UNCLASSIFIED ROUTINE R 292121Z AUG 17 FM CNO WASHINGTON DC TO NAVADMIN INFO CNO WASHINGTON DC BT UNCLAS NAVADMIN 211/17 MSGID/NAVADMIN/CNO WASHINGTON DC/DNS/AUG// SUBJ/NAVY RESPONSIBILITIES FOR THE IMPLEMENTATION OF DODI 5000.72// REF/A/DOC/DODI 5000.72// NARR/REF A IS DODI 5000.72, STANDARDS FOR CONTRACTING OFFICER REPRESENTATIVES (COR) CERTIFICATION.// RMKS/1. The FY 2015 Schedule of Budgetary Activity Audit found that controls over contractor and vendor Pay (CVP) delivered orders for interim cost vouchers and direct submit vouchers were not properly designed and the United States Navy (USN) may be paying for goods and services that the USN did not receive. 2. This message directs the Navy Wide Implementation of reference (a) for the Monitoring and Reporting of Financial Transactions Related to Interim Payments for Cost Plus, Time and Materials, and Labor Hour Contracts. This message also requires commands to fulfill the responsibilities as set forth in reference (a) and develop an action plan within 60 days that will bring the commands in compliance with this guidance. 3. In accordance with reference (a), CORs that are designated specific authority by the Contracting Officer are to conduct contract surveillance and report on contractors? performance to verify that the contractor is fulfilling contract requirements by: (1) Reviewing interim invoices (e.g., cost reimbursement contracts) to make sure charges are commensurate with observed performance, and coordinating issues of cost with Defense Contract Audit Agency through the Contracting Officer and, (2) Reviewing labor hours charged to ensure they are commensurate with level of work performed. As such, Commands must implement monitoring and reporting policies and procedures to provide reasonable assurance that costs incurred on interim payments represent the work performed and associated costs incurred by the contractor. 4. It is expected that each requiring entity will send an implementation plan to the Director, Navy Staff (DNS) point of contact no later than 60 days from the date of this message. Once the plan is received, it will be reviewed by DNS Financial Improvement and Audit Readiness (FIAR) Team for adequacy. For those requiring entities that are currently compliant with reference (a), a statement from an appropriate official stating that the command is compliant, accompanied by the command's policy and procedures showing how compliance is being achieved, may be submitted in lieu of an implementation plan. Each implementation plan must include how each requiring entity will identify open cost-plus, reimbursable contracts with interim payments along with the associated COR assigned to the contract. These compliance actions will be completed and subject to testing by 23 October 2017. 5. My staff will coordinate with Budget Submitting Office FIAR Managers to provide additional examples of sufficient monitoring and reporting procedures. 6. My point of contact is CAPT Terry Morris, available at 202-685-1679 or terry.morris(AT)navy.mil. 7. Released by VADM J. G. FOGGO, Director, Navy Staff.// BT #0001 NNNN UNCLASSIFIED//