GAO Bid Protests: Trends and Analysis
Moshe Schwartz
Specialist in Defense Acquisition
Kate M. Manuel
Legislative Attorney
Lucy P. Martinez
Research Associate
August 9, 2013
Congressional Research Service
7-5700
www.crs.gov
R40227


GAO Bid Protests: Trends and Analysis

Summary
Bid protests on federal government contracts filed with the Government Accountability Office
(GAO) have recently received increased congressional scrutiny due to protests of high-profile
awards and reports that the number of protests is increasing. The delay of contract award or
performance triggered by a GAO protest, coupled with the increasing number of GAO protests,
has also prompted concerns about the potential impact of protests upon government agency
operations, especially in the Department of Defense.
There has been a significant shift in bid protest trends over the last five years. From FY2001 to
FY2008, total government procurement spending, adjusted for inflation, increased at a faster rate
(over 100%) than the number of protests filed (35%). This trend reversed itself in FY2008: from
FY2008-FY2012 total government spending, adjusted for inflation, decreased more than 10%
while total protests increased 45%. This data indicates that, when compared to the rate of
government spending, bid protests decreased from FY2001-FY2008, and increased from
FY2008-FY2012.
The rate at which GAO sustains protests has also seen a significant shift in recent years. From
FY2001-FY2008 GAO sustained protests in 22% of their opinions; from FY2008-FY2012 that
number dropped to 18%. This data suggests that while companies are more likely to file a bid
protest, they are somewhat less likely to win a bid protest. According to one recent analysis, in
FY2010, there was less than a 1% chance that GAO would sustain a protest and the protesting
party would go on to win the contract. However, this figure does not account for cases where the
agency took corrective action prior to GAO issuing an opinion. Taking into account agency
corrective action, one observer estimated a “protester has a 12% chance of ultimately winning a
contract award as a result of its protest.”
In addition to GAO sustaining a protest a contracting agency voluntarily acts to correct the
allegation charged in the protest. Many analysts consider the increasing willingness of agencies to
voluntarily take corrective action as one of the most significant trends in bid protests. In many
cases, voluntary action by an agency could indicate that the agency believes a given protest has
merit. However, there may be instances when an agency takes corrective action even when it
believes the procurement was done properly (e.g., meeting with the protesting party to clarify
why the protester lost the competition). The percentage of protesters obtaining relief—either
through a protest being sustained or through voluntary action taken by an agency—is called the
effectiveness rate. Over the last 5 fiscal years the effectiveness rate has remained relatively stable,
averaging 43%.
Companies file protests based on the belief that the government has made a material error in the
bidding process. When agencies do not adequately debrief losing bidders, the losing companies
may also file a protest to determine why they lost the competition. A number of analysts have also
suggested that companies are increasingly likely to file protests when it is in their business
interest to do so, even when they do not believe there was an error in the procurement process.
The specter of a company filing a bid protest can influence agency behavior. Fear of protests may
motivate agency officials to conduct more rigorous market research, hold a competition instead of
awarding a sole-source contract, or conduct more thorough and fair competition. On the other
hand, fear of a protest could also prompt officials to try to structure a contract in a manner they
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GAO Bid Protests: Trends and Analysis

deem less likely to be protested, such as using lowest price technically acceptable award criteria
instead of a best-value competition.
DOD contracts are less likely to be protested than those of the rest of government. From FY2008-
FY2012, on average, DOD accounted for 70% of government contract obligations but only 57%
of protests filed against the federal government. Protests against DOD are sustained at a lower
rate than the rest of government. From FY2008-FY2012, 2.6% of protests filed against DOD
were sustained by GAO, compared to 5.3% of protests filed against federal civilian agencies.
Protests against civilian agencies are also growing at a faster rate than protests against DOD.

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GAO Bid Protests: Trends and Analysis

Contents
Introduction ...................................................................................................................................... 1
Background ...................................................................................................................................... 1
GAO Bid Protests ............................................................................................................................ 2
Number of Bid Protest Cases Filed With GAO ......................................................................... 3
Number of Government Procurements Protested ...................................................................... 6
Number of Bid Protests Sustained by GAO .............................................................................. 7
Changing Trends in GAO Protests ................................................................................................... 8
Why Companies File Bid Protests ........................................................................................... 11
Common Grounds for GAO Sustaining Bid Protests .............................................................. 12
Are Bid Protests Delaying Contracts? ........................................................................................... 13
Bid Protests Trigger an Automatic Stay................................................................................... 13
GAO and the 100 Day Time Limit .......................................................................................... 14
DOD Contracts and Bid Protests ................................................................................................... 15

