                      requirements, ‘‘small businesses often
                                                 exception from 500 employees to 1,250                   market. They argued that the proposed                  end up serving as pass through for work
                                                 employees. SBA received 32 comments,                    higher size standard would help to                     that is ultimately performed by large
                                                 26 of which were from currently small                   establish balance and fairness in the                  businesses.’’
                                                 businesses (i.e., with 500 or fewer                     Federal ERS market. Some stated that                      One currently large company
                                                 employees) and six from other than                      increasing the size standard would                     supporting SBA’s proposal to increase
                                                 small businesses (i.e., those with more                 increase the number of set-aside                       the size standard believed that the size
                                                 than 500 employees). Commenters                         contracts for small businesses and                     standard for ERS should be even higher
                                                 included women owned small                              decrease the number of contracts under                 at 1,500 employees. The commenter
                                                 businesses (WOSBs), current and former                  full and open competition.                             argued that its size is ‘‘disadvantaged’’
                                                 HUBZone and 8(a) businesses, service                       The commenters stated that the higher               vis a vis both ‘‘mega’’ firms and small
                                                 disabled veteran owned small                            size standard would increase the                       businesses. With mergers and
                                                 businesses (SDVOSBs), and minority                      number of small businesses and allow                   acquisitions driving up the average size
                                                 and Native American owned companies.                    the government to increase the number                  of businesses in the industry, the
                                                 As stated earlier, 23 commenters                        and size of small business set-aside                   definition of a small business should
                                                 opposed SBA’s proposal to increase the                  contracts. They stated that no individual              increase as well, the commenter
                                                 ERS size standard to 1,250 employees                    firm at the 1,250-employee size standard               concluded. Among the others
                                                 and nine supported it. Three of the                     would dominate the ERS industry and                    supporting SBA’s proposal, one
                                                 commenters opposing the proposed                        that the number of firms that would                    suggested delaying the adoption of the
                                                 1,250-employee size standard suggested                  become small under the proposed                        revised size standard by 12 months to
                                                 a smaller increase to 750 employees.                    higher size standard would be                          allow companies to plan and prepare to
                                                 One large business commenter                            insignificant relative to total firms in the           compete with larger companies.
                                                 supporting SBA’s proposal suggested                     ERS industry. One commenter stated                     Another suggested adding nuclear
                                                 that SBA adopt a higher 1,500-employee                  that the increased size standard would                 remediation services to the ERS
                                                 size standard. These comments and                       not affect 8(a) businesses, HUBZone                    definition because remediation of
                                                 SBA’s responses are discussed below.                    businesses, SDVOSBs, or WOSBs. Some                    nuclear materials is a significant part of
                                                                                                         argued that the higher size standard                   Federal ERS contracts, while another
                                                 Comments Supporting SBA’s Proposal
                                                                                                         would provide small businesses with                    recommended including regulatory
                                                 To Increase the ERS Size Standard to
                                                                                                         more opportunities to compete for a                    compliance.
                                                 1,250 Employees
                                                                                                         larger share of the Federal ERS market.
                                                    Commenters that supported the                           Some commenters noted that by                       SBA’s Response
                                                 proposed increase of the ERS size                       increasing small business participation                   SBA is not adopting 1,500 employees
                                                 standard to 1,250 employees reasoned                    and job creation, the higher size                      as the size standard for ERS as suggested
                                                 that it would enable small businesses to                standard would promote the Jobs Act                    by one of the commenters for several
                                                 grow beyond 500 employees. The                          initiative, while others stated that by                reasons. First, besides consolidation in
                                                 commenters argued that the higher size                  increasing the pool of small businesses                the ERS, the commenter did not provide
                                                 standard would open doors to firms that                 it would assist agencies to meet their                 specific data or analysis supporting the
                                                 have purposely remained under the 500-                  small business contracting goals. Others               suggested 1,500-employee size standard.
                                                 employee standard, and it would                         argued that it would ensure that the                   Second, the industry and Federal
                                                 thereby spur business expansions and                    government has an adequate pool of                     procurement data SBA analyzed in the
                                                 job creation. They noted that due to                    small businesses and it would increase                 proposed rule and in this final rule does
                                                 increased consolidation in the ERS                      competition in the small business ERS                  not support a 1,500-employee size
                                                 industry there exists a large gap between               market and provide greater value for the               standard for ERS. Third, SBA is
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                                                 firms below 500 employees and very                      dollars awarded to small businesses.                   concerned that a 1,500-employee size
                                                 large firms, thereby rendering smaller                     Some commenters pointed out that                    standard would put many small ERS
                                                 firms no longer able to compete for                     firms under 500 employees lack the                     firms at a significant competitive
                                                 Federal opportunities on a full and open                capacity to handle the increasing                      disadvantage in competing for Federal
                                                 basis. The commenters argued that the                   volume, complexity, and size of ERS                    opportunities. SBA does not agree with
                                                 higher size standard would close this                   contracts. They added that mid-size                    the suggestion from another commenter
                                                 gap between small and very large firms.                 firms have the capacity and expertise to               to delay the adoption of the revised size


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                                                 4456              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 standard for ERS by 12 months. The                      to the government. The commenters also                 should either use the data on the
                                                 revised size standard that SBA adopts in                maintained that the majority of small                  number of employees associated with
                                                 the final rule becomes effective after 30               businesses are below 250 employees,                    the ERS activity only or data on firms
                                                 days from the date of publication of the                suggesting that they have plenty of room               for which ERS is their primary industry.
                                                 final rule in the Federal Register.                     to grow under the current size standard.               The Economic Census, SAM and FPDS–
                                                 Delaying the effective date would hurt                  Some explained that businesses with                    NG data do not depict an accurate
                                                 other businesses that would benefit                     500 or fewer employees represent 77                    picture of the ERS industry as they do
                                                 from the timely adoption of a revised                   percent of total firms registered in the               not differentiate between small ERS
                                                 size standard. Some commenters                          System for Award Management (SAM)                      firms and larger, more diverse firms,
                                                 suggested that nuclear remediation and                  under NAICS 562910. They added that                    they added. One commenter noted that
                                                 regulatory compliance be included                       up to 90 percent of the industry would                 FPDS–NG may not capture the sufficient
                                                 under the ERS definition. SBA believes                  qualify as small under the proposed size               picture of the ERS industry, because it
                                                 that nuclear remediation is already                     standard.                                              does not reflect subcontracting dollars.
                                                 covered under ‘‘containment, remedial                      Second, the commenters argued that                  Some commenters suggested that SBA
                                                 action, and removal and storage of                      the environmental remediation services                 should use alternative data, such as
                                                 contaminated materials’’ of the current                 industry is in decline and that present                market research and ‘‘sources sought’’
                                                 definition. Similarly, the term                         and future requirements do not support                 data from Department of Defense (DoD),
                                                 ‘‘regulatory compliance’’ is very broad                 the proposed increase to the ERS size                  Department of Energy (DoE), and
                                                 to include under the ERS definition.                    standard. They alleged that SBA failed                 Environmental Protection Agency
                                                 Thus, SBA is not adopting these                         to consider this factor when proposing                 (EPA).
                                                 changes.                                                the increase. They stated that most sites                 One commenter attributed the high
                                                                                                         identified in earlier decades have                     Gini coefficient value to limiting the
                                                 Comments Opposing SBA’s Proposal To                     already been remediated or restored and                analysis to two PSCs that SBA used in
                                                 Increase the ERS Size Standard to 1,250                 fewer new sites are being designated.                  defining ERS contracts and to including
                                                 Employees                                               For example, as the commenters stated,                 the contract awards data under the
                                                    Commenters that were opposed to the                  of the more than 38,000 sites under                    American Recovery and Reinvestment
                                                 proposed increase of the ERS size                       DoD’s restoration programs more than                   Act of 2009 (ARRA). The commenter
                                                 standard to 1,250 employees provided                    29,000 are now in monitoring status or                 noted that the two PSCs SBA selected
                                                 several reasons to support their                        complete. The commenters added that                    represented only 38 percent of dollar
                                                 positions. First, the commenters                        Federal government spending on ERS                     awards during 2009–2011, while the
                                                 contended that the current ERS market                   work is down 42 percent in the last five               government used 716 PSCs under
                                                 is competitively fair under the 500-                    years, and the average sizes of ERS                    NAICS 562910 in 2009–2013. The
                                                 employee size standard, which was                       contracts have decreased as well. They                 commenter stated that 21 percent of
                                                 SBA’s goal when it established the ERS                  argued that to raise the size standard for             contract dollars in ERS for 2009–2011
                                                 exception and the 500-employee size                     an industry that is declining runs                     were awarded under ARRA, of which 24
                                                 standard in 1994. They argued that there                counter to the reality of the market. One              percent were awarded to small
                                                 is no need for an increase to the size                  commenter argued that expansion of the                 businesses compared to 57 percent of
                                                 standard for ERS because agencies                       size standard when the Federal market                  non-ARRA awards. The commenter
                                                 already have a sufficiently large and                   is declining would harm those firms                    suggested excluding ARRA funds from
                                                 robust pool of highly qualified and                     that have dedicated resources to support               the analysis and increasing the weight
                                                 experienced small businesses with the                   the Federal government as small                        of the Federal contract factor five to ten
                                                 capacity, capability, and reach to meet                 businesses.                                            times. In view of the sensitivity of the
                                                 their environmental remediation                            Third, a number of commenters                       average firm size to size and number of
                                                 requirements. The commenters stated                     expressed several concerns with SBA’s                  firms, some commenters suggested
                                                 that this is proven by the successful                   analysis and the data it used in the                   using the median firm size instead of
                                                 performance of partial and total small                  proposed rule. The commenters                          the average.
                                                 business set-asides under various                       contended that, by including very big                     Fourth, many commenters expressed
                                                 multiple award task order contracts                     and highly diversified firms for which                 concerns that the proposed 1,250-
                                                 (MATOCs) and single award task order                    ERS is not a major source of revenue,                  employee size standard would allow
                                                 contracts (SATOCs) under the ERS                        SBA’s analysis inflated the average size,              more successful mid-sized and large
                                                 exception. They added that most ERS                     four-firm concentration and Gini                       businesses with significant financial
                                                 contracts rarely require resources of a                 coefficient of firms in this industry, and             capacity and resources to dominate the
                                                 company with more than 500                              in turn inflated the size standard.                    ERS small business market, thereby
                                                 employees. Some stated that Federal                     Referring to the data on the top 200                   rendering the majority of businesses
                                                 clients are not adversely affected by the               environmental companies from                           with fewer than 500 employees unable
                                                 existing 500-employee size standard.                    Engineering News-Record (http://                       to compete for Federal opportunities.
                                                 The commenters noted that, during                       enr.construction.com), several                         They added this would cause
                                                 2009–2013, 37–39 percent of ERS dollar                  commenters argued that most of the                     irreparable damage to existing and
                                                 awards were made to small businesses,                   large businesses receiving contracts                   emerging small businesses that need
                                                 as compared to the Federal                              under NAICS 562910 have only a minor                   SBA’s support the most. They noted that
                                                 government’s small business contracting                 percentage of their employees                          this would be contrary to SBA’s mission
                                                 goal of 23 percent. They stated that it is              participating in ERS work. Others                      to aid, counsel, assist and protect small
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                                                 rare that an agency receives less than a                argued that SBA evaluated all firms in                 business interests. The higher size
                                                 dozen bids on contracting opportunities                 NAICS 562910, instead of a subset of                   standard would mainly promote the
                                                 set aside for small businesses. One                     firms that are primarily engaged in the                interests of a very few larger, well-
                                                 commenter stated that the 500-employee                  ERS activity. As a result, they argued,                established businesses above 500
                                                 size standard has worked well for all                   comparisons with anchor industry                       employees at the expense of many small
                                                 these years and it provides robust                      groups are unfair and not statistically                businesses under 500 employees, the
                                                 competition and significant cost savings                valid. They recommended that SBA                       commenters added. One commenter


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                          4457

