Difference between revisions of "106.9 Buy America Requirement"

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(Per LPA Coordinator & CM, article renamed "Buy America" (not "American"). 7/1/10,per CM, for greater clarity,old EPG 106.9 (3051 hits) was moved to EPG 106.20. New EPG 106.9 is aligned with Sec 106.)
 
 
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Federal-aid projects requiring steel or iron products that are permanently incorporated into the contract work are to comply with the Buy America Requirements.  [http://www.modot.mo.gov/business/standards_and_specs/Sec0106.pdf Sec 106.9] provides information regarding the Buy America requirement.  Certain projects may not allow the minor usage clause to be invoked.  The Resident Engineer should confirm the scope of this specification on any particular project.
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Federal-aid projects requiring steel or iron products that are permanently incorporated into the contract work are to comply with the Buy America Requirements.  [http://www.modot.org/business/standards_and_specs/SpecbookEPG.pdf#page=4 Sec 106.9] provides information regarding the Buy America requirement.  Certain projects may not allow the minor usage clause to be invoked.  The Resident Engineer should confirm the scope of this specification on any particular project.
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==When does Buy America apply to manufactured items?==
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FHWA's guidance, [https://www.fhwa.dot.gov/programadmin/contracts/122297.cfm Buy America policy response Control # HCC-97-070], states  “A review of the Congressional Record pages pertaining to this legislation indicate that Congress' primary concern for Section 165 was to protect the domestic steel industry.”  Therefore, the determination on when Buy America applies to a manufactured item should keep that in consideration. 
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|[https://www.fhwa.dot.gov/construction/contracts/buyam_qa.cfm '''FHWA's Buy America Q & A for Federal-Aid Program''']
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The intent is not to create a loophole for products, either.  Thus, the term “predominately steel or iron” is used as what qualifies for Buy America.  The example given by FHWA in the "policy response" is that of a bridge bearing.  It is manufactured and “predominately” steel.  Therefore, do not claim it has some rubber gaskets or other minute non-steel components to bypass the Buy America requirement.
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Determining the exact amount of steel and iron in a manufactured product is not practical.  Additionally, determining the origin of each of the steel and iron components is not feasible.  As a rule of thumb, any manufactured item that is composed of approximately 75% steel or iron is a threshold to begin considering Buy America application. Items such as metal cabinets and steel light poles would be predominantly steel and iron and would be subject to the Buy America guidelines.  Most routine items such as traffic cameras, light fixtures, electrical components, etc. would contain minor amounts of steel and iron and therefore Buy America requirements do not apply. If you are unsure contact your liaison engineer for guidance.
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[[category: 106 Control of Material|106.09]]
 
[[category: 106 Control of Material|106.09]]

Latest revision as of 14:58, 16 August 2018

Federal-aid projects requiring steel or iron products that are permanently incorporated into the contract work are to comply with the Buy America Requirements. Sec 106.9 provides information regarding the Buy America requirement. Certain projects may not allow the minor usage clause to be invoked. The Resident Engineer should confirm the scope of this specification on any particular project.

When does Buy America apply to manufactured items?

FHWA's guidance, Buy America policy response Control # HCC-97-070, states “A review of the Congressional Record pages pertaining to this legislation indicate that Congress' primary concern for Section 165 was to protect the domestic steel industry.” Therefore, the determination on when Buy America applies to a manufactured item should keep that in consideration.

FHWA's Buy America Q & A for Federal-Aid Program

The intent is not to create a loophole for products, either. Thus, the term “predominately steel or iron” is used as what qualifies for Buy America. The example given by FHWA in the "policy response" is that of a bridge bearing. It is manufactured and “predominately” steel. Therefore, do not claim it has some rubber gaskets or other minute non-steel components to bypass the Buy America requirement.

Determining the exact amount of steel and iron in a manufactured product is not practical. Additionally, determining the origin of each of the steel and iron components is not feasible. As a rule of thumb, any manufactured item that is composed of approximately 75% steel or iron is a threshold to begin considering Buy America application. Items such as metal cabinets and steel light poles would be predominantly steel and iron and would be subject to the Buy America guidelines. Most routine items such as traffic cameras, light fixtures, electrical components, etc. would contain minor amounts of steel and iron and therefore Buy America requirements do not apply. If you are unsure contact your liaison engineer for guidance.

106.18.jpg