Figures
Figure 1. Number of Bid Protest Cases Filed With GAO ................................................................ 4
Figure 2. Total Government Contract Obligations ........................................................................... 5
Figure 3. Effectiveness Rate of Protests .......................................................................................... 6
Figure 4. Number of Procurements Protested .................................................................................. 7
Figure 5. Number of Protests Sustained by GAO ............................................................................ 8
Figure 6. Percentage of Protests Sustained by GAO ....................................................................... 8
Figure 7. Comparison of Total Contract Obligations to Bid Protests Filed ..................................... 9
Figure 8. Comparison of Protests Filed to Rate of Protests Sustained .......................................... 10
Figure 9. Number of Bid Protest Cases Filed with GAO .............................................................. 11
Figure 10. Number of Bid Protests Against DOD ......................................................................... 16
Figure 11. DOD Contract Obligations ........................................................................................... 17
Figure 12. Percentage of Protests Against DOD Sustained by GAO ............................................. 17
Figure 13. DOD Share of All Federal Contract Spending and Bid Protests .................................. 18
Figure B-1. Expanded Jurisdiction Data ........................................................................................ 21

Tables
Table 1. Growth Rate of Number of Protest Filed Against DOD vs. Civilian Agencies ............... 18
Table A-1. Bid Protests Against DOD ........................................................................................... 19
Table B-1. Comparison of Protests Closed Against DOD vs. Civilian Agencies .......................... 22

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Appendixes
Appendix A. Bid Protests Filed Against DOD............................................................................... 19
Appendix B. Data on Expanded Jurisdiction ................................................................................. 21

Contacts
Author Contact Information........................................................................................................... 23

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GAO Bid Protests: Trends and Analysis

Introduction
Bid protests of federal government contracts filed with the Government Accountability Office
(GAO) have received congressional scrutiny due to high-profile protests of awards, including a
$10 billion U.S. military contract for the distribution of food products in Afghanistan (protested
by Supreme Foodservice AG), a contract to provide light air support planes to the Afghan military
(protested by Beechcraft Corp.), and the Air Force’s $7 billion NetCents 2 technology award
(protested by 19 different companies).1 The increasing number of protests, and the impact protests
can have in delaying contract award or performance, have raised concerns regarding the impact of
protests on agency operations, especially in the Department of Defense (DOD).2
This report is one of two providing Congress with background on the GAO bid-protest process. It
analyzes (1) trends in bid protests filed with GAO, (2) the impact bid protests have in delaying
contracts, (3) why companies protest, (4) the most common grounds for GAO to sustain a protest,
and (5) trends in bid protests filed against DOD. Its companion report, CRS Report R40228, GAO
Bid Protests: An Overview of Time Frames and Procedures
, provides an overview of the GAO
bid protest process, including (1) what issues can be protested; (2) who can file or be a party to a
protest; (3) the procedures for bringing and resolving protests; (4) the timeframes involved in
protests; (5) the automatic stay of contract award or performance triggered by a protest, as well as
the basis for agency overrides of automatic stays and judicial review of agency override
determinations; (6) the basis and effects of GAO decisions; and (7) requests for reconsideration
and “appeal” of decisions to the Court of Federal Claims.
Background
The Federal Acquisition Regulation (FAR), first issued in 1984, regulates how the federal
government acquires goods and services by implementing statutes and codifying uniform policies
and procedures for the executive branch.3 The intent of the FAR is to help guide the federal
acquisition system to “deliver on a timely basis the best value product or service to the
[government], while maintaining the public’s trust and fulfilling public policy objectives.”4