                                                 argued that increasing the size standard                sub-industry, the majority of them                     As explained in the proposed rule, SBA
                                                 would decrease small business                           suggested no alternative data sources. A               analyzed only about 700 firms receiving
                                                 participation because this would                        few suggested using the market research                Federal contracts for environmental
                                                 discourage small businesses from                        and sources sought data from Federal                   remediation services during fiscal years
                                                 competing for small business contracts                  agencies. SBA is not aware that such                   2009–2011, as compared to more than
                                                 as the market would be crowded with                     data is stored or available, nor is it                 3,000 firms in NAICS 562910 from the
                                                 significantly larger players. A few                     necessarily complete, since each                       2007 Economic Census, nearly 9,300
                                                 commenters maintained that small                        contracting officer may conduct market                 firms registered in SAM (as of March
                                                 businesses are already faced with                       research in a different way, and firms                 2015), and about 1,700–1,800 firms
                                                 difficulty in competing against                         respond to sources sought notices in                   receiving Federal contracts during fiscal
                                                 companies with 500 employees, and if                    different ways, or sometimes not at all                years 2012–2014 under that NAICS
                                                 the size standard is increased to 1,250                 based on various factors.                              code. On the other hand, analyses from
                                                 employees they would go out of                             While SBA agrees with the                           other commenters applied to total
                                                 business. Some commenters noted that                    commenters that the presence of large                  NAICS 562910, instead of the ERS sub-
                                                 the higher size standard would not                      firms would affect the magnitude of                    industry. For example, some noted that
                                                 change the dominance of very large                      industry factors and supported size                    77 percent of firms in NAICS 562910 are
                                                 companies on unrestricted                               standards, it disagrees with their                     below 500 employees and that would
                                                 competitions, but, by increasing the                    argument that large firms should be                    increase to 90 percent if the size
                                                 number of small businesses, it would                    excluded from the analysis if ERS is not               standard is increased to 1,250
                                                 increase competition for set-asides.                    their primary activity. Even if ERS is not             employees. For the majority of
                                                 Some believed that with a larger pool of                their primary activity in terms of its                 industries, the current size standards
                                                 small businesses under the higher size                  contribution to their total revenue or                 cover 90–95 percent of firms. Thus,
                                                 standard more contracts would be set                    employment, large firms can have                       even if the 1,250-employee size
                                                 aside with no subcontracting                            significant competitive advantage in the               standard would include 90 percent
                                                 requirements, thereby reducing                          market over their smaller counterparts.                firms within the ERS sub-industry, that
                                                 subcontracting opportunities for some                   For example, a 10,000-employee                         would not be inconsistent with most
                                                 small businesses. Small businesses,                     company, even if only 2.5 percent of its               other industries. One commenter argued
                                                 according to some commenters, are                       workforce (or 250 employees) is engaged                that the two PSCs SBA used to identify
                                                 reluctant to bid on unrestricted                        in the ERS activity, would have a                      the ERS contracts accounted for only 38
                                                 contracts, because those contracts are                  significant competitive edge over a 500-               percent of awards in NAICS 562910, but
                                                 usually too large to take on without a                  employee company that only performs                    did not specify what other PSCs SBA
                                                 large business partner. Raising the size                ERS work, due to its considerable                      should consider in identifying the ERS
                                                 standard would allow large businesses                   resources and economies of scale.                      contracts. SBA agrees that there exist a
                                                 to compete on their own without the                     However, in response to the comments,                  large number of other PSCs associated
                                                 need for small business partners, they                  in this final rule SBA has updated its                 with contracts under NAICS 562910, but
                                                 argued.                                                 analysis of industry and Federal                       it should be noted that they all do not
                                                                                                         contracting factors for the ERS sub-                   apply to ERS contracts. The FPDS–NG
                                                 SBA’s Response                                          industry by using more recent data for                 data for fiscal years 2012–2014 show
                                                   With respect to commenters’ concerns                  fiscal years 2012–2014 and by excluding
                                                 with including diversified firms in the                                                                        432 PSCs under NAICS 562910,
                                                                                                         the largest firms for which ERS work
                                                 analysis, SBA believes that, because by                                                                        significantly fewer than 716 PSCs
                                                                                                         was not a significant source of their
                                                 definition ERS procurements are                                                                                suggested by the commenter. SBA
                                                                                                         Federal revenues. This also addresses
                                                 composed of activities in three or more                                                                        selected the two PSCs based on its
                                                                                                         concerns from some commenters that
                                                 separate industries with separate NAICS                                                                        thorough review of contract awards data
                                                                                                         the 2009–2011 data SBA used in the
                                                 codes, companies involved in ERS work                                                                          on FPDS–NG.
                                                                                                         proposed rule were influenced by ARRA
                                                 are likely to be diversified. The FPDS–                 funds and the results in the proposed                     In response to comments that the
                                                 NG data depicts that companies                          rule were not comparable to the                        Federal ERS market has been in decline,
                                                 receiving ERS contracts under NAICS                     Economic Census.                                       SBA examined Federal contracting
                                                 562910 have also received contracts                        SBA also disagrees with the                         trends under NAICS 562910 for fiscal
                                                 under other NAICS codes. Accordingly,                   commenters’ suggestion that SBA                        years 2001–2014 using the data from
                                                 focusing on the data on firms that are                  should only consider the number of                     FPDS–NG. Total contract dollars for
                                                 primarily engaged in one of those                       employees associated with the ERS                      overall NAICS 562910 showed
                                                 activities may not provide an accurate                  activity when a company operates in                    continuous growth from a little above
                                                 and complete picture of the ERS sub-                    multiple NAICS codes. For size                         $1.0 billion in 2001, peaking at a little
                                                 industry. Additionally, there really does               standards purposes, SBA defines                        over $7.0 billion in 2009 in conjunction
                                                 not exist any data source for firms that                business size in terms of total                        with the ARRA. Since then annual
                                                 are primarily engaged in ERS work. For                  employees or receipts for the overall                  contract dollars for NAICS 562910 have
                                                 example, as explained in the proposed                   company, not based on employees or                     remained at about the same level as that
                                                 rule, the Economic Census data for                      receipts associated with individual                    for several pre-ARRA years. Similarly,
                                                 NAICS 562910 reflect all firms involved                 NAICS codes. Additionally, none of the                 total dollar awards under the two PSCs
                                                 in remediation services, but not                        data sources SBA considers in its size                 (i.e., F108 and F999) that SBA used to
                                                 specifically those in the ERS sub-                      standards analysis (such as Economic                   identify ERS contracts also showed a
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                                                 industry. Similarly, as the commenters                  Census, SAM, and FPDS–NG) would                        similar trend. That is, total dollars
                                                 have noted, SAM and FPDS–NG data                        provide employees or receipts broken                   under ERS contracts also showed
                                                 also do not accurately reflect a                        down by NAICS code or type of work                     continuous growth, increasing from
                                                 company’s primary industry. While                       performed.                                             nearly $0.64 billion in 2001 to nearly
                                                 many commenters expressed concerns                         The argument by some commenters                     $2.0 billion in 2009. ERS contract
                                                 with the Economic Census, SAM, and                      that the SBA’s analysis focused on all                 dollars declined during fiscal years
                                                 FPDS–NG data for evaluating the ERS                     firms in NAICS 562910 is not correct.                  2010–2011, but bounced back averaging


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                                                 4458              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 a little over $2.0 billion during fiscal                contracts from truly small businesses                  from $1.5 million to $5.5 million, and
                                                 years 2012–2014. Although the growth                    that SBA is supposed to be supporting.                 for SBA Express loans made during the
                                                 in Federal ERS market has slowed and                                                                           one year period following the Jobs Act
                                                                                                         SBA’s Response
                                                 seen some ups and downs in recent                                                                              from $350,000 to $1 million. Second, at
                                                 years, these trends do not necessarily                     SBA acknowledges that some of its                   the same time, Congress also increased
                                                 support the argument that the ERS                       proposed size standards could include                  the tangible net worth and net income
                                                 industry is shrinking.                                  as much as 97 percent to 99 percent of                 limits of the alternative size standard
                                                                                                         firms in a given industry. However, it is              from $8.5 million and $3 million to $15
                                                 Comments Supporting SBA’s Proposed                      very important to point out that while                 million and $5 million, respectively.
                                                 Size Standards in General                               it may appear to be a large segment of                 Under the alternative size standard,
                                                    An association representing small                    an industry in terms of the percentage                 businesses that are above their industry
                                                 business investment companies (SBICs)                   of firms, small firms in those industries              size standards can qualify for SBA’s
                                                 applauded SBA’s effort to review and                    represent only about a third of total                  loans. These statutory changes are
                                                 increase size standards for the 30                      industry receipts.                                     important factors behind the increase in
                                                                                                            What constitutes a small business in                the average size of an SBA loan.
                                                 industries covered by the proposed rule.
                                                                                                         other countries does not apply and has                 However, such changes do not
                                                 The association also supported SBA’s
                                                                                                         no relevance to SBA’s small business                   necessarily mean that truly small
                                                 approach to maintaining the current size
                                                                                                         definitions and U.S. Government                        businesses are getting fewer loans now
                                                 standards for 24 industries. Specifically,
                                                                                                         programs that use them. Depending on                   than in 2008. In fact, businesses with
                                                 it supported the proposed increases to
                                                                                                         their economic and political realities,                less than 10 employees received a total
                                                 size standards in the Mining, Freight
                                                                                                         other countries have their own programs                of $12.1 billion in loans through SBA’s
                                                 Transportation and Publishing and                       and priorities that can be very different
                                                 Technology Sectors because SBICs have                                                                          7(a) and 504 programs in 2014, as
                                                                                                         from those in the U.S. Accordingly,
                                                 substantial investments in those sectors.                                                                      compared to $10.6 billion in 2008. That
                                                                                                         small business definitions other
                                                 The association noted that proposed                                                                            was an increase of more than 14
                                                                                                         countries use for their government
                                                 size standards increases will expand                                                                           percent.
                                                                                                         programs can be vastly different from                     With respect to the claim that large
                                                 investment opportunities for SBICs and                  those established by SBA for U.S.
                                                 promote job creation and suggested that                                                                        corporations that qualify as small under
                                                                                                         Government programs. From time to                      the expanded definition of small
                                                 SBA should review and update size                       time, the U.S. Congress has used
                                                 standards on a regular basis.                                                                                  businesses will take away government
                                                                                                         different thresholds, sometimes below                  contracts from truly small businesses,
                                                 Comments Opposing SBA’s Proposed                        the SBA’s thresholds, to define small
                                                                                                                                                                the commenter did not provide any
                                                 Size Standards in General                               firms under certain laws or programs,
                                                                                                                                                                supporting data.
                                                                                                         but those thresholds apply only to those
                                                   One commenter opposed SBA’s                           laws and programs and generally are of                 Analyses and Conclusions
                                                 proposed increases to size standards.                   no relevance to SBA’s size standards.
                                                 The commenter argued that instead of                                                                           ITVAR Industry Analysis
                                                                                                         SBA establishes size standards, in
                                                 focusing on the 98 percent of businesses                accordance with the Small Business                        In the 2003 final rule, SBA used a
                                                 that are truly small businesses, SBA is                 Act, for purposes of establishing                      hybrid approach to create and evaluate
                                                 focusing on the 2 percent of the largest                eligibility for Federal small business                 the ITVAR exception. Specifically,
                                                 corporations and classifying them as                    procurement and financial assistance                   based on the assumption that ITVARs
                                                 small businesses so that they can take                  programs. The primary statutory                        operate in NAICS Industry Group 5415
                                                 business and loans away from truly                      definition of a small business is that the             (Computer System Design and Related
                                                 small businesses. The commenter added                   firm is not dominant in its field of                   Services) and in NAICS 423430
                                                 that SBA’s small business definitions                   operation. Accordingly, rather than                    (Computer and Computer Peripheral
                                                 are much larger than those used by                      representing the smallest size within an               Equipment and Software Merchant
                                                 other countries (such as Australia and                  industry, SBA’s size standards generally               Wholesalers), SBA used the 1997
                                                 European Union) and by the U.S                          designate the largest size that a business             Economic Census data and combined
                                                 Congress, for example, for the                          concern can be relative to other                       part of NAICS Industry Group 5415 with
                                                 Affordable Health Care Act. The                         businesses in the industry and still                   part of NAICS 423430 and defined the
                                                 commenter further stated that since                     qualify as small for Federal government                result as the ITVAR industry and used
                                                 2008, SBA, by expanding small business                  programs that provide benefits to small                it as the basis to establish the
                                                 definitions, has allowed more than                      businesses.                                            characteristics of ITVAR firms. As
                                                 74,000 larger corporations to be                           The commenter’s figures on average                  discussed elsewhere in this final rule,
                                                 classified as small. The commenter                      loan size for 2008 and 2013 are not                    SBA now finds several problems with
                                                 claimed that the average size of SBA’s                  correct. Based on numbers and amounts                  that approach. First, there is no need to
                                                 loan increased from $185,000 in 2008 to                 of loans issued under SBA’s 7(a) and                   create the ITVAR industry in that
                                                 $534,000 in 2013, while the share of                    CDC/504 loan programs, the average                     manner because, based on their primary
                                                 loans under $100,000, which the                         loan size increased from about $230,500                activity of selling computer hardware
                                                 commenter claimed generally go to truly                 in 2008 to about $426,900 in 2013,                     and software, ITVARs are included in
                                                 small businesses, decreased from 24                     rather than from $185,000 to $534,000                  NAICS 423430. Accordingly, SBA now
                                                 percent to 9 percent. The commenter                     as claimed by the commenter.                           believes the industry data for NAICS
                                                 used these statistics to conclude that the                 SBA does not agree that increases in                423430 alone would provide a more
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                                                 expansion of small business size                        average loan amounts and decreases in                  accurate description of ITVAR firms
                                                 definitions has excluded truly small                    smaller loans are solely due to the                    than the hybrid approach, especially
                                                 businesses from SBA’s loans programs.                   increases in size standards for two                    given significant differences in
                                                 Lastly, the commenter claimed that                      reasons. First, with the passage of the                economic structure between firms in
                                                 large corporations that qualify as small                Jobs Act in 2010, Congress increased the               NAICS Industry Group 5415 and ITVAR
                                                 under the expanded definition of small                  limits for SBA’s 7(a) loans from $2                    firms, as suggested by the Economic
                                                 businesses will take away government                    million to $5 million, for CDC/504 loans               Census data and also confirmed by


