Details
The document's own metadata, straight from the source system.
Overview
What the public is saying — stance, who's commenting, and the issues they raise.
Stance breakdown
Who commented
Breakdown by commenter type.
Comments over time
Weekly arrivals, stacked by stance.
Support × commenter type
How each type splits across stance.
Issues raised
The docket's canonical issues. Select one to browse its comments.
Position map
Who stands where on each issue?
Every non-silent position is backed by an excerpt from the comment.
Issues shown
Uncheck an issue to choose another.
| Organization | Market research requirements | Small business participation | Common public comment deadline | Legal drafting style | Extension of comment deadline |
|---|---|---|---|---|---|
Aggregate Analytics, Inc. BusinessOppose Andrea Skelly, owner of Aggregate Analytics, Inc., opposes the proposed changes because they would remove protections th | · | · | · | · | |
Alaska Native Village Corporation Association (ANVCA) Trade associationSupport The Alaska Native Village Corporation Association (ANVCA) supports the administration's goals of streamlining procuremen | · | · | · | · | |
ALLUMIN8 BusinessOppose Alyssa Huffman, owner of ALLUMIN8, opposes the proposed changes to the FAR because they would disproportionately harm sm | · | · | · | ||
American Bar Association Trade associationSupport The ABA Section of Public Contract Law supports the "Revolutionary FAR Overhaul" but suggests specific improvements to e | · | · | · | ||
American Small Business League Trade associationOppose Bruce de Torres, representing the American Small Business League, opposes the proposed rules because he believes they ma | · | · | · | · | |
Bering Straits Native Corporation BusinessSupport Bering Straits Native Corporation (BSNC) supports the improvements made to the NPRM but requests further clarifications | · | · | · | ||
Bristol Bay Native Corporation (BBNC) BusinessSupport Bristol Bay Native Corporation (BBNC), an Alaska Native Regional Corporation, supports the goal of a clearer, streamline | · | · | · | · | |
CNI Government, LLC BusinessOppose CNI Government, LLC (a subsidiary of Chickasaw Nation Industries, Inc.) opposes several proposed changes to the FAR, spe | · | · | · | · | |
Council of Defense and Space Industry Associations Trade associationSupport The Council of Defense and Space Industry Associations (CODSIA) is requesting a 30-day extension to the public comment p | · | · | · | · | |
Cox-Morgan & Associates BusinessOppose Doneth Morgan, owner of Cox-Morgan & Associates, LLC, opposes the deletion of FAR PART 10 - Market Research. | · | · | · | · | |
Department of the Air Force Office of Small Business Programs (SAF/SB) GovernmentSupport The Department of the Air Force Office of Small Business Programs recommends amending FAR 6.102-3 to provide contracting | · | · | · | · | · |
Endictus Corp. BusinessSupport Endictus Corp., an SBA-certified small business, supports the simplification of the Federal Acquisition Regulation (FAR) | · | · | · | ||
Gov Contract Pros LLC BusinessOppose Gov Contract Pros (GCP) opposes the "Revolutionary FAR Overhaul" (RFO), arguing that the "model deviation" process is an | · | · | · | ||
HunaTek Holding, LLC BusinessSupport HunaTek Holding, LLC, a small business and 8(a) participant, supports the proposed FAR revisions but requests further cl | · | · | · | ||
Koniag, Incorporated BusinessSupport Koniag, Incorporated, an Alaska Native Corporation, supports the Revolutionary FAR Overhaul's goals of streamlining fede | · | · | · | ||
MJ Contractors BusinessOppose Janice Ventura, owner of MJ Contractors LLC, opposes the proposed rules because she believes they would remove the tools | · | · | · | · | |
Native American Contractors Association Trade associationSupport The Native American Contractors Association (NACA) supports the proposed FAR revisions but requests specific modificatio | · | · | · | ||
Par-Con, Inc. BusinessSupport GovContractPros, LLC, represented by CEO Trevor Skelly, requests that the FAR Council extend the public comment period f | · | · | · | ||
Southeast Cherokee Construction, Inc. BusinessOppose The commenter, a Woman-Owned Small Business (WOSB) with nearly 40 years of experience, opposes the proposed FAR overhaul | · | · | · | · | |
The American Small Business Chamber of Commerce Trade associationSupport The American Small Business Chamber of Commerce is requesting an extension of the public comment period for the proposed | · | · | · | · | |
The LDM Group LLC BusinessOppose Lisa Morrow, CEO of The LDM Group LLC, opposes the proposed changes to the Federal Acquisition Regulation because they r | · | · | · | · | |
U.S. Women's Chamber of Commerce BusinessOppose The U.S. | · | · |
1 organization-typed comment could not be identified.
Explorer
Every mirrored comment — filter by stance, campaign, or issue.
- Jul 23, 2026American Road & Transportation Builders AssociationSupportTrade association📎 Attachment
The American Road & Transportation Builders Association (ARTBA) supports the proposed Revolutionary Federal Acquisition Regulation Overhaul, noting its potential to reduce administrative burdens and improve procedural flexibility. They provide specific recommendations to streamline certifications, cloud services, and dispute clauses to better serve the transportation construction industry.
Read comment → - Jul 23, 2026Commercial Space FederationSupportTrade association📎 Attachment
Dave Cavossa, President of the Commercial Space Federation, expresses support for the proposed FAR reforms aimed at streamlining federal procurement. He argues that reducing regulatory obstacles will facilitate more efficient public-private partnerships and promote competition within the commercial space industry.
Read comment → - Jul 23, 2026Comment on FR Doc # 2026-12560SupportBusiness📎 Attachment
KOMAN Holdings, LLC, representing an Alaskan Native Corporation and its 8(a) subsidiaries, supports the goal of a streamlined FAR but proposes specific amendments to protect small-business interests. They argue for enterprise-level registrations, proportional CUI requirements, and the preservation of binding regulatory protections for 8(a) and small-business programs.
Read comment → - Jul 22, 2026Rob LeslieSupportBusiness
Robert T. Leslie of Computer Solutions Unlimited, Inc., a small business, supports the goal of a uniform CUI framework but requests specific modifications to reduce the compliance burden on small entities. He asks the Council to explicitly recognize "scope minimization" (bounded CUI enclaves) as a valid cost-reduction strategy and to provide clear, direct guidance on which NIST SP 800-171 revision governs compliance to avoid confusion between FAR and DFARS/CMMC requirements.
Read comment → - Jun 25, 2026Roger WestermeyerSupportOther
The commenter, likely a government employee or contractor involved in defense acquisition, argues for an exception to full and open competition for "enterprise" requirements. They contend that standardizing equipment like HVAC systems and IT across the DoD reduces total cost of ownership, simplifies maintenance, and improves cybersecurity.
Read comment →