1 Bid protests are formal, written objections to an agency’s solicitation for bids or offers; cancelation of a solicitation;
or award or proposed award of a contract. See 31 U.S.C. § 3551(1)(A)-(D). For the Supreme Foodservice protest see
GAO bid protest file number B-405400.6 and B-405400.7; see also, Danielle Ivory, “Supreme Foodservice Wins
Protest of $10 Billion U.S. Award,” Bloomberg Business Week, October 25, 2012. For Beechcraft Corp. protest see
GAO bid protest file number B-406170.4; see also, Lance Duroni, “Beechcraft Can't Halt $428M Afghan Contract for
Bid Protest,” Law 360, April 22, 2013. For the protest of the NetCents 2 procurement, see GAO protest bid file number
B-405389; see also, Nick Wakeman, “Air Force makes NetCents 2 awards, now what,” April 20, 2013. Number of
protests for the NetCents 2 procurement based on data provided by the Air Force.
2 In one case, the 110th Congress held hearings on a protested procurement and considered legislation that would have
precluded government agencies from making a contested award. See, Air Force Aerial Refueling Tanker Replacement:
Hearing before the House Committee on Armed Services, July 10, 2008; KC-X Tanker Recompete Act, H.R. 6426,
110th Congress, at § 2(a).
3 The FAR is issued and maintained jointly by the Secretary of Defense, Administrator of General Services, and the
Administrator, National Aeronautics and Space Administration. The official FAR appears in the Code of Federal
Regulations at 48 CFR Chapter 1. For more information, see http://acquisition.gov/far/index.html.
4 FAR 1.102.
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One of the guiding principles of the FAR, as set forth in the Competition in Contracting Act (P.L.
98-369), is to promote competition for government contracts.5
In an effort to protect the integrity of the procurement system, the FAR and federal law provide
mechanisms for contractors to object to (protest) contract awards. Generally, any interested party
who believes that a contract has been awarded unlawfully can seek relief and contest the award
by filing a bid protest.6 GAO has been a forum for resolving bid protest disputes for more than 85
years and is the only administrative institution with the authority to hear protests across the
federal government; the Court of Federal Claims (COFC) is the only judicial forum for hearing
such protests.7 Companies can also file a protest with the agency awarding the contract, and under
certain circumstances, with specialized entities, such as the Small Business Administration or the
Bureau of Indian Affairs.8 GAO, however, remains the primary location for resolving government
contract bid protests.9
GAO Bid Protests
GAO may generally hear protests alleging illegalities or improprieties in solicitations,
cancellations of solicitations, awards, or proposed awards of contracts. The procedures for
bringing and conducting GAO protests are designed to ensure “the inexpensive and expeditious
resolution of [bid] protests” to “the maximum extent practicable.”10 Protesters need not file
formal briefs or technical pleadings,11 can represent themselves,12 and can have protests decided
without hearings.13 All protests are required to be resolved within 100 calendar days of being
filed.14 The filing of a GAO protest often results in an automatic stay of contract award or
performance that can interrupt agencies’ procurements for as long as the protest is pending.15

5 Ibid.
6 A protest is a written objection to a procurement by an interested party. See FAR 33.101. An interested party is “an
actual or prospective offeror whose direct economic interest would be affected by the award of a contract or by the
failure to award a contract.” See FAR 33.101.
7 Historically, a protest could be filed in a number of forums, including the General Services Board of Contract Appeals
and the U.S. district courts. By 2001, Congress had removed bid protest jurisdiction from the General Services Board
of Contract Appeals and the U.S. district courts. See Clinger-Cohen Act of 1996, P.L. 104-106, 110 Stat. 679 (1996)
and Administrative Dispute Resolution Act of 1996, P.L. 104-320, 110 Stat. 3870 (1996). See also W. Noel Keyes,
Government Contracts Under the Federal Acquisition Regulation, 3rd ed. (West Publishing, 2003), p. 734. See 31
U.S.C. § 3556 for the authority of the awarding agency, GAO, and COFC to hear bid protests.
8 See FAR Subpart 19.3.
9 See Daniel I. Gordon, “Bid Protests: The Costs Are Real, but the Benefits Outweigh Them,” The Public Contract Law
Journal
, Spring 2013, p. 17. GAO was established in 1921 as an independent auditor of government agencies and
activities by the Budget and Accounting Act of 1921 (42 Stat. 23). Today, GAO provides a variety of services to
Congress that extend beyond its original functions and duties, including oversight, investigation, review, and evaluation
of executive programs, operations, and activities. For more information on the GAO, see http://www.gao.gov.
10 31 U.S.C. § 3554(a)(1).
11 4 C.F.R. § 21.1(f).
12 GAO, Office of General Counsel, Bid Protests at GAO: A Descriptive Guide, 8th ed. (2006), “Background,” 1,
available at http://www.gao.gov/special.pubs/og96024.htm.
13 4 C.F.R. § 21.7(a).
14 31 U.S.C. § 3554(a)(1). The GAO must also resolve timely supplemental or amended protests within this timeframe,
if possible. 4 C.F.R. § 21.9(c).
15 31 U.S.C. § 3553(c)-(d). However, in certain circumstances, a timely protest will not result in an automatic stay. For
(continued...)
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GAO may dismiss, deny, or sustain a protest. A dismissal or denial allows the agency to proceed
with the challenged procurement. A sustained decision, in contrast, generally disrupts the
procurement because GAO accompanies sustainments with recommendations to the agency about
the challenged procurement—such as re-competing the contract or amending the existing
solicitation.16 GAO’s recommendations are not legally binding upon the agency, but the agency
must notify GAO if it does not fully implement GAO’s recommendations.17 GAO is, in turn,
required to inform Congress of any instances in which agencies do not fully implement GAO
recommendations.18 Agencies almost always comply with GAO recommendations on protested
procurements.19 Protesters who are disappointed with GAO’s decision can seek reconsideration
from GAO.20 They can also effectively appeal GAO’s decision by filing a new bid protest with
the Court of Federal Claims.21
Number of Bid Protest Cases Filed With GAO
In FY2012, GAO received 2,475 cases, an increase of 5% compared to FY2011, and an increase
of more than 115% since FY2001.22 When looking at the increase in the number of cases since
2001, it should be noted that in FY2007 Congress expanded GAO’s jurisdiction to include
protests of some task/delivery orders,23 A-76 contracts,24 and Transportation Security
Administration contracts.25 In FY2012, more than 200 bid protests were filed as a result of GAO’s
expanded jurisdiction. Excluding protests from expanded jurisdiction, the number of cases filed in
FY2012 (2,266) increased by 3% compared to FY2011 and 100% since FY2001 (see Figure 1).