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                                                                       Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                                                               4459

                                                 many commenters. Second, in                                      share the same 500-employee size                                      and also noted in the 2003 final rule,
                                                 combining the two industry categories,                           standard for purposes of Federal                                      based on their primary activity, ITVARs
                                                 the sale of computer hardware and                                procurement of supplies under the                                     are classified under NAICS 423430 in
                                                 software segment of NAICS 423430 was                             NMR. Thus, any size standard exception                                Wholesale Trade Sector (NAICS Sector
                                                 excluded even if that segment                                    to the ITVARs, if warranted, should be                                42). Given that ITVARs are part of one
                                                 accounted for more than 80 percent of                            addressed within the context of the                                   of the industries in Wholesale Trade
                                                 total receipts of that industry. Many                            NMR.                                                                  and that the current size standard for
                                                 commenters also argued that the sales of                            In response to the comments and                                    Federal procurement of supplies for all
                                                 computer hardware and software                                   reevaluation of all available industry                                firms in the Wholesale Trade sector is
                                                 account for the majority of receipts of                          and Federal procurement data relating                                 500 employees under the NMR, SBA
                                                 ITVAR firms. SBA has determined that                             to the ITVAR exception, SBA analyzed                                  believes it is pertinent to examine the
                                                 had the computer hardware and                                    economic characteristics of ITVAR firms
                                                                                                                                                                                        characteristics of ITVAR firms relative
                                                 software segment been included, the                              and their size standard using two data
                                                                                                                                                                                        to those for other industries in the sector
                                                 analysis would have supported the same                           sources. The first is the 2007 Economic
                                                                                                                                                                                        to determine if a different size standard
                                                 500-employee nonmanufacturer size                                Census data (the latest available) for
                                                                                                                  NAICS Sector 42, including NAICS                                      is appropriate for ITVAR firms. For this,
                                                 standard for ITVAR firms as well. Third,
                                                                                                                  423430. Second is the FPDS–NG and                                     using the 2007 Economic Census data,
                                                 by construction, the ITVAR exception
                                                                                                                  small business goaling data on firms                                  SBA ranked all industries in NAICS
                                                 applies to procurements that are
                                                 predominantly supply contracts, yet the                          receiving contracts under the ITVAR                                   Sector 42 based on each industry factor
                                                 2003 final rule included it as an                                exception to NAICS 541519 during                                      and placed them in one of the five
                                                 exception to NAICS 541519, which is a                            fiscal years 2012–2014. SBA also looked                               ranked quintiles (i.e., less than the 20th
                                                 services NAICS code. For these reasons,                          at the data from USASpending                                          percentile, the 20th to less than the 40th
                                                 in this final rule, SBA is not adopting                          (www.usaspending.gov), but business                                   percentile, the 40th to less than the 60th
                                                 the 2003 hybrid approach although                                size information of some contractors                                  percentile, the 60th to less than the 80th
                                                 some commenters suggested using the                              was found to be outdated. Therefore, for                              percentile, and the 80th or higher
                                                 same approach to evaluate the ITVAR                              Federal procurement data SBA relied on                                percentile). The quintile ranges of
                                                 exception and its 150-employee size                              FPDS–NG and small business goaling                                    values for each industry factor are
                                                 standard.                                                        data, and relied on SAM for business                                  shown in Table 1, ‘‘Values of Industry
                                                   SBA’s analysis in this final rule is                           size data.                                                            Factors for NAICS Sector 42 by
                                                 based on the premise that ITVARs are                                As stated in the proposed rule, the                                Quintile.’’ The second row from the
                                                 basically wholesalers and supply                                 Economic Census industry data are                                     bottom shows the values for firms in
                                                 computer hardware and software as                                limited to the 6-digit NAICS codes and                                NAICS 423430, while values for
                                                 nonmanufacturers and that all firms in                           do not provide economic characteristics                               industry factors for NAICS 541519 are
                                                 Wholesale Trade (NAICS Sector 42)                                for the exception. As explained above                                 in the last row for comparison.

                                                                                    TABLE 1—VALUES OF INDUSTRY FACTORS FOR NAICS SECTOR 42 BY QUINTILE
                                                                                                               Simple average                Weighted aver-              Average assets                Average number
                                                                                         Percentile               firm size                   age firm size
                                                           Quintile                                                                                                           size                       employees of             Gini coefficient
                                                                                            (%)                  (number of                    (number of                   ($million)                 largest four firms
                                                                                                                 employees)                    employees)

                                                 1st quintile ...................   <20% ..................   <13.5 ..................      <78.0 ..................    <2.8 ....................     <700.0 ................    <0.680
                                                 2nd quintile ..................    20% to <40% .....         13.5 to <17.0 ......          78.0 to <141.0 ....         2.8 to <4.5 ..........        700.0 to <1,096.3          0.680 to <0.731
                                                 3rd quintile ...................   40% to <60% .....         17.0 to <20.8 ......          141.0 to <202.8 ..          4.5 to <6.5 ..........        1,096.3 to                 0.731 to <0.786
                                                                                                                                                                                                        <1,648.8.
                                                 4th quintile ...................   60% to <80% .....         20.8 to <26.0 ......          202.8 to <448.9 ..          6.5 to <8.8 ..........        1,648.8 to                 0.786 to <0.844
                                                                                                                                                                                                        <4,034.3.
                                                 5th quintile ...................   ≥80% ..................   ≥26.0 ..................      ≥448.9 ................     ≥8.8 ....................     ≥4,034.3 .............     ≥0.844

                                                 NAICS Sector 42 (total) ...............................      18.7 ....................     606 .....................   5.4 ......................    7,562 ..................   0.814
                                                 NAICS 423430 .............................................   36.0 ....................     1,249 ..................    8.8 ......................    25,321 ................    0.891
                                                 NAICS 541519 .............................................   10.2 ....................     283 .....................   0.6 ......................    3,860 ..................   0.756



                                                   As can be seen from the above table,                           procurement is 500 employees. In the                                  FirstSource I/II, Air Force’s
                                                 NAICS 423430 falls in the fifth or                               proposed rule, published on May 19,                                   NETCENTS–2, Army’s ITES–3H,
                                                 highest quintile for all industry factors.                       2014 (79 FR 28631), SBA proposed                                      NASA’s SEWP IV/V, and NIH’s CIO–CS)
                                                 This means that for all factors NAICS                            retaining the current 500-employee size                               which, according to the commenters,
                                                 423430 ranked above more than 80                                 standard for procurement of supplies                                  have used the ITVAR exception and
                                                 percent of the industries in Sector 42.                          under the NMR. Additionally, the                                      150-employee size standard. However,
                                                 Thus, the data do not support a lower                            results also depict that firms in NAICS                               the review of the FPDS–NG data showed
                                                 size standard for firms in NAICS 423430                          423430 differ from those in NAICS                                     that, of various GWACs suggested by the
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                                                 than for other industries in the sector.                         541519.                                                               commenters, only DHS’s FirstSource
                                                 In other words, the current 150-                                    To determine characteristics of ITVAR                              I/II and NASA’s SEWP IV/V used the
                                                 employee size standard for ITVARs is                             firms and the impact of SBA’s proposal,                               ITVAR exception and 150-employee
                                                 inconsistent with their characteristics as                       many commenters recommended that                                      size standard. Among others, no awards
                                                 compared to the characteristics of firms                         SBA evaluate the data on employees                                    have been made yet under NIH’s CIO–
                                                 in other wholesale trade industries for                          and receipts of firms receiving contracts                             CS and Army’s ITES–3H. Their
                                                 which the size standard for Federal                              under various GWACs (e.g., DHS’s                                      predecessor programs used


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                                                 4460                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 manufacturing NAICS codes.                                     those 259 unique firms, SBA excluded                             size standards that the Agency used in
                                                 Specifically, NIH’s ECS–3 used NAICS                           some very large manufacturing firms for                          the proposed rule. These results along
                                                 334111, while Army’s ITES–2H mostly                            which the ITVAR activity was not a                               with supported size standards by each
                                                 used NAICS 334111, 334112 and                                  major source of their Federal revenues,                          of those factors are provided in Table 2
                                                 334119. Air Force’s NETCENTS–2 used                            as well as others with missing or                                ‘‘Size Standards Supported by Each
                                                 NAICS 334210. Additionally, based on                           questionable employee and revenue                                Factor for Firms Receiving ITVAR
                                                 review of FPDS–NG data and various                             information, yielding a total of 231                             Contracts (No. of Employees),’’ below.
                                                 GSA supply schedules, SBA found that                           firms. This group of firms still contained                       As shown in the table, the results
                                                 agencies have also procured new                                quite large firms for which the ITVAR                            support a 500-employee size standard
                                                 computer and networking hardware                               activity did not appear to be a major                            for ITVAR firms.
                                                 through GSA’s Schedule 70 SIN 132–8                            source of their Federal revenues. To
                                                 using NAICS 541519.                                            prevent such large firms from skewing                               Many commenters expressed
                                                    SBA examines the data from SAM,                             the results and obtain a more                                    concerns about having to compete with
                                                 small business goaling statistics and                          representative group of ITVAR firms,                             larger ITVARs if the ITVAR exception is
                                                 FPDS–NG to evaluate all exceptions and                         SBA further excluded 7.5 percent of the                          eliminated and ITVAR contracts are
                                                 industries that are not covered by the                         largest firms based on number of                                 reclassified under the manufacturing
                                                 Economic Census. Accordingly, using                            employees and another 5 percent of the                           NAICS codes, thereby subjecting them
                                                 the FPDS–NG and small business                                 largest firms based on revenue, resulting                        to the 500-employee nonmanufacturer
                                                 goaling data, SBA identified 259 unique                        in a total of 204 firms. SBA analyzed the                        size standard. To validate these
                                                 firms that received contracts under                            employee and revenue data on these                               concerns, SBA analyzed characteristics
                                                 DHS’s FirstSource I and II, NASA’s                             firms to establish industry                                      of firms receiving computer hardware
                                                 SEWP IV and V, and GSA’s Schedule 70                           characteristics of ITVAR firms in terms                          and software contracts under NIH’s
                                                 SIN 132–8 using the ITVAR exception to                         of average size, industry concentration,                         ECS–3, NASA’s SEWP IV, Army’s ITES–
                                                 NAICS 541519 during fiscal years 2012–                         and distribution by size. Firms that                             2H, and GSA’s Schedule 70 SIN 132–8
                                                 2014. By program, 37 firms received                            received contracts under NASA’s SEWP                             that used the manufacturing codes
                                                 contracts under FirstSource I and II, 174                      V did not yet have dollars awarded to                            under Industry Group 3411 (Computer
                                                 firms under SEWP IV and V, and 111                             them. Thus, SBA excluded those firms                             and Peripheral Equipment
                                                 firms under Schedule 70. These figures                         when calculating the Federal                                     Manufacturing), NAICS 423430
                                                 add up to more than 259 firms because                          contracting factor (i.e., the difference                         (Computer and Computer Peripheral
                                                 some firms received contracts under                            between small business share of total                            Equipment and Software Merchant
                                                 more than one program. SBA obtained                            industry receipts and the similar share                          Wholesalers), or NAICS 443142/443120
                                                 latest information on average annual                           of total contracts dollars). SBA derived                         (Electronic Stores (NAICS 2012)/
                                                 receipts and number of employees of                            the size standard for each factor using                          Computer and Software Stores (NAICS
                                                 those firms from their SAM profiles. Of                        the methodology for employee based                               2007)).
                                                                  TABLE 2—SIZE STANDARDS SUPPORTED BY EACH FACTOR FOR FIRMS RECEIVING ITVAR CONTRACTS
                                                                                                                                  [Number of employees]

