Notice: Function _load_textdomain_just_in_time was called incorrectly. Translation loading for the health-check domain was triggered too early. This is usually an indicator for some code in the plugin or theme running too early. Translations should be loaded at the init action or later. Please see Debugging in WordPress for more information. (This message was added in version 6.7.0.) in /var/www/wp-includes/functions.php on line 6121

Notice: Function _load_textdomain_just_in_time was called incorrectly. Translation loading for the primer domain was triggered too early. This is usually an indicator for some code in the plugin or theme running too early. Translations should be loaded at the init action or later. Please see Debugging in WordPress for more information. (This message was added in version 6.7.0.) in /var/www/wp-includes/functions.php on line 6121
Stephen Avery – Page 4 – DCAA Compliance, LLC Skip to content
DCAA Compliance, LLC
DCAA Compliance, LLC
"As Clients Prosper, We Prosper"
  • Home
  • About Us
    • About Us
    • Testimonials
    • Articles
  • What We Do
    • Cost Accounting
    • Government Contractor Compliance
    • Advocacy
    • Resources
      • Speaker
      • Links
    • Publications
  • What Contractors Need to Know
    • Types of Contracts and Audits Procedures
    • DCAA Myths, Truths, and Your Rights
    • Your Responsibilities as a Government Contractor
    • Just What is the Defense Contract Audit Agency (DCAA)?
  • Foreign Military Sales
  • SBIR & STTR

Author: Stephen Avery

The Costs Must Go Somewhere

May 24, 2018 Stephen Avery 4 Comments

Good morning, To follow up on our discussion yesterday about the markups, overhead, and G&A. In 2017, we had 13.422M…

Continue Reading →

Posted in: Cost And Accounting, Running Your Business Filed under: burden on subcontracts, cost allocation, G&A, Indirect rates, Overhead, subcontractors

Contractor Rights Expanded

May 2, 2018 Stephen Avery

Let DCAA speak for itself…..   This memorandum is being issued to confirm that Agency policy will be revised to…

Continue Reading →

Posted in: DCAA Relations, Incurred Cost Proposals Filed under: Adequate ICE, Incurred Cost Submissions

Great Job DCAA and Senator McCasskill!

April 15, 2018 Stephen Avery

But lessons to be learned for contrtactors….   https://www.militarytimes.com/news/2018/04/14/how-in-the-world-are-taxpayers-paying-for-alfa-romeos-and-bentleys-senator-pushes-army-leaders-on-afghan-contracts/    

Continue Reading →

Posted in: DCAA Relations, Incurred Cost Proposals Filed under: Government Contracting, McCasskill

Survivors of the 2008 DCAA Crisis are Now Supervisors…..

February 19, 2018 Stephen Avery

A DCAA auditor recently contacted a client with a concern about their incurred cost submission for 2014, The auditor asked…

Continue Reading →

Posted in: DCAA Relations, Incurred Cost Proposals Filed under: DCAA, Dealing with DCAA, ICE, Incurred Cost Submissions, Schedule H, Schedule I

Recent Short Interview with NMSU on Small Business Government Contracting

January 30, 2018 Stephen Avery

   

Continue Reading →

Posted in: Accounting System, Cost And Accounting, DCAA Relations, Running Your Business Filed under: Compliance, Fighting DCAA, Government Contractor, SBIR

A World Without DCAA hits SBIR Phase One

January 23, 2018 Stephen Avery

Here are some of the requirements from the Department of Homeland Security’s latest SBIR  RFPs   “Additional deliverables in this…

Continue Reading →

Posted in: Accounting System, Cost And Accounting, Department of Defense News, Running Your Business Filed under: Compliance, Government Contracting, Government Contractor, SBIR Budget, SBIR Phase 1, Small Business Accounting, SPIR Phase One

DFARS Cyber Security for Small Business Contractors

December 19, 2017 Stephen Avery

In 1998, I listened to an IT staff member from a large contractor proceed to chew out the contractor’s accounting…

Continue Reading →

Posted in: Accounting System, Department of Defense News, Running Your Business Filed under: Cyber security, Cybersecurity, DFARS, Small contractor requirements

Thank You DCAA for New Adequacy Guidance.

December 6, 2017 Stephen Avery 1 Comment

I can take this one of two ways: DCAA now agrees that adequacy is defined by the regulation and should…

Continue Reading →

Posted in: Cost And Accounting, DCAA Relations, Incurred Cost Proposals Filed under: Adequate ICE, Adequate Incurred Cost Proposal, DCAA, Defense Contract Audit Agency, ICE, Incurred Cost Submission

The Good News — DCAA Gets A New External Peer Review Opinion. The Bad News — Qualified with Deficiencies (Again). DOD OIG identified 25 Deficiencies

December 1, 2017 Stephen Avery

DCAA receives it overdue external peer review from DOD OIG. Unfortunately, it is not the stellar report we hoped for.…

Continue Reading →

Posted in: DCAA Relations, Department of Defense News Filed under: DCAA, DCAA audits, Defense Contract Audit Agency

How to LOSE Those PROFITS (What DCAA and the Government Will Do to You)

October 24, 2017 Stephen Avery

In the current crisis surrounding DCAA, it is possible to receive a cost type contract requiring an approved accounting system…

Continue Reading →

Posted in: Accounting System, Cost And Accounting, DCAA Relations, Running Your Business Filed under: Compliance, Cost Type Contract, DCAA, Government Contracting, Government Contracting Risk, Government Contractor

Post navigation

Page 4 of 17
← Previous 1 … 3 4 5 … 17 Next →

Recent Posts

  • DCAA and DCMA on 60 Minutes – Good or Bad?
  • Audit of Department of Defense Small Business Subcontracting Requirements (DODIG-2022-069)
  • NIST Publishes Guidance on Ransomware for Government and Government Contractors.

Essential Guides

Publications

Foreign Military Sales (FMS)

Contact Us

Contact us at: mail@dcaacompliance.com

 

  • Home
  • About Us
  • What We Do
  • What Contractors Need to Know
  • Foreign Military Sales
  • SBIR & STTR
Copyright © 2025 DCAA Compliance, LLC