(...continued)
more information see CRS Report R40228, GAO Bid Protests: An Overview of Time Frames and Procedures, by Kate
M. Manuel and Moshe Schwartz.
16 31 U.S.C. § 3554(b)(1)(A)-(G). GAO can also sustain protests and issue opinions to the agency in pre-award protests
(which often involve challenges to the terms of the solicitation). In such protests, the statutory stay does not stop
agency activities leading to award of the contract, but only the award itself.
17 31 U.S.C. § 3554(b)(3).
18 Ibid.
19 Based on CRS analysis of GAO annual reports to Congress for FY2001-FY2012.
20 4 C.F.R. § 21.14(a). For more information regarding the GAO bid protest process, please see CRS Report R40228,
GAO Bid Protests: An Overview of Time Frames and Procedures, by Kate M. Manuel and Moshe Schwartz.
21 31 U.S.C. § 3556.
22 CRS analysis of data contained in GAO’s annual reports to Congress.
23 A task or delivery order contract is a contract that does not procure or specify a specific quantity of services or goods
(other than a minimum or maximum quantity) and that provides for the issuance of orders for the performance of tasks
or deliveries during the period of the contract. See FAR 16.501-1. GAO hears protests of task/delivery orders that
exceed $10 million in value.
24 An A-76 contract refers to OMB Circular A-76, which outlines the process for managing public-private competitions
to perform functions for the federal government. For more information on GAO jurisdiction for A-76 contracts, see
GAO Bid Protests: An Overview of Time Frames and Procedures. For more on A-76 contracts, see CRS Report
R40854, Circular A-76 and the Moratorium on DOD Competitions: Background and Issues for Congress, by Valerie
Bailey Grasso.
25 The expanded jurisdiction for all three categories took effect during FY2008 (see Government Accountability Office,
“Government Accountability Office, Administrative Practice and Procedure, Bid Protest Regulations, Government
Contracts,” 73 Federal Register 32427, June 9, 2008). For more information on GAO’s expanded jurisdiction, see GAO
Bid Protests: An Overview of Its Timeframes and Procedures
.
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Figure 1. Number of Bid Protest Cases Filed With GAO
FY2001-FY2012

Source: CRS analysis of Comptrol er General annual reports to Congress for FY2001-FY2012. See
http://www.gao.gov/decisions/bidproan.htm for copies of the reports.
Notes: Data excludes bid protests filed since FY2008 as a result of GAO’s expanded jurisdiction over task
orders, A-76 protests, and Transportation Security Administration protests.
In statistical terms, the R2 value for the linear trend line is 0.823. R2 is a statistical term used to describe the
goodness of the fit between the trend line and the data points. R2 is a descriptive measure between 0 and 1. The
closer the R2 value is to one, the better the fit of the trend line to the data.
Just as the number of protests filed with GAO has increased, the number—and value—of contract
actions by the federal government has also increased (see Figure 2). According to the Federal
Procurement Data System (FPDS), between FY2001 and FY2012, after adjusting for inflation,
the value of total federal government contract obligations increased more than 80% compared to
an increase of almost 100% in the number of protests filed over the same period. Over the 12-year
period, the number of protests increased at a faster rate than government contract obligations.
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Figure 2. Total Government Contract Obligations
FY2012 Dol ars