                                                            (1)                  (2)                (3)              (4)                (5)              (6)               (7)              (8)               (9)             (10)

                                                                                 Simple          Weighted                                              Four-firm                          Federal          Calculated     Current size
                                                                                average           average        Average             Four-firm
                                                  NAICS Code/GWAC                                                                                    average size         Gini            contract       size standard     standard
                                                                               firm size         firm size      assets size            ratio
                                                      Program                                                                                         (number of       coefficient         factor         (number of      (number of
                                                                              (number of        (number of       ($million)             (%)          employees) *                           (%)           employees)      employees)
                                                                              employees)        employees)

                                                 ITVAR Exception,
                                                   541519 .................            63                 298              $9.5               11.3               NA          0.359                23.0              500              150
                                                 NASA SEWP IV and
                                                   V, DHS First
                                                   Source I and 2,
                                                   and GSA Sched-
                                                   ule 70 SIN 132 8                    500                500              500                                                    500             150
                                                 3341, 423430 and
                                                   443142/443120 ....                   57                438              $7.1               11.3               NA          0.519                 3.2              500              500
                                                 NASA SEWP IV,
                                                   NIH ECS–3,
                                                   ARMY ITES–2H,
                                                   and GSA Sched-
                                                   ule 70 SIN 132–8                    500                750              500                                                    500             500
                                                   * Size standard for four-firm average size is not calculated as the four-firm ratio is less than 40%.


                                                    Using the FPDS–NG and small                                 as others with missing or questionable                           another 5 percent based on revenue,
                                                 business goaling data, SBA identified                          employee and revenue information,                                yielding a total of 371 firms. Using these
                                                 446 unique firms that received contracts                       there remained 421 firms. This group of                          firms, SBA derived industry factors
                                                 during fiscal years 2012–2014 through                          firms still included some large firms for                        (e.g., average size, average assets,
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                                                 those programs using NAICS Industry                            which computer hardware and software                             industry concentration, and the Gini
                                                 Group 3411, NAICS 423430, and NAICS                            contracts did not appear to be a                                 coefficient) and Federal contracting
                                                 443142/443120. After the exclusion of                          principal source of their Federal sales.                         factor and supported size standards
                                                 manufacturing firms and very large                             To prevent such large firms from biasing                         using the ‘‘SBA’s Size Standards
                                                 firms for which the sales of computer                          the results, SBA further removed 7.5                             Methodology’’ (available at
                                                 hardware and software was not a major                          percent of the remaining largest firms                           www.sba.gov/size) used in the proposed
                                                 source of their Federal revenue, as well                       based on the number of employees and                             rule. These results are also shown in


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                           4461

                                                 Table 2, ‘‘Size Standards Supported by                  contracts. This would also eliminate                   analyzed the data on firms receiving
                                                 Each Factor for Firms Receiving ITVAR                   inconsistency in the current regulations               ERS contracts during fiscal years 2012–
                                                 Contracts (No. of Employees), above.                    that exempt the ITVAR contracts from                   2014 and the 2014 top 200
                                                 The results on individual factors and                   the manufacturing performance                          environmental firms from Engineering
                                                 size standards supported by them do not                 requirements or the NMR, even if by                    News-Record (ENR) (http://
                                                 seem to suggest that firms receiving                    definition they are primarily supply                   enr.construction.com/toplists/) that
                                                 computer hardware and software                          contracts.                                             some commenters provided. The review
                                                 contracts under the manufacturing                          The current definition of the ITVAR                 of the 2012–2014 Federal contracting
                                                 NAICS codes are larger than those                       exception in Footnote 18 also provides                 data confirms that the two PSC codes
                                                 receiving similar contracts under the                   for eligibility of ITVARs for SBA’s                    SBA used in the proposed rule to
                                                 ITVAR exception to NAICS 541519. The                    financial assistance. For firms in NAICS               identify ERS contracts were correct.
                                                 data from both groups of firms support                  Sectors 42 and 44–45, the applicable                   SBA believes that this more recent data
                                                 the same 500-employee size standard for                 size standard for SBA’s financial                      not only provides a better reflection of
                                                 ITVARs.                                                 assistance is the size standard for their
                                                                                                                                                                the ERS market conditions, but also
                                                    Thus, based on the characteristics of                primary industry. Accordingly, for
                                                                                                                                                                addresses the commenters’ concerns for
                                                 firms in NAICS 423430 relative to those                 SBA’s financial assistance, ITVARs will
                                                                                                                                                                including ARRA funds in the 2009–
                                                 for all firms in NAICS Sector 42 and                    qualify under the industry-specific size
                                                 data on firms receiving computer                        standard for NAICS 423430, which SBA                   2011 data used in the proposed rule.
                                                 hardware and software contracts both                    recently increased from 100 employees                  Additionally, in computing the industry
                                                 under the ITVAR exception and                           to 250 employees. Because this size                    and Federal contracting factors, SBA
                                                 manufacturing NAICS codes, the data                     standard is higher than the 150-                       excluded the largest environmental
                                                 suggests that the size standard for                     employee ITVAR size standard and                       firms for which ERS contracts did not
                                                 ITVAR firms should be the same as the                   ITVARs that exceed the 150-employee                    appear to be a major source of their total
                                                 500-employee nonmanufacturer size                       size standard can still qualify for                    revenues.
                                                 standard. However, in view of concerns                  financial assistance under the tangible                   Using the FPDS–NG and small
                                                 from most commenters that with the                      net worth and net income based                         business goaling data, SBA identified
                                                 elimination of the ITVAR exception                      alternative size standard, SBA does not                921 unique firms that received ERS
                                                 small ITVARs with fewer than 150                        see the need to include the eligibility                contracts during fiscal years 2012–2014.
                                                 employees would be forced to compete                    requirement for SBA’s financial                        With the exclusion of known non-
                                                 for Federal opportunities with large                    assistance under the ITVAR exception.                  environmental firms and those with
                                                 companies up to 500 employees under                     SBA’s amendments to Footnote 18 to                     missing or questionable employee and
                                                 the 500-employee nonmanufacturer size                   SBA’s table of size standards also reflect             revenue information, there remained
                                                 standard, SBA has decided to leave the                  this change.                                           882 firms. To prevent very large,
                                                 exception under NAICS 541519 with the                      Given the above amendment to                        diversified firms from biasing the
                                                 150-employee size standard.                             Footnote 18 to the table of size                       results, SBA further excluded 5 percent
                                                    As discussed elsewhere in this final                 standards that the offeror on small                    of the largest firms for which ERS
                                                 rule SBA has determined that there is                   business set-aside ITVAR contracts must                activity did not generally appear to be
                                                 no legal basis to exclude ITVAR                         comply with the manufacturing                          a principal source of their total sales.
                                                 contracts, which by definition are                      performance requirements or the NMR,
                                                 primarily supply contracts, from the                                                                           Additionally, using the information on
                                                                                                         SBA is also amending paragraph b(3)
                                                 manufacturing performance                                                                                      the top 200 environmental firms from
                                                                                                         under 13 CFR 121.406 to provide that
                                                 requirements or the NMR. Accordingly,                                                                          ENR that the commenters provided,
                                                                                                         the NMR also applies to procurements
                                                 in this final rule, SBA has amended                                                                            SBA excluded five more very large firms
                                                                                                         that have been assigned the Information
                                                 Footnote 18 by adding the requirement                                                                          for which environmental work
                                                                                                         Technology Value Added Resellers
                                                 that the offeror on small business set-                                                                        (including both Federal and non-
                                                                                                         (ITVAR) exception to NAICS code
                                                 aside ITVAR contracts must comply                                                                              Federal) accounted for less than 25
                                                                                                         541519. Similarly, SBA is also
                                                 with the manufacturing performance                      amending paragraph b(4) under 13 CFR                   percent of their total revenues. This
                                                 requirements or the NMR. That means                     121.406 to provide that the NMR also                   yielded a total of 833 firms. SBA
                                                 products being supplied must be of a                    applies to the supply component of a                   analyzed the employment and revenue
                                                 small business manufacturer made in                     requirement classified as an ITVAR                     data on these firms to obtain industry
                                                 the U.S., unless no small business                      contract.                                              factors (e.g., average size, industry
                                                 manufacturers exist. If an agency                          Finally, SBA is also amending                       concentration, and the Gini coefficient)
                                                 determines that no small businesses                     introductory text in paragraph b(5)                    and the Federal contracting factor and
                                                 manufacturers can be expected to meet                   under 13 CFR 121.406 to correct a typo                 supported size standards using the
                                                 requirements under a particular                         in paragraph citation from paragraph                   SBA’s size standards methodology used
                                                 solicitation, they can request a waiver of              b(1)(iii) to paragraph b(1)(iv).                       in the proposed rule. As in the proposed
                                                 the NMR, as discussed in more detail at                                                                        rule, SBA is unable to compute the
                                                 13 CFR 121.406 and 121.1204. This                       ERS Industry Analysis                                  average assets due to the lack of data.
                                                 would eliminate the current confusion                     In response to the comments, SBA                     The results of this analysis are provided
                                                 on the applicability of the                             reevaluated the methodology and data                   in Table 3, ‘‘Size Standards Supported
                                                 manufacturing performance                               sources it used in the proposed rule.                  by Each Factor for the ERS Sub-industry
                                                 requirements or the NMR to the ITVAR                    Specifically, in this final rule, SBA has              (No. of Employees),’’ below.
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                                                 4462                       Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                                                 TABLE 3—SIZE STANDARDS SUPPORTED BY EACH FACTOR FOR THE ERS SUB-INDUSTRY
                                                                                                                                          [Number of employees]

                                                                                              Simple               Weighted                                                          Four-firm                                             Calculated
                                                                                           average firm          average firm            Average                                                                        Federal
                                                                                                                                                        Four-firm ratio            average size                                          size standard
                                                                                               size                  size              assets size                                                Gini coefficient   contract factor
                                                                                                                                                             (%)                    (number of                                            (number of
                                                                                            (number of            (number of            ($ million)                                                                       (%)
                                                                                                                                                                                   employees) *                                           employees)
                                                                                           employees)            employees)

                                                 Factor ................................                89                    492                NA                      38.5                NA             0.749              10.1                       750
                                                 Size standard ....................                    750                  1,000                NA     ........................             NA               500               500     ........................
                                                    * Size standard for four-firm average size is not calculated as the four-firm ratio is less than 40%.


