UPDATE: President Trump’s Executive Orders Impose Tariffs on Products from Canada, Mexico, and China: The Cost to Government Contractors

PilieroMazza recently published a client alert (linked here ) regarding three executive orders issued on February 1, 2025, imposing additional tariffs on products from Canada, Mexico, and China that were to be effective February 4, 2025. This client alert provides an update on these tariffs as well as tariffs on steel and aluminum and reciprocal tariffs that were announced last week. To summarize, products from Canada and Mexico were set to be subject to 25% tariffs, except for “energy or energy resources” . . . Read More

Federal Judge Orders USAID and Foreign Aid Funding to be Restored

On January 20, 2025, the President issued Executive Order Number 14169 (Executive Order), which imposed a 90-day pause on new obligations and disbursements of development assistance funds to foreign countries and implementing non-governmental organizations, international organizations, and contractors pending reviews of such programs. Similarly, in furtherance of the Executive Order, on January 24, 2025, the Secretary of State issued a Memorandum ordering a pause on all new obligations of foreign assistance funding pending an 85-day review of United States foreign assistance programs. The Secretary additionally . . . Read More

Federal Judge Clarifies Scope of TRO Enjoining Federal Spending Freeze

As we recently outlined , on January 31, 2025, U.S. District Judge John J. McConnell issued a temporary restraining order (TRO) that blocks the federal funding freeze outlined in the now-rescinded January 27, 2025, Office of Management and Budget (OMB) directive (Directive).  In the Order, the Court ruled that the Defendants (including the President, OMB, and numerous federal agencies) are prohibited from reissuing, adopting, implementing, or otherwise giving effect to the OMB Directive under any other name or title or through any other . . . Read More

Proposed Rule on Organizational Conflicts of Interest Signals Significant Changes for Contractors

Organizational conflicts of interest (OCIs) should be front of mind for any federal government contractor. The mere presence of an OCI may cause contractors to reconsider which contracting opportunities to pursue, reshape teaming and subcontracting arrangements, and revise mitigation policies, procedures, and plans in ways that impact company-wide systems and processes. Most significantly, an OCI may be enough for the government to strip a contractor of an award it just won. Recently, the government published a proposed rule ( Proposed Rule ), . . . Read More

FCA Settlement Highlights Importance of Accurate Small Business Certifications in Government Contracting

The Department of Justice (DOJ) recently announced a $949,696.90 False Claims Act (FCA) settlement with GS Foods Group Inc. (GS Foods) for improperly bidding on contracts reserved for small businesses despite not qualifying as a small business. The DOJ settlement underscores the critical need for accurate small business representations and certifications in government contracting. Visit this  link  to register for our webinar, “PilieroMazza Annual Review: What DOJ’s 2024 FCA Report Means for Government Contractors” and check out our podcast Ex Rel. Radio . Briefly, the . . . Read More

PilieroMazza Annual Review: What DOJ’s 2024 FCA Report Means for Government Contractors

On January 15, 2025, the Department of Justice (DOJ) released its annual fraud statistics report ( Annual Report ) detailing settlements and judgments obtained under the False Claims Act (FCA) and other fraud matters during Fiscal Year 2024 (FY 2024), which ended September 30, 2024. During FY 2024, the government recovered $2,920,738,612, a 4.8% increase compared to FY 2023. 2024 also saw a landmark ruling from a federal trial court that the qui tam provisions of the FCA are unconstitutional. Below are key . . . Read More

Federal Spending Freeze and Executive Orders Blocked by Federal Judge: What Contractors Need to Know

As we recently noted , President Trump has issued a flurry of Executive Orders (EO) since he took office. Among other things, President Trump has sought to eliminate DEI and affirmative action-based programs and has put a 90-day pause on all foreign development assistance funding. More sweepingly, on January 27, 2025, the Office of Management and Budget (OMB) issued a directive (Directive) requiring agencies to pause all funding for federal financial assistance and other relevant agency activities that may be implicated . . . Read More

President Trump’s Executive Orders Impose Tariffs on Products from Canada, Mexico, and China: The Cost to Government Contractors

On February 1, 2025, President Trump issued 3 executive orders imposing additional tariffs on products from Canada , Mexico, and China, effective February 4, 2025. The tariffs on Canadian and Chinese products will go into effect on February 4, 2025. Pursuant to an agreement reached between Mexico and the U.S. on February 3, 2025, the tariffs on Mexican products will be delayed for a month. This client alert identifies key takeaways from the executive orders and provides important considerations for government . . . Read More

Key Executive Orders Passed by President Trump and Their Implications for Government Contractors

Since President Trump took office a little over ten days ago, he has issued a flurry of Executive Orders (EO) aiming to further his policy objectives and rescind certain policies set by the Biden Administration. Many of these EOs affect government contractors working on federal contracts, as well as contractors working on state and local projects that receive federal assistance. On February 12, 2025, PilieroMazza will host a webinar addressing these Executive Orders in-depth and provide cost recovery strategies for . . . Read More

Trump’s Executive Order on IIJA and IRA Contracts: Maximizing Cost Recovery for Government Contractors

On January 20, 2025, President Trump signed an executive order entitled “ Unleashing American Energy ” (the Executive Order) aimed at reversing many of the Biden Administration’s clean energy and climate-related actions.  The Executive Order will have significant impacts on many contracts (as well as grants, cooperative agreements, loans, and other awards) that are funded by either the Infrastructure Investments and Jobs Act of 2021 (IIJA) or the Inflation Reduction Act of 2022 (IRA).  Given the Executive Order and its wide-ranging impacts on federal, state, and local projects,  PilieroMazza provides important steps for potentially affected contractors . . . Read More