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Rubio, Cardin Urge SBA to Rapidly Distribute Entrepreneurial Assistance Grants
Miami, FL — U.S. Senators Marco Rubio (R-FL) and Ben Cardin (D-MD), Chairman and Ranking Member of the Senate Committee on Small Business and Entrepreneurship, sent a letter to Jovita Carranza, Administrator of the U.S. Small Business Administration (SBA), asking for the agency to expeditiously fulfill the grant requirements for SBA Small Business Development Center and Women’s Business Center Associations. These grants would establish a much needed centralized online platform that consolidates available federal resources for small businesses.
“Considering the immense impact that small businesses have on the United States economy, it is the position of the Committee that delays in administering these grants would result in significant economic injury and damage,” the Senators wrote. “We ask that you take immediate steps to allow for the expeditious administration of these grants and the resources they establish.”
The full text of the letter is below.
Dear Administrator Carranza:
We write to urge the U.S. Small Business Administration (SBA) to allow all procurements required to expeditiously fulfill the grant requirements outlined in Section 1103(c) of the CARES Act to be administered by noncompetitive award due to the immediate need for these resources.
Section 1103(c) of the CARES Act authorizes the SBA to administer grants to an association or associations representing Small Business Development Centers and Women’s Business Centers for the purpose of establishing a single centralized online platform that consolidates available federal resources for small businesses and a training program to educate small business counselors on those available resources. Prompt access to this guidance is vital to ensure small businesses are able to access the federal resources necessary for the survival of their firms. Considering the immense impact that small businesses have on the United States economy, it is the position of the Committee that delays in administering these grants would result in significant economic injury and damage.
Section 200.320(f) of Title 2 of the Code of Federal Regulations allows for procurement by noncompetitive proposals when “the public exigency or emergency for the requirement will not permit a delay resulting from competitive solicitation.” Given the President’s March 2020 declaration of a National Emergency due to the COVID-19 outbreak and emergent need for these services, it is our position that a noncompetitive procurement process is justified.
We ask that you take immediate steps to allow for the expeditious administration of these grants and the resources they establish. Thank you for your attention to this important matter.
Sincerely,