                                                   Thus, based on the results above, in                                     Exceptions Under NAICS 541712,                                    proposed industry specific size
                                                 this final rule, SBA is adopting 750                                       Research and Development in the                                   standards in manufacturing, SBA
                                                 employees as the size standard for the                                     Physical, Engineering, and Life Sciences                          proposed to modify the titles of the
                                                 ERS exception under NAICS 562910.                                          (Except Biotechnology)                                            three exceptions. The Other Guided
                                                 Based on FPDS–NG and SAM data,                                               NAICS 541712, Research and                                      Missile and Space Vehicle Parts and
                                                 about 10–15 additional firms will gain                                     Development in the Physical,                                      Auxiliary Equipment category was
                                                 small business status under the new                                        Engineering, and Life Sciences (except                            dropped from the third exception
                                                 750-employee size standard for ERS.                                        Biotechnology), has three sub-industries                          because the proposed size standard for
                                                 SBA believes that this will not have a                                     or ‘‘exceptions.’’ As stated in Footnote                          the corresponding manufacturing
                                                 significant impact on small businesses                                     11 to SBA’s table of size standards, for                          industry (NAICS 336419) was the same
                                                 below the current 500-employee size                                        research and development (R&D)                                    as the proposed size standard for rest of
                                                 standard.                                                                  contracts requiring the delivery of a                             NAICS 541712. In the absence of
                                                                                                                            manufactured product, the appropriate                             adverse comments, SBA is adopting the
                                                                                                                            size standard is that of the                                      modified exceptions as shown in Table
                                                                                                                            corresponding manufacturing industry.                             4, ‘‘Modified Exceptions to NAICS
                                                                                                                            To better match the exceptions under                              541712 and Their Revised Size
                                                                                                                            NAICS 541712 to the corresponding                                 Standards,’’ as proposed.
                                                                              TABLE 4—MODIFIED EXCEPTIONS TO NAICS 541712 AND THEIR REVISED SIZE STANDARDS
                                                                                                  Current                                                                                            Proposed

                                                                                                                                       Size standard                                                                                   Size standard
                                                                                     Exception                                          (number of                                          Exception                                   (number of
                                                                                                                                        employees)                                                                                      employees)

                                                 Aircraft ..........................................................................            1,500       Aircraft, Aircraft Engine, and Engine Parts ..................                           1,500
                                                 Aircraft Parts and Auxiliary Equipment, and Aircraft                                           1,000       Other Aircraft Parts and Auxiliary Equipment ..............                              1,250
                                                   Engine Parts.
                                                 Space Vehicles and Guided Missiles, Their Propul-                                              1,000       Guided Missiles and Space Vehicles, Their Propul-                                        1,250
                                                   sion Units Parts, and Their Auxiliary Equipment and                                                       sion Units and Propulsion Parts.
                                                   Parts.



                                                   Additionally, to eliminate possible                                      Footnote 15 to SBA’s table of size                                both exceptions and their receipts based
                                                 confusion and provide more clarity,                                        standards, Offshore Marine Services is                            size standard, as proposed. This will not
                                                 SBA also proposed to amend Footnote                                        an exception to all industries under                              affect the eligibility of firms that are
                                                 11 by converting the introductory                                          NAICS Subsector 483, Water                                        small under the $30.5 million receipts
                                                 paragraph to a new sub-paragraph (b)                                       Transportation, with the size standard                            based size standard because they will
                                                 and renaming existing sub-paragraphs                                       of $30.5 million in average annual                                continue to be eligible under the
                                                 (b) and (c) to sub-paragraphs (c) and (d),                                 receipts. All industries within Subsector                         employee based size standard.
                                                 respectively. SBA is adopting the                                          483 currently have a 500-employee size                            Conclusions
                                                 proposed amendments to Footnote 11 to                                      standard. SBA did not review the
                                                 BA’s table of size standards.                                                                                                                   Based on SBA’s analyses of the latest
                                                                                                                            receipts based exceptions when it
                                                                                                                                                                                              available industry and Federal market
                                                 Offshore Marine Air Transportation                                         reviewed receipts based size standards                            data and its evaluation of public
                                                 Services and Offshore Marine Services                                      in NAICS Sector 48–49, Transportation                             comments on the proposed rule, in this
                                                    Offshore Marine Air Transportation                                      and Warehousing. For the reasons                                  final rule, SBA is adopting all proposed
                                                 Services is a sub-industry or                                              provided in the proposed rule, SBA                                changes, with two exceptions. SBA is
                                                 ‘‘exception’’ under both NAICS 481211,                                     proposed to eliminate both exceptions                             not adopting its proposed elimination of
                                                 Nonscheduled Chartered Passenger Air                                       and their $30.5 million receipts based                            the ITVAR exception to NAICS 541519
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                                                 Transportation, and NAICS 481212,                                          size standard and only apply the                                  or its proposed increase to the size
                                                 Nonscheduled Chartered Freight Air                                         applicable employee based size                                    standard for ERS exception to NAICS
                                                 Transportation. The size standards are                                     standard. As a result, SBA also                                   562910 from 500 employees to 1,250
                                                 1,500 employees for both NAICS codes                                       proposed to eliminate Footnote 15 from                            employees.
                                                 481211 and 481212 and $30.5 million in                                     SBA’s table of size standards. Since                                 With regard to the ITVAR exception
                                                 average annual receipts for the                                            there were no comments against the                                to NAICS 541519, in response to the
                                                 exception. Similarly, as indicated in                                      proposed change, SBA is eliminating                               comments, SBA retains the ITVAR


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                                                                        Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                                                                          4463

                                                 exception to NAICS 541519 with the                                    requirements, or comply with the NMR                                     standard for the ERS exception from 500
                                                 150-employee size standard. However,                                  by supplying the products of small                                       employees to 750 employees, instead of
                                                 SBA amends Footnote 18 to SBA’s table                                 business concerns, unless SBA has                                        the proposed 1,250 employees. All
                                                 of size standards by adding the                                       issued a class or contract specific waiver                               revisions adopted in this final rule are
                                                 requirement that the supply (i.e.,                                    of the NMR. With regard to the ERS                                       shown in Table 5, ‘‘Summary of
                                                 computer hardware and software)                                       exception under NAICS 562910, based                                      Adopted Size Standards Revisions,’’
                                                 component of small business set-aside                                 on its analysis of more recent data and                                  below.
                                                 ITVAR contracts must comply with the                                  evaluation of public comments, in this
                                                 manufacturing performance                                             final rule, SBA increases the size

                                                                                                  TABLE 5—SUMMARY OF ADOPTED SIZE STANDARDS REVISIONS
                                                                                                                                                                                              Current size               Current size             Adopted size
                                                                                                                                                                                               standard                   standard                  standard
                                                  NAICS code                                                     NAICS industry title                                                         (millions of               (number of                (number of
                                                                                                                                                                                                dollars)                 employees)                employees)

                                                 211111    .........   Crude Petroleum and Natural Gas Extraction ...................................................                       ........................                     500              1,250
                                                 211112    .........   Natural Gas Liquid Extraction ............................................................................           ........................                     500                750
                                                 212111    .........   Bituminous Coal and Lignite Surface Mining ....................................................                      ........................                     500              1,250
                                                 212112    .........   Bituminous Coal Underground Mining ...............................................................                   ........................                     500              1,500
                                                 212113    .........   Anthracite Mining ...............................................................................................    ........................                     500                250
                                                 212210    .........   Iron Ore Mining ..................................................................................................   ........................                     500                750
                                                 212221    .........   Gold Ore Mining ................................................................................................     ........................                     500              1,500
                                                 212222    .........   Silver Ore Mining ...............................................................................................    ........................                     500                250
                                                 212231    .........   Lead Ore and Zinc Ore Mining ..........................................................................              ........................                     500                750
                                                 212234    .........   Copper Ore and Nickel Ore Mining ...................................................................                 ........................                     500              1,500
                                                 212291    .........   Uranium-Radium-Vanadium Ore Mining ............................................................                      ........................                     500                250
                                                 212299    .........   All Other Metal Ore Mining ................................................................................          ........................                     500                750
                                                 212312    .........   Crushed and Broken Limestone Mining and Quarrying ....................................                               ........................                     500                750
                                                 212313    .........   Crushed and Broken Granite Mining and Quarrying .........................................                            ........................                     500                750
                                                 212324    .........   Kaolin and Ball Clay Mining ..............................................................................           ........................                     500                750
                                                 212391    .........   Potash, Soda, and Borate Mineral Mining ........................................................                     ........................                     500                750
                                                 212392    .........   Phosphate Rock Mining .....................................................................................          ........................                     500              1,000
                                                 213111    .........   Drilling Oil and Gas Wells .................................................................................         ........................                     500              1,000
                                                 221210    .........   Natural Gas Distribution ....................................................................................        ........................                     500              1,000
                                                 481211    .........   Offshore Marine Air Transportation Services ....................................................                                    $30.5       ........................       Eliminate
                                                 Except,   .........
                                                 481212    .........   Offshore Marine Air Transportation Services ....................................................                                     30.5       ........................       Eliminate
                                                 Except,   .........
                                                 482112    .........   Short Line Railroads ..........................................................................................      ........................                    500              1,500
                                                 483112    .........   Deep Sea Passenger Transportation ................................................................                   ........................                    500              1,500
                                                 483113    .........   Coastal and Great Lakes Freight Transportation ..............................................                        ........................                    500                750
                                                 483211    .........   Inland Water Freight Transportation ..................................................................               ........................                    500                750
                                                 511110    .........   Newspaper Publishers .......................................................................................         ........................                    500              1,000
                                                 511120    .........   Periodical Publishers .........................................................................................      ........................                    500              1,000
                                                 511130    .........   Book Publishers .................................................................................................    ........................                    500              1,000
                                                 511140    .........   Directory and Mailing List Publishers ................................................................               ........................                    500              1,250
                                                 511191    .........   Greeting Card Publishers ..................................................................................          ........................                    500              1,500
                                                 512220    .........   Integrated Record Production/Distribution .........................................................                  ........................                    750              1,250
                                                 512230    .........   Music Publishers ................................................................................................    ........................                    500                750
                                                 519130    .........   Internet Publishing and Broadcasting and Web Search Portals .......................                                  ........................                    500              1,000
                                                 541711    .........   Research and Development in Biotechnology11 ...............................................                          ........................                    500              1,000
                                                 541712    .........   Research and Development in the Physical, Engineering, and Life Sciences                                             ........................                    500              1,000
                                                                          (except Biotechnology)11.
                                                 Except, .........     Aircraft Engine and Engine Parts ......................................................................              ........................                  1,000              1,500
                                                 Except, .........     Other Aircraft Parts and Auxiliary Equipment ....................................................                    ........................                  1,000              1,250
                                                 Except, .........     Guided Missiles and Space Vehicles, Their Propulsion Units and Propulsion                                            ........................                  1,000              1,250
                                                                          Parts.
                                                 562910 .........      Environmental Remediation Services ................................................................                  ........................                     500               750
                                                 Except, .........



                                                 Evaluation of Dominance in Field of                                   total industry receipts is, on average, 3.4                              Compliance With Executive Orders
                                                 Operation                                                             percent, with an interval showing a                                      12866, 13563, 12988 and 13132, the
                                                   SBA has determined that for the                                     minimum of less than 0.01 percent to a                                   Paperwork Reduction Act (44 U.S.C. Ch.
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                                                 industries for which it is revising size                              maximum of 20.0 percent. These market                                    35) and the Regulatory Flexibility Act (5
                                                 standards in this final rule, no                                      shares effectively preclude a firm at or                                 U.S.C. 601–612). Executive Order 12866
                                                 individual firm at or below the revised                               below the proposed size standards from                                     The Office of Management and Budget
                                                 size standard will dominate its field of                              exerting control over any of the                                         (OMB) has determined that this final
                                                 operation. Among the industries for                                   industries.                                                              rule is a significant regulatory action for
                                                 which the size standards are revised in                                                                                                        purposes of Executive Order 12866.
                                                 this rule, the small business share of                                                                                                         Accordingly, in the next section, SBA


