My WebLink
|
Help
|
About
|
Sign Out
Home
Browse
Search
Res 2025-001 approving On-Call Professional Services Agreements with Plummer Associates, Inc., Colliers Engineering and Design, Inc., Utility Engineering Group, PLLC, and Capitol Environmental for Stormwater Pollution Prevention Consulting Services
San-Marcos
>
City Clerk
>
03 Resolutions
>
2020's
>
2025
>
Res 2025-001 approving On-Call Professional Services Agreements with Plummer Associates, Inc., Colliers Engineering and Design, Inc., Utility Engineering Group, PLLC, and Capitol Environmental for Stormwater Pollution Prevention Consulting Services
Metadata
Thumbnails
Annotations
Entry Properties
Last modified
6/26/2025 7:54:00 PM
Creation date
1/13/2025 4:47:50 PM
Metadata
Fields
Template:
City Clerk
City Clerk - Document
Resolutions
City Clerk - Type
Approving
Number
2025-001
Date
1/7/2025
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
197
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
Show annotations
View images
View plain text
000usign Envelope ID:oo1o7oD8-FEnF-445-o1an-Ocn7ooEnFcoo <br /> EXHIBIT <br /> FEDERAL,STATE,AND LOCAL REQUIRED PROVISIONS <br /> A. NATIONAL OBJECTIVES <br /> All activities funded with CDGB-DR funds must meet one of the CDBG-DR program's National Objectives: (a) <br /> benefit |mm- and moderate- income persons; (b) aid in the prevention or elimination of slums or blight; or <br /> (o) meet community development needs having particular urgency, as defined in 24CFRS7O.208. The <br /> Contractor certifies that the activities carried out under this Agreement will meet a National Objective. <br /> B. COPELANO ANTI-KICKBACK ACT COMPLIANCE <br /> The Contractor will comply with the requirements of 29 CFR Part 3 (the Copeland Act).The "Anti-Kickback" <br /> section of the Act precludes a contractor or subcontractor from inducing an employee--in any manner--to <br /> give up any part of his/her compensation to which he/she is entitled under his/her contract of employment, <br /> C. CONFLICTS OF INTEREST (24CFRG7O.G11; 2CFR3OO.113 AND 2OD.31D(c); 24 [FRO5.3S; AND 24 <br /> CFRO4.42 <br /> There are two sets of conflict of interest provisions applicable to activities carried out with CD8G funding. <br /> The first set, applicable to the procurement of goods and services by subrecipienty (fundedopp0conts), is <br /> the procurement regulations located at 24 CFR 84.42 and 85.36. The second set of provisions is located at <br /> 24 CFR 570.61 1(a)(2).These provisions cover situations not covered by parts 84 and 85. <br /> With respect to procurement activities, the Contractor must maintain written standards of conduct <br /> governing the performance of its employees engaged in the award and administration of contracts. At a <br /> minimum,these standards must: <br /> 1) Require that no employee, officer, or agent may participate in the selection, award, or administration <br /> of a contract supported byfecleral funds if a real or apparent conflictwould be involved.Such a conflict <br /> would arise when any of the following parties has a financial or other interest in the firm selected for <br /> an award: <br /> a) An employee, officer, or agent' of the Contractor; <br /> b) Any member ofonemp|oyee'x, of0cer's, o/agent's immediate family; <br /> c) Anemp|oyee's, agent'u, or officer's partner; or <br /> d) An organization which employs or is about to employ any of the persons listed in the preceding <br /> sections. <br /> 2) Require that employees, agents, and officers of the Contractor neither solicit nor accept gratuities, <br /> favors,or anything of value from contractors,or parties to sub-agreements.However,Contractors may <br /> set standards for situations in which the financial interest is not substantial or the gift is an unsolicited <br /> item of nominal value. <br /> 3) Provide for disciplinary actions to be applied for any violations of such standards by employees,agents <br /> or officers of the subrecipient. <br /> With respect to all other CDBG-assisted activities,the general standard is that no employee,agent or <br /> officer of the subredpient, who exercises decision-making responsibility with respect to CD86 <br /> funds and activities is allowed to obtain ofinandz| interest in or benefit from CDBG activities, or <br /> have a financial interest in any contract,subcontract, or agreement regarding those activities or in <br /> nsv 06.22.22 Page 1 of <br />
The URL can be used to link to this page
Your browser does not support the video tag.