Source: CRS analysis of data from Federal Procurement Data System-Next Generation.
Most protests are dismissed, withdrawn by the protester, or settled prior to GAO issuing an
opinion. Since FY2001, on average, GAO issued an opinion on 22% of all cases filed. When
GAO issued an opinion, on average, the protest was sustained 21% of the time. As a result, from
FY2001 to FY2012, approximately 4% of all protests filed were sustained (see Figure 5).
However, this data may overstate the number of procurements with sustained protests, as a single
procurement can have multiple protests sustained (see discussion “Number of Government
Procurements Protested”).26
In addition to GAO sustaining a protest, protesters can also obtain relief when a contracting
agency voluntarily acts to correct the allegation charged in the protest. For example, if a protester
claims that a request for proposal did not accurately describe the contract requirements, the
agency could voluntarily amend the request for proposal. Many analysts consider the increasing
willingness of agencies to voluntarily take corrective action as one of the most significant trends
in bid protests. In many cases, voluntary action by an agency could indicate that the agency
believes that a given protest has merit. However, there may be instances when an agency takes
corrective action even when it believes that the procurement was done properly (e.g., meeting
with the protesting party to clarify why the protester lost the competition).
The percentage of protesters obtaining relief—either through a protest being sustained or through
voluntary action taken by an agency—is called the effectiveness rate. Thus, the effectiveness rate
may be a rough measure of the number of protests that have actual or potential merit. From
FY2001 to FY2012, the effectiveness rate of GAO protests grew from 33% to 42% (see Figure
3
). Over the last five fiscal years the effectiveness rate has remained relatively stable, averaging
43%. Some have attributed the increase in the effectiveness rate to the predictable nature of GAO
opinions. If GAO decisions are sufficiently predictable to allow agencies to determine how GAO

26 For a more extensive discussion, see Daniel I. Gordon, “Bid Protests: The Costs Are Real, but the Benefits Outweigh
Them,” The Public Contract Law Journal, Spring 2013.
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will rule in a given situation, agencies may be more likely to voluntarily take corrective action
than wait for GAO to sustain a protest.
Figure 3. Effectiveness Rate of Protests
FY2001-FY2012

Source: CRS analysis of GAO annual reports to Congress for FY2001–FY2012.
Note: Based on a protester obtaining some form of relief from the agency, as reported to GAO.
Number of Government Procurements Protested
The bid protest data reported to Congress, while an accurate reflection of the work load assumed
by GAO in its function as a forum for bid protests, over-represents the number of procurements
protested. In those instances where more than one protest is filed in connection to a single
procurement, each protest is counted separately and assigned a distinct tracking number. The data
GAO provides to Congress also includes cost claims and requests for reconsiderations.27 Between
FY2001-FY2012, GAO received 950 requests for reconsideration, which are essentially petitions
to reconsider a ruling that it just issued on a bid protest. According to GAO, in only one instance
did it grant a request for reconsideration, essentially reversing its prior ruling.28

27 Cost claims are GAO recommendations for reimbursement of costs incurred by protesters. See 4 C.F.R. § 21.8(f)(1).
A request for reconsideration is when a party involved in the protest requests reconsideration of a bid protest decision.
See 4 C.F.R. § 21.14 for more information see CRS Report R40228, GAO Bid Protests: An Overview of Time Frames
and Procedures
, by Kate M. Manuel and Moshe Schwartz.
28 Based on data provided by GAO.
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Adjusting for cost claims, requests for reconsideration, multiple filings on a single procurement,
and expanded jurisdiction, in FY2012, GAO’s workload consisted of 2,266 filings, but only 1,952
procurements were protested. From FY2001-2012, the number of procurements protested
increased from some 700 to over 1,950, an increase of over 180% (see Figure 4).29
Figure 4. Number of Procurements Protested
FY2001-FY2012

Source: GAO data provided to CRS.
According to the Federal Procurement Data System, the number—and value—of procurements
conducted by the federal government also increased. Between FY2001-FY2012, adjusted for
inflation, the value of total federal government procurement obligations increased by 80%
compared to an increase of 180% in the number of procurements protested over the same
period.30
Number of Bid Protests Sustained by GAO
In recent years, the number of bid protests sustained by GAO has trended higher (see Figure 5).31
However, the percentage of overall protests sustained by GAO has trended lower (see Figure 6).
This data seems to indicate that the increase in the number of protests sustained is a reflection of
the increased number of protests filed, not an increase in the rate of government error.