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                                                 4464              Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 provides a Regulatory Impact Analysis                   under the existing size standards, will                SBA finds it difficult to quantify the
                                                 of this rule. However, this rule is not a               become small under the revised size                    actual impact of the revised size
                                                 ‘‘major rule’’ under the Congressional                  standards and eligible for these                       standards on its 7(a) and 504 Loan
                                                 Review Act, 5 U.S.C. 800.                               programs. That is about 0.5 percent of                 Programs.
                                                                                                         all firms classified as small under the                   Newly defined small businesses will
                                                 Regulatory Impact Analysis                              current size standards in all industries               also benefit from SBA’s Economic Injury
                                                 1. Is there a need for the regulatory                   and sub-industries reviewed in this rule.              Disaster Loan (EIDL) Program. Since this
                                                 action?                                                 This should increase the small business                program is contingent on the occurrence
                                                                                                         share of total receipts in those industries            and severity of a disaster in the future,
                                                    SBA believes that the size standards
                                                                                                         from 18.3 percent to 21.3 percent. In the              SBA cannot make a meaningful estimate
                                                 adopted in this rule better reflect the
                                                                                                         three industries for which reduced size                of this impact.
                                                 economic characteristics of small                                                                                 In addition, newly defined small
                                                                                                         standards apply, only the one or two
                                                 businesses in the affected industries and                                                                      businesses will also benefit through
                                                                                                         largest firms will be impacted in each of
                                                 the Federal government marketplace.                                                                            reduced fees, less paperwork, and fewer
                                                                                                         them.
                                                 SBA’s mission is to aid and assist small                   Three groups will benefit from the                  compliance requirements that are
                                                 businesses through a variety of                         size standards revisions in this rule: (1)             available to small businesses throughout
                                                 financial, procurement, business                        Some businesses that are above the                     the Federal government.
                                                 development, and advocacy programs.                     current size standards may gain small                     To the extent that those 375 newly
                                                 To determine the intended beneficiaries                 business status under the higher size                  defined additional small firms could
                                                 of these programs, SBA establishes                      standards, thus enabling them to                       become active in Federal procurement
                                                 distinct definitions of which businesses                participate in Federal small business                  programs, the revisions to size standards
                                                 are deemed small businesses. The Small                  assistance programs; (2) growing small                 may entail some additional
                                                 Business Act (15 U.S.C. 632(a))                         businesses that are close to exceeding                 administrative costs to the government
                                                 delegates to SBA’s Administrator the                    the current size standards may retain                  as a result of more businesses being
                                                 responsibility for establishing small                   their small business status under the                  eligible for Federal small business
                                                 business definitions. The Act also                      higher size standards, thereby enabling                programs. For example, there will be
                                                 requires that small business definitions                them to continue their participation in                more firms seeking SBA’s guaranteed
                                                 vary to reflect industry differences. The               the programs; and (3) Federal agencies                 loans, more firms eligible for enrollment
                                                 Jobs Act also requires SBA to review all                will have a larger pool of small                       in the System of Award Management
                                                 size standards and to make whatever                     businesses from which to draw for their                (SAM) database, and more firms seeking
                                                 adjustments are necessary to reflect                    small business procurement programs.                   certification as 8(a) or HUBZone firms
                                                 market conditions. The supplementary                       SBA estimates that, based on Federal                or qualifying for small business, WOSB,
                                                 information section of this rule explains               contracting data for fiscal years 2012–                EDWOSB, SDVOSB, and SDB status.
                                                 SBA’s methodology for analyzing a size                  2014, firms gaining small business                     Among those newly defined small
                                                 standard for a particular industry.                     status under the revised size standards                businesses seeking SBA’s assistance,
                                                 2. What are the potential benefits and                  might receive Federal contracts totaling               there could be some additional costs
                                                 costs of this regulatory action?                        $85 million to $95 million annually                    associated with compliance and
                                                                                                         under SBA’s small business, 8(a), SDB,                 verification of small business status and
                                                    The most significant benefit to                      HUBZone, WOSB, EDWOSB, and                             protests of small business or other
                                                 businesses becoming small because of                    SDVOSB Programs, and other                             status. However, SBA believes that these
                                                 this rule is gaining or retaining                       unrestricted procurements. The added                   added administrative costs will be
                                                 eligibility for Federal small business                  competition for many of these                          minimal because mechanisms are
                                                 assistance programs. These include                      procurements may also result in lower                  already in place to handle these
                                                 SBA’s financial assistance programs,                    prices to the Government for                           requirements.
                                                 economic injury disaster loans, and                     procurements reserved for small                           Additionally, in some cases, Federal
                                                 Federal procurement programs intended                   businesses, but SBA cannot quantify                    government contracts may have higher
                                                 for small businesses. Federal                           this benefit.                                          costs. With a greater number of
                                                 procurement programs provide targeted                      Under SBA’s 7(a) and 504 Loan                       businesses defined as small, Federal
                                                 opportunities for small businesses                      Programs, based on the fiscal years                    agencies may choose to set aside more
                                                 under SBA’s business development                        2012–2014 data, SBA estimates up to                    contracts for competition among small
                                                 programs, such as 8(a), Small                           about five SBA 7(a) and 504 loans                      businesses only rather than using full
                                                 Disadvantaged Businesses (SDB), small                   totaling about $2.0 million might be                   and open competition. The movement
                                                 businesses located in Historically                      made to these newly defined small                      from unrestricted to small business set-
                                                 Underutilized Business Zones                            businesses under the revised size                      aside contracting might result in
                                                 (HUBZone), women-owned small                            standards. Increasing the size standards               competition among fewer total bidders,
                                                 businesses (WOSB), economically                         will likely result in more small business              although there will be more small
                                                 disadvantaged women-owned small                         guaranteed loans to businesses in these                businesses eligible to submit offers.
                                                 businesses (EDWOSB), and service-                       industries, but it is impractical to try to            However, the additional costs associated
                                                 disabled veteran-owned small                            estimate exactly the number and total                  with fewer bidders are expected to be
                                                 businesses (SDVOSB). Federal agencies                   amount of loans. There are two reasons                 minor since, by law, procurements may
                                                 may also use SBA’s size standards for a                 for this: (1) Under the Jobs Act, SBA can              be set aside for small businesses or
                                                 variety of other regulatory and program                 now guarantee substantially larger loans               reserved for the 8(a), HUBZone, WOSB,
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                                                 purposes. These programs assist small                   than in the past; and (2) as described                 EDWOSB, or SDVOSB Programs only if
                                                 businesses to become more                               above, the Jobs Act established a higher               awards are expected to be made at fair
                                                 knowledgeable, stable, and competitive.                 alternative size standard ($15 million in              and reasonable prices. In addition, there
                                                 SBA estimates that in 30 industries and                 tangible net worth and $5 million in net               may be higher costs when more full and
                                                 three sub-industries (‘‘exceptions’’) for               income after income taxes) for business                open contracts are awarded to HUBZone
                                                 which it has increased size standards in                concerns that do not meet the size                     businesses that receive price evaluation
                                                 this rule, more than 370 firms, not small               standards for their industry. Therefore,               preferences.


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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                           4465

                                                    The new size standards may have                      above under Supplementary                              not less frequently than once every 5
                                                 some distributional effects among large                 Information) to various industry                       years thereafter.
                                                 and small businesses. Although SBA                      associations and trade groups. SBA also
                                                                                                                                                                Executive Order 12988
                                                 cannot estimate with certainty the                      met with a number of industry groups
                                                 actual outcome of the gains and losses                  and individual businesses to get their                    This action meets applicable
                                                 among small and large businesses, it can                feedback on its methodology and other                  standards set forth in Sections 3(a) and
                                                 identify several probable impacts. There                size standards issues. In addition, SBA                3(b)(2) of Executive Order 12988, Civil
                                                 may be a transfer of some Federal                       presented its size standards                           Justice Reform, to minimize litigation,
                                                 contracts from large businesses to newly                methodology to businesses in 13 cities                 eliminate ambiguity, and reduce
                                                 eligible small businesses. Large                        in the U.S. and sought their input as                  burden. The action does not have
                                                 businesses may have fewer Federal                       part of the Jobs Act tour. The                         retroactive or preemptive effect.
                                                 contract opportunities as Federal                       presentation also included information
                                                                                                                                                                Executive Order 13132
                                                 agencies decide to set aside more                       on the latest status of the
                                                 contracts for small businesses. In                      comprehensive size standards review                       For purposes of Executive Order
                                                 addition, some Federal contracts may be                 and on how interested parties can                      13132, SBA has determined that this
                                                 awarded to HUBZone businesses                           provide SBA with input and feedback                    rule will not have substantial, direct
                                                 instead of large businesses since these                 on its size standards review.                          effects on the States, on the relationship
                                                 firms may be eligible for a price                          Additionally, SBA sent letters to the               between the national government and
                                                 evaluation preference for contracts                     Directors of the Offices of Small and                  the States, or on the distribution of
                                                 when they compete on a full and open                    Disadvantaged Business Utilization                     power and responsibilities among the
                                                 basis.                                                  (OSDBU) at several Federal agencies                    various levels of government. Therefore,
                                                    Similarly, some businesses defined                   with considerable procurement                          SBA has determined that this rule has
                                                 small under the previous size standards                 responsibilities requesting their                      no federalism implications warranting
                                                 may receive fewer Federal contracts due                 feedback on how the agencies use SBA’s                 preparation of a federalism assessment.
                                                 to increased competition from more                      size standards and whether current size
                                                                                                                                                                Paperwork Reduction Act
                                                 businesses defined as small under the                   standards meet their programmatic
                                                 revised size standards. This transfer                   needs (both procurement and non-                         For the purpose of the Paperwork
                                                 may be offset by a greater number of                    procurement). SBA gave appropriate                     Reduction Act, 44 U.S.C. Ch. 35, SBA
                                                 Federal procurements set aside for all                  consideration to all input, suggestions,               has determined that this rule does not
                                                 small businesses. The number of newly                   recommendations, and relevant                          impose any new reporting or
                                                 defined and expanding small businesses                  information obtained from industry                     recordkeeping requirements.
                                                 that are willing and able to sell to the                groups, individual businesses, and                     Final Regulatory Flexibility Analysis
                                                 Federal government will limit the                       Federal agencies in preparing this rule.
                                                 potential transfer of contracts from large                 The review of size standards in                        Under the Regulatory Flexibility Act
                                                 and small businesses under the current                  industries and sub-industries covered in               (RFA), this final rule may have a
                                                 size standards. SBA cannot estimate the                 this rule is consistent with Executive                 significant impact on a substantial
                                                 potential distributional impacts of these               Order 13563, Section 6, calling for                    number of small businesses in the
                                                 transfers with any degree of precision.                 retrospective analyses of existing rules.              industries and sub-industries covered
                                                    The revisions to the employee based                  The last comprehensive review of size                  by this rule. As described above, this
                                                 size standards for these 33 industries                  standards occurred during the late                     rule may affect small businesses seeking
                                                 and three sub-industries are consistent                 1970s and early 1980s. Since then,                     Federal contracts, loans under SBA’s
                                                 with SBA’s statutory mandate to assist                  except for periodic adjustments for                    7(a), 504 and Economic Injury Disaster
                                                 small business. This regulatory action                  monetary based size standards, most                    Loan Programs, and assistance under
                                                 promotes the Administration’s                           reviews of size standards were limited                 other Federal small business programs.
                                                 objectives. One of SBA’s goals in                       to a few specific industries in response                  Immediately below, SBA sets forth a
                                                 support of the Administration’s                         to requests from the public and Federal                final regulatory flexibility analysis
                                                 objectives is to help individual small                  agencies. The majority of employee                     (FRFA) of this rule addressing the
                                                 businesses succeed through fair and                     based size standards have not been                     following questions: (1) What are the
                                                 equitable access to capital and credit,                 reviewed since they were first                         need for and objective of the rule?; (2)
                                                 Government contracts, and management                    established. SBA recognizes that                       What are SBA’s description and
                                                 and technical assistance. Reviewing and                 changes in industry structure and the                  estimate of the number of small
                                                 modifying size standards, when                          Federal marketplace over time have                     businesses to which the rule will
                                                 appropriate, ensures that intended                      rendered existing size standards for                   apply?; (3) What are the projected
                                                 beneficiaries have access to small                      some industries no longer supportable                  reporting, recordkeeping, and other
                                                 business programs designed to assist                    by current data. Accordingly, in 2007,                 compliance requirements of the rule?;
                                                 them.                                                   SBA began a comprehensive review of                    (4) What are the relevant Federal rules
                                                                                                         its size standards to ensure that existing             that may duplicate, overlap, or conflict
                                                 Executive Order 13563                                   size standards have supportable bases                  with the rule?; and (5) What alternatives
                                                   Descriptions of the need for this                     and to revise them when necessary. In                  will allow the Agency to accomplish its
                                                 regulatory action and benefits and costs                addition, the Jobs Act requires SBA to                 regulatory objectives while minimizing
                                                 associated with this action including                   conduct a detailed review of all size                  the impact on small businesses?
                                                 possible distributional impacts that                    standards and to make appropriate
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                                                 relate to Executive Order 13563 are                     adjustments to reflect market                          1. What are the need for and objective
                                                 included in the Regulatory Impact                       conditions. Specifically, the Jobs Act                 of the rule?
                                                 Analysis under Executive Order 12866,                   requires SBA to conduct a detailed                        Changes in industry structure,
                                                 above.                                                  review of at least one-third of all size               technological changes, productivity
                                                   In an effort to engage interested                     standards during every 18-month period                 growth, mergers and acquisitions, and
                                                 parties in this action, SBA presented its               from the date of its enactment and do a                updated industry definitions have
                                                 size standards methodology (discussed                   complete review of all size standards                  changed the structure of many


