Building a Robust Pricing Volume Compliance Matrix | Federal Pricing Group
What do legendary basketball coach John Wooden and federal contracts pricing have in common? Both required adherence to fundamentals. Coach Wooden focused on a simple fundamental – the proper way to put on socks and sneakers, before anything else. His premise was simple, if socks slip, they create blisters which reduces the player’s practice and ultimately diminishes game performance. In federal contracts pricing, a pricing volume compliance matrix is the equivalent fundamental of socks and sneakers. If you slip up with the pricing compliance matrix, you’re sure to put blisters on the pricing volume that can jeopardize the performance of your bid.
We all generally understand the importance of proposal compliance matrices. Given the pricing volume's complexity (which typically combines pricing, contract terms and conditions, representations and certifications, (distinctive) subcontractor pricing/data, and other business information) a compliance matrix is critical. So, let’s get back to simple fundamentals and summarize five good practices for building robust pricing volume compliance matrices.
1. Don’t assume proposal managers understand cost/pricing.
If you’re the pricing volume lead, it’s your responsibility to develop a comprehensive pricing volume compliance matrix. The pricing requirements listed in Section L of the RFP can be detailed, complex, and, at times, contradictory. Oftentimes, a non-expert will focus on higher level requirements and omit essential lower level details. If the proposal manager (or client) says the pricing compliance matrix is already completed, don’t argue. Just thank them, take whatever matrix they hand you, and augment the matrix with the rest of the missing information.
2. Capture and organize all pricing requirements.
Search and highlight all ‘shalls’, ‘musts’, and ‘shoulds’ in Section L. At a minimum, the matrix should track each requirement, the RFP section and page, and a the pricing volume section reference. Follow the RFP instructions and organize your pricing volume requirements as specified in Section L. It’s not uncommon for the RFP to contain redundant, conflicting, and poorly organized pricing requirements. If RFP does not specify the organization of the pricing volume, then align the pricing volume in the same order as the Section L pricing sections appear in the RFP. Try to group similar requirements into a logical higher-level outline item. For example, requirements related to labor rates, uncompensated overtime, Service Contract Act, work-week, etc could be grouped under a “Direct Labor” subsection. Try to strike a balance between outline breadth and depth. I prefer each section/sub-section to contain no more than 5-7 child elements. Also, carefully review the solicitation to determine if your pricing volume must include completed priced contract line items (CLINs) and other rates and ceilings from Section B of the RFP. If so, be sure your compliance matrix tracks Section B requirements too. Finally, don’t forget to carefully review Section H of the RFP for any special contract clauses that limits what the government will pay the contractor. These constraints might need to be factored into your pricing proposal. Common examples include restrictions on labor escalation and/or maximum labor rates the government is willing to pay.
3. Pay attention to subcontractor requirements.
Unfortunately, today, many federal government solicitations request detailed pricing information from both the prime contractor AND subcontractors. This is true regardless of whether or not the solicitation calls for certified cost and pricing data. Don’t let subcontractors become your weakest link in the pricing volume. Add extra columns to your compliance matrix to flag which pricing requirements are also applicable to subcontractors. Add an extra subcontractor column if the RFP distinguishes between ‘major’ subs and ‘minor’ subs since minor subs typically have less requested pricing detail. Plan to flow a tailored pricing compliance matrix, populated with the requirements, to your subcontractors early in the proposal process as practical to give them adequate time to meet their proposal demands. This will make your job easier when it becomes time to review your subcontractor’s pricing submissions.
4. Give “BOE’s” special care.
If the solicitation requires submission of ‘Basis of Estimate’, take extra care to separately track these beasts. Identify each BOE and be sure to track BOE assignments. “One BOE” is typically one Work Breakdown Structure (WBS) element out of a set of WBS elements. Sometimes it’s more complex than that. Since BOE’s are replicated across CLINs, SLINS, etc., it’s best to prepare a separate matrix that can serve as a BOE compliance checklist. Finally, be aware of hidden requirements in the form of government provided assumptions (which may not have a ‘shall’ in them). For example, if the government says, “Assume 10 locations of support.”, the compliance matrix should ensure this requirement is captured and the location of where the contractor addressed this mandated assumption. That way the government can check off assumption compliance.
5. Track pricing data and information requirements.
Oftentimes, other data and contractual content are included within the pricing volume. For applicable pricing requirements, identify the specific data elements/information required, the authoritative point of contact who can provide the information, completion status, and finally notes (to track specific actions taken to collect the information).
The importance of a robust pricing compliance matrix cannot be understated. Almost every RFP warns offerors that non-compliant proposals are grounds for elimination. Winning proposals aren’t just built. They are engineered. A thoroughly detailed pricing compliance matrix helps bidders limit pricing errors, omissions, and inconsistencies. Let your robust pricing volume compliance matrix be your fundamental building-block for producing a well-designed and compliant pricing volume.
About the author: Mike Gallo is Partner and Principal Consultant at Federal Pricing Group, a consulting firm focused on providing expert contracts pricing to small and mid-sized federal government contractors and cost-related acquisition support services to federal agencies. Learn more at https://www.federalpricinggroup.com/ .