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                                                 4466                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                 industries reviewed for this rule. Such                            requirements on small businesses.                           practical alternative exists to the
                                                 changes can be sufficient to support                               However, qualifying for Federal                             systems of numerical size standards.
                                                 revisions to current size standards for                            procurement and a number of other
                                                                                                                                                                                List of Subjects in 13 CFR Part 121
                                                 some industries. Based on the analysis                             programs requires that businesses
                                                 of the latest data available, SBA believes                         register in the SAM database and certify                      Administrative practice and
                                                 that the revised size standards in this                            in SAM that they are small at least once                    procedure, Government procurement,
                                                 final rule more appropriately reflect the                          annually. Therefore, businesses opting                      Government property, Grant programs—
                                                 size of businesses that need Federal                               to participate in those programs must                       business, Individuals with disabilities,
                                                 assistance. The Jobs Act also requires                             comply with SAM requirements.                               Loan programs—business, Reporting
                                                 SBA to review all size standards and                               However, there are no costs associated                      and recordkeeping requirements, Small
                                                 make necessary adjustments to reflect                              with SAM registration or certification.                     businesses.
                                                 market conditions.                                                 Changing size standards alters the                            For the reasons set forth in the
                                                                                                                    access to SBA’s programs that assist                        preamble, SBA amends 13 CFR part 121
                                                 2. What are SBA’s description and
                                                                                                                    small businesses, but does not impose a                     as follows:
                                                 estimate of the number of small
                                                 businesses to which the rule will apply?                           regulatory burden because they neither
                                                                                                                    regulate nor control business behavior.                     PART 121—SMALL BUSINESS SIZE
                                                    SBA estimates that about 375                                                                                                REGULATIONS
                                                 additional firms may become small                                  4. What are the relevant Federal rules,
                                                 because of increased size standards for                            which may duplicate, overlap or                             ■ 1. The authority citation for part 121
                                                 the 30 industries and three sub-                                   conflict with the rule?                                     continues to read as follows:
                                                 industries covered by this rule. That                                 Under § 3(a)(2)(C) of the Small                            Authority: 15 U.S.C. 632, 634(b)(6), 662,
                                                 represents 0.5 percent of total firms that                         Business Act, 15 U.S.C. 632(a)(2)(c),                       and 694a(9).
                                                 are small under the previous size                                  Federal agencies must use SBA’s size                        ■  2. Amend § 121.201 in the table
                                                 standards in all industries reviewed by                            standards to define a small business,                       ‘‘Small Business Size Standards by
                                                 SBA in the September 10, 2014                                      unless specifically authorized by statute                   NAICS Industry’’ as follows:
                                                 proposed rule. This will result in an                              to do otherwise. In 1995, SBA published                     ■ a. Revise the entries for ‘‘211111’’,
                                                 increase in the small business share of                            in the Federal Register a list of statutory                 ‘‘211112’’, ‘‘212111’’, ‘‘212112’’,
                                                 total industry receipts for those                                  and regulatory size standards that                          ‘‘212113’’, ‘‘212210’’, ‘‘212221’’,
                                                 industries from 18.3 percent under the                             identified the application of SBA’s size                    ‘‘212222’’, ‘‘212231’’, ‘‘212234’’,
                                                 current size standards to 21.3 percent                             standards as well as other size standards                   ‘‘212291’’, ‘‘212299’’, ‘‘212312’’,
                                                 under the proposed size standards. In                              used by Federal agencies (60 FR 57982                       ‘‘212313’’, ‘‘212324’’, ‘‘212391’’,
                                                 the three industries for which SBA has                             (November 24, 1995)). SBA is not aware                      ‘‘212392’’, ‘‘213111’’, ‘‘221210’’,
                                                 proposed to reduce their size standards,                           of any Federal rule that would duplicate                    ’’482112’’, ‘‘483112’’, ‘‘483113’’,
                                                 only the one or two largest firms will be                          or conflict with establishing size                          ‘‘483211’’, ‘‘511110’’, ‘‘511120’’,
                                                 impacted in each of those industries.                              standards.                                                  ‘‘511130’’, ‘‘511140’’, ‘‘511191’’,
                                                 The revised size standards will enable                                However, the Small Business Act and                      ‘‘512220’’, ‘‘512230’’, ‘‘519130’’,
                                                 more small businesses to retain their                              SBA’s regulations allow Federal                             ‘‘541711’’, ‘‘541712’’ introductory entry
                                                 small business status for a longer                                 agencies to develop different size                          and first, second and third sub-entry,
                                                 period. Many firms may have lost their                             standards if they believe that SBA’s size                   and ‘‘562910’’ sub-entry.’’
                                                 eligibility and find it difficult to                               standards are not appropriate for their                     ■ b. Amend the entry for ‘‘481211’’ by
                                                 compete at current size standards with                             programs, with the approval of SBA’s                        removing the sub-entry ‘‘Except,’’
                                                 companies that are significantly larger                            Administrator (13 CFR 121.903). The                         ‘‘Offshore Marine Air Transportation
                                                 than they are. SBA believes that                                   Regulatory Flexibility Act authorizes an                    Services’’ ‘‘$30.5’’.
                                                 revisions to size standards will have a                            agency to establish an alternative small                    ■ c. Amend the entry for ‘‘481212’’ by
                                                 positive competitive impact on existing                            business definition for purposes of that                    removing the sub-entry ‘‘Except,’’
                                                 small businesses and on those that                                 Act, after consultation with the Office of                  ‘‘Offshore Marine Air Transportation
                                                 exceed the size standards but are on the                           Advocacy of the U.S. Small Business                         Services’’ ‘‘$30.5’’.
                                                 very low end of those that are not small.                          Administration (5 U.S.C. 601(3)).                           ■ d. Amend the entry for ‘‘Subsector
                                                 They might otherwise be called or                                                                                              483—Water Transportation’’ by
                                                                                                                    5. What alternatives will allow the
                                                 referred to as mid-sized businesses,                                                                                           removing superscript ‘‘15’’.
                                                                                                                    Agency to accomplish its regulatory
                                                 although SBA only defines what is                                                                                              ■ e. Revise Footnote 11.
                                                                                                                    objectives while minimizing the impact
                                                 small; other entities are other than                                                                                           ■ f. Remove Footnote 15 and reserve
                                                                                                                    on small entities?
                                                 small.                                                                                                                         Footnote 15.
                                                                                                                       By law, SBA is required to develop
                                                 3. What are the projected reporting,                                                                                           ■ g. Revise Footnote 18.
                                                                                                                    numerical size standards for
                                                 recordkeeping and other compliance                                 establishing eligibility for Federal small                     The revisions read as follows:
                                                 requirements of the rule?                                          business assistance programs. Other                         § 121.201 What size standards has SBA
                                                    The revised size standards impose no                            than varying size standards by industry                     identified by North American Industry
                                                 additional reporting or recordkeeping                              and changing the size measures, no                          Classification System codes?

                                                                                                        SMALL BUSINESS SIZE STANDARDS BY NAICS INDUSTRY
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                                                                                                                                                                                                 Size standards             Size standards
                                                                      NAICS                                                           NAICS U.S. industry title                                    in millions                in number
                                                                      codes                                                                                                                         of dollars              of employees


                                                              *                             *                         *                           *                       *                       *                             *

                                                 211111 .............................................   Crude Petroleum and Natural Gas Extraction ..........................................    ........................           1,250



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                                                                         Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                                                                             4467

                                                                                                 SMALL BUSINESS SIZE STANDARDS BY NAICS INDUSTRY—Continued
                                                                                                                                                                                                                         Size standards             Size standards
                                                                      NAICS                                                                    NAICS U.S. industry title                                                   in millions                in number
                                                                      codes                                                                                                                                                 of dollars              of employees

                                                 211112 .............................................        Natural Gas Liquid Extraction ...................................................................           ........................             750


                                                              *                                *                              *                              *                              *                             *                             *

                                                 212111      .............................................   Bituminous Coal and Lignite Surface Mining ............................................                     ........................           1,250
                                                 212112      .............................................   Bituminous Coal Underground Mining ......................................................                   ........................           1,500
                                                 212113      .............................................   Anthracite Mining ......................................................................................    ........................             250
                                                 212210      .............................................   Iron Ore Mining .........................................................................................   ........................             750
                                                 212221      .............................................   Gold Ore Mining ........................................................................................    ........................           1,500
                                                 212222      .............................................   Silver Ore Mining ......................................................................................    ........................             250
                                                 212231      .............................................   Lead Ore and Zinc Ore Mining .................................................................              ........................             750
                                                 212234      .............................................   Copper Ore and Nickel Ore Mining ..........................................................                 ........................           1,500
                                                 212291      .............................................   Uranium-Radium-Vanadium Ore Mining ...................................................                      ........................             250
                                                 212299      .............................................   All Other Metal Ore Mining .......................................................................          ........................             750


                                                              *                                *                              *                              *                              *                             *                             *

                                                 212312 .............................................        Crushed and Broken Limestone Mining and Quarrying ...........................                               ........................             750
                                                 212313 .............................................        Crushed and Broken Granite Mining and Quarrying ................................                            ........................             750


                                                              *                                *                              *                              *                              *                             *                             *

                                                 212324 .............................................        Kaolin and Ball Clay Mining ......................................................................          ........................             750


                                                              *                                *                              *                              *                              *                             *                             *

                                                 212391 .............................................        Potash, Soda, and Borate Mineral Mining ................................................                    ........................             750
                                                 212392 .............................................        Phosphate Rock Mining ............................................................................          ........................           1,000


                                                              *                                *                              *                              *                              *                             *                             *

                                                 213111 .............................................        Drilling Oil and Gas Wells .........................................................................        ........................           1,000


                                                              *                                *                              *                              *                              *                             *                             *

                                                 221210 .............................................        Natural Gas Distribution ............................................................................       ........................           1,000


                                                              *                                *                              *                              *                              *                             *                             *

                                                 481211 .............................................        Nonscheduled Chartered Passenger Air Transportation ..........................                              ........................           1,500

                                                 481212 .............................................        Nonscheduled Chartered Freight Air Transportation ................................                          ........................           1,500


                                                              *                                *                              *                              *                              *                             *                             *

                                                 482112 .............................................        Short Line Railroads .................................................................................      ........................           1,500

                                                                                                                                  Subsector 483—Water Transportation


                                                              *                                *                              *                              *                              *                             *                             *

                                                 483112 .............................................        Deep Sea Passenger Transportation .......................................................                   ........................           1,500
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                                                 483113 .............................................        Coastal and Great Lakes Freight Transportation .....................................                        ........................             750


                                                              *                                *                              *                              *                              *                             *                             *

                                                 483211 .............................................        Inland Water Freight Transportation .........................................................               ........................             750




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                                                 4468                     Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations

                                                                                                  SMALL BUSINESS SIZE STANDARDS BY NAICS INDUSTRY—Continued
                                                                                                                                                                                                                            Size standards             Size standards
                                                                        NAICS                                                                   NAICS U.S. industry title                                                     in millions                in number
                                                                        codes                                                                                                                                                  of dollars              of employees

                                                               *                                *                              *                              *                             *                                *                                *

                                                 511110 .............................................         Newspaper Publishers ..............................................................................           ........................                  1,000

                                                 511120       .............................................   Periodical Publishers .................................................................................       ........................                 1,000
                                                 511130       .............................................   Book Publishers ........................................................................................      ........................                 1,000
                                                 511140       .............................................   Directory and Mailing List Publishers .......................................................                 ........................                 1,250
                                                 511191       .............................................   Greeting Card Publishers ..........................................................................           ........................                 1,500


                                                               *                                *                              *                              *                             *                                *                                *

                                                 512220 .............................................         Integrated Record Production/Distribution ................................................                    ........................                 1,250
                                                 512230 .............................................         Music Publishers .......................................................................................      ........................                   750


                                                               *                                *                              *                              *                             *                                *                                *

                                                 519130 .............................................         Internet Publishing and Broadcasting and Web Search Portals ..............                                    ........................                  1,000


                                                               *                                *                              *                              *                             *                                *                                *

                                                 541711 .............................................         Research and Development in                 Biotechnology 11         ......................................   ........................              11 1,000


                                                 541712 .............................................         Research and Development in the Physical, Engineering, and Life                                               ........................              11 1,000

                                                                                                                Sciences (except Biotechnology) 11.
                                                 Except, .............................................        Aircraft, Aircraft Engine, and Engine Parts ...............................................                   ........................                 1,500
                                                 Except, .............................................        Other Aircraft Parts and Auxiliary Equipment ...........................................                      ........................                 1,250
                                                 Except, .............................................        Guided Missiles and Space Vehicles, Their Propulsion Units and Pro-                                           ........................                 1,250
                                                                                                                pulsion Parts.


                                                               *                                *                              *                              *                             *                                *                                *

                                                 562910 .............................................         Remediation Services ...............................................................................                      $20.5.0        ........................

                                                 Except, .............................................        Environmental Remediation Services 14 ...................................................                     ........................                 14 750




                                                               *                                *                              *                              *                             *                                *                                *



                                                     Footnotes                                                                14. NAICS 562910—Environmental                                         contaminated environment (such as,
                                                 *        *         *         *         *                                   Remediation Services:                                                    preliminary assessment, site inspection,
                                                                                                                              (a) For SBA assistance as a small business                             testing, remedial investigation, feasibility
                                                   11. NAICS code 541711 and 541712—
                                                                                                                            concern in the industry of Environmental                                 studies, remedial design, remediation
                                                   (a) ‘‘Research and Development’’ means
                                                                                                                            Remediation Services, other than for                                     services, containment, removal of
                                                 laboratory or other physical research and
                                                                                                                            Government procurement, a concern must be                                contaminated materials, storage of
                                                 development. It does not include economic,                                 engaged primarily in furnishing a range of                               contaminated materials or security and site
                                                 educational, engineering, operations,                                      services for the remediation of a                                        closeouts), although the general purpose of
                                                 systems, or other nonphysical research; or                                 contaminated environment to an acceptable                                the procurement need not necessarily
                                                 computer programming, data processing,                                     condition including, but not limited to,                                 include remedial actions. Also, the
                                                 commercial and/or medical laboratory                                       preliminary assessment, site inspection,                                 procurement must be composed of activities
                                                 testing.                                                                   testing, remedial investigation, feasibility                             in three or more separate industries with
                                                   (b) For research and development contracts                               studies, remedial design, containment,                                   separate NAICS codes or, in some instances
                                                 requiring the delivery of a manufactured                                   remedial action, removal of contaminated                                 (e.g., engineering), smaller sub-components
                                                 product, the appropriate size standard is that                             materials, storage of contaminated materials                             of NAICS codes with separate, distinct size
                                                 of the manufacturing industry.                                             and security and site closeouts. If one of such                          standards. These activities may include, but
                                                   (c) For purposes of the Small Business                                   activities accounts for 50 percent or more of                            are not limited to, separate activities in
                                                 Innovation Research (SBIR) program only, a                                 a concern’s total revenues, employees, or                                industries such as: Heavy Construction;
                                                 different definition has been established by                               other related factors, the concern’s primary                             Specialty Trade Contractors; Engineering
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                                                 law. See § 121.701 of these regulations.                                   industry is that of the particular industry and                          Services; Architectural Services;
                                                   (d) ‘‘Research and Development’’ for                                     not the Environmental Remediation Services                               Management Consulting Services; Hazardous
                                                 guided missiles and space vehicles includes                                Industry.                                                                and Other Waste Collection; Remediation
                                                                                                                              (b) For purposes of classifying a                                      Services, Testing Laboratories; and Research
                                                 evaluations and simulation, and other
                                                                                                                            Government procurement as Environmental                                  and Development in the Physical,
                                                 services requiring thorough knowledge of
                                                                                                                            Remediation Services, the general purpose of                             Engineering and Life Sciences. If any activity
                                                 complete missiles and spacecraft.                                          the procurement must be to restore or                                    in the procurement can be identified with a
                                                 *        *         *         *         *                                   directly support the restoration of a                                    separate NAICS code, or component of a code



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                                                                   Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Rules and Regulations                                          4469

                                                 with a separate distinct size standard, and             a service contract, but also has a supply              establishes small business size
                                                 that industry accounts for 50 percent or more           component, the nonmanufacturer rule                    definitions (referred to as size
                                                 of the value of the entire procurement, then            does not apply to the supply component                 standards) for private sector industries
                                                 the proper size standard is the one for that
                                                                                                         of the requirement.                                    in the United States. The SBA’s size
                                                 particular industry, and not the
                                                 Environmental Remediation Service size                  *      *    *    *     *                               standards generally use two primary
                                                 standard.                                                  (5) The Administrator or designee                   measures of business size, average
                                                                                                         may waive the requirement set forth in                 annual receipts and average number of
                                                 *      *     *       *      *
                                                    18. NAICS code 541519—An Information                 paragraph (b)(1)(iv) of this section under             employees. Financial assets, electric
                                                 Technology Value Added Reseller (ITVAR)                 the following two circumstances:                       output, and refining capacity are used as
                                                 provides a total solution to information                                                                       size measures for a few specialized
                                                                                                         *      *    *    *     *
                                                 technology acquisitions by providing multi-                                                                    industries. In addition, SBA’s Small
                                                 vendor hardware and software along with                 Maria Contreras-Sweet,                                 Business Investment Company (SBIC),
                                                 significant value added services. Significant           Administrator.                                         Certified Development Company (CDC/
                                                 value added services consist of, but are not                                                                   504) and 7(a) Loan Programs determine
                                                                                                         [FR Doc. 2016–00922 Filed 1–25–16; 8:45 am]
                                                 limited to, configuration consulting and                                                                       small business eligibility using either
                                                 design, systems integration, installation of            BILLING CODE 8025–01–P
                                                                                                                                                                the industry based size standards or an
                                                 multi-vendor computer equipment,
                                                 customization of hardware or software,                                                                         alternative size standard based on both
                                                 training, product technical support,                    SMALL BUSINESS ADMINISTRATION                          net worth and net income. At the start
                                                 maintenance, and end user support. For                                                                         of the current comprehensive review of
                                                 purposes of Government procurement, an                  13 CFR Part 121                                        size standards, there were 41 different
                                                 information technology procurement                                                                             size standards, covering 1,141 NAICS
                                                 classified under this exception and 150-                RIN 3245–AG50
                                                                                                                                                                industries and 18 ‘‘exceptions.’’ in
                                                 employee size standard must consist of at                                                                      SBA’s table of size standards. Of these,
                                                 least 15% and not more than 50% of value                Small Business Size Standards for
                                                                                                         Manufacturing                                          31 were based on average annual
                                                 added services, as measured by the total
                                                                                                                                                                receipts, seven on average number of
                                                 contract price. In addition, the offeror must
                                                 comply with the manufacturing performance
                                                                                                         AGENCY:  U.S. Small Business                           employees, and three on other
                                                 requirements, or comply with the non-                   Administration.                                        measures. Presently, there are 28
                                                 manufacturer rule by supplying the products             ACTION: Final rule.                                    different size standards, covering 1047
                                                 of small business concerns, unless SBA has                                                                     NAICS industries and 16 ‘‘exceptions.’’
                                                 issued a class or contract specific waiver of           SUMMARY:   The United States Small                     Of these NAICS industries and
                                                 the non-manufacturer rule. If the contract              Business Administration (SBA) is                       exceptions, 533 are covered by size
                                                 consists of less than 15% of value added                increasing small business size standards               standards based on average annual
                                                 services, then it must be classified under a            for 209 industries in North American                   receipts, 509 on average number of
                                                 NAICS manufacturing industry. If the                    Industry Classification System (NAICS)                 employees, and five on average assets.
                                                 contract consists of more than 50% of value             Sector 31–33, Manufacturing. SBA is                       Over the years, some members of the
                                                 added services, then it must be classified
                                                 under the NAICS industry that best describes
                                                                                                         also modifying the size standard for                   public have remarked that SBA’s size
                                                 the predominate service of the procurement.             NAICS 324110, Petroleum Refiners, by                   standards have not kept up with
                                                                                                         increasing the refining capacity                       changes in the economy, and in
                                                 *     *     *     *    *                                                                                       particular, that they do not reflect
                                                                                                         component of the size standard to
                                                 ■ 3. Amend § 121.406 by revising                        200,000 barrels per calendar day for                   changes in the Federal contracting
                                                 paragraph (b)(3) and paragraphs (b)(4)                  businesses that are primarily engaged in               marketplace and industry structure. The
                                                 introductory text and (b)(5) introductory               petroleum refining and by eliminating                  last comprehensive size standards
                                                 text to read as follows:                                the requirement that 90 percent of the                 review was in the late 1970s and early
                                                 § 121.406 How does a small business                     output to be delivered be refined by the               1980s. Size standards reviews since
                                                 concern qualify to provide manufactured                 successful bidder from either crude oil                then, until this comprehensive review,
                                                 products or other supply items under a                  or bona fide feedstocks. The Agency is                 were generally limited to a few specific
                                                 small business set-aside, service-disabled              also updating Footnote 5 to NAICS                      industries in response to requests from
                                                 veteran-owned small business set-aside,                 326211 to reflect the current Census                   the public and from Federal agencies.
                                                 WOSB or EDWOSB set-aside, or 8(a)                       Product Classification Codes 3262111                   SBA also makes periodic inflation
                                                 contract?                                               and 3262113. As part of its ongoing                    adjustments to its monetary based size
                                                 *      *    *     *    *                                comprehensive size standards review,                   standards. The latest inflation
                                                    (b) * * *                                            SBA evaluated employee based size                      adjustment to size standards was
                                                    (3) The nonmanufacturer rule applies                 standards for all 364 industries in                    effective July 14, 2015 (79 FR 33647
                                                 only to procurements that have been                     NAICS Sector 31–33 to determine                        (June 12, 2014)).
                                                 assigned a manufacturing or supply                      whether they should be retained or                        Because of changes in industry
                                                 NAICS code, or the Information                          revised. This rule is one of a series of               structure and the Federal marketplace
                                                 Technology Value Added Resellers                        rules that result from SBA’s review of                 since the last overall review, current
                                                 (ITVAR) exception to NAICS code                         size standards of industries grouped by                data no longer supported existing size
                                                 541519. The nonmanufacturer rule does                   NAICS Sector.                                          standards for some industries.
                                                 not apply to contracts that have been                                                                          Accordingly, in 2007, SBA began a
                                                                                                         DATES: This rule is effective February
                                                 assigned a service (except for the ITVAR                                                                       comprehensive review to determine
                                                                                                         26, 2016.
                                                 exception to NAICS code 541519),                                                                               whether existing size standards are
mstockstill on DSK4VPTVN1PROD with RULES3




                                                 construction, or specialty trade                        FOR FURTHER INFORMATION CONTACT:                       consistent with current data, and to
                                                 construction NAICS code.                                Jorge Laboy-Bruno, Ph.D., Economist,                   revise them, when necessary.
                                                    (4) The nonmanufacturer rule applies                 Size Standards Division, (202) 205–6618                   In addition, on September 27, 2010,
                                                 only to the supply component of a                       or sizestandards@sba.gov.                              the President of the United States signed
                                                 requirement classified as a                             SUPPLEMENTARY INFORMATION: To                          the Small Business Jobs Act of 2010
                                                 manufacturing, supply, or ITVAR                         determine eligibility for Federal small                (Jobs Act), 111 Public Law 240, 124 Stat.
                                                 contract. If a requirement is classified as             business assistance programs, SBA                      2504, Sep. 27, 2010. The Jobs Act


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Document Created: 2018-02-02 12:38:25
Document Modified: 2018-02-02 12:38:25
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis rule is effective on February 26, 2016.
ContactJorge Laboy-Bruno, Ph.D., Economist, Size Standards Division, (202) 205-6618 or [email protected]
FR Citation81 FR 4436 
RIN Number3245-AG51
CFR AssociatedAdministrative Practice and Procedure; Government Procurement; Government Property; Grant Programs-Business; Individuals with Disabilities; Loan Programs-Business; Reporting and Recordkeeping Requirements and Small Businesses

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