29 Based on data provided by GAO.
30 Donna Borak, “GAO Says Federal Contract Protests by U.S. Businesses Hit 10-Year High in 2008,” Associated
Press Newswires
, December 30, 2008. To compare obligations to procurements protested, obligation data have been
adjusted to exclude task and delivery orders, blanket purchase agreement calls, basic ordering agreements, and contract
modifications. Deflators for converting into constant dollars derived from the National Income and Product Accounts
Table, Table 1.1.4. Price Indexes for Gross Domestic Product.
31 Date on protests sustained includes protests emanating from GAO expanded jurisdiction. CRS does not have a
breakdown of protests sustained in the expanded jurisdiction cases and therefore cannot adjust the data.
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Figure 5. Number of Protests Sustained by GAO
FY2001-FY2012

Source: CRS analysis of Comptrol er General annual reports to Congress for FY2001-FY2012.
Note: Data does not adjust for multiple filings in single procurement.
Figure 6. Percentage of Protests Sustained by GAO
FY2001-FY2012

Source: GAO data provided to CRS.
Note: Data does not adjust for multiple filings in single procurement.
Changing Trends in GAO Protests
A closer look at the data indicates a significant shift in bid protest trends over the last five years
(see Figure 7). From FY2001-FY2008, total government procurement spending, adjusted for
inflation, increased at a faster rate (over 100%) than the number of protests filed (35%). This
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trend reversed itself in FY2008: from FY2008-FY2012 total government spending, adjusted for
inflation, decreased more than 10% while total protests increased 45%. This data indicates that,
when compared to the rate of government spending, bid protests decreased from FY2001-
FY2008, and increased from FY2008-FY2012.32
Figure 7. Comparison of Total Contract Obligations to Bid Protests Filed
(FY2012 dol ars)

Source: CRS analysis of data provided by GAO.
The rate at which GAO sustains protests has also seen a significant shift in recent years. From
FY2001-FY2008 GAO sustained protests in 22% of their opinions; from FY2008-FY2012 that
number dropped to 18% (see Figure 8). This data seems to indicate that while companies are
more likely to file a bid protest, they are somewhat less likely to win a bid protest.
Even when GAO sustains a protest, the protesting company is not guaranteed to win the contract
in question. According to one recent analysis, out of some 1,500 procurements protested in
FY2010, GAO sustained a protest in only 45 procurements; out of those 45 procurements, in only
8 instances did the protesting party go on to win the contract.33 In other words, of the original
1,500 procurements protested, GAO sustained a protest and the protesting party went on to win
the contract only 0.5% of the time. However, this figure does not account for cases where the
agency took corrective action prior to GAO issuing an opinion. Taking into account agency
corrective action, one observer estimated that a “protester has a 12% chance of ultimately
winning a contract award as a result of its protest.”34

32 An analysis of the number of procurements protested reveals a virtually identical trend. From FY2001-2008, the
number of procurements protested increased 47% compared to a 130% increase in government contract obligations
(adjusted for inflation). From FY2008-2012, the number of procurements protested increased 90% compared to a
decrease of 22% in government contract obligations (adjusted for inflation).
33 At the time the analysis was published, a final outcome had not been determined in 7 cases. In the remaining 30 cases
the contract was awarded to a company other than the protesting party. Daniel I. Gordon, “Bid Protests: The Costs are
Real, But the Benefits Outweigh Them,” The Public Contract Law Journal, Spring 2013, p. 22-24.
34 Thomas Papson, Jason Carey, and Luke Meier, “The Odds of Winning a Contract After Protesting Are Higher Than
(continued...)
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Figure 8. Comparison of Protests Filed to Rate of Protests Sustained

Source: CRS analysis of data provided by GAO.
Even though protests have increased significantly over the last five years, the number of protests
filed in FY2012 was not very high by historical standards (see Figure 10). From FY1986-
FY2000, GAO received over 2,200 protests annually. 35

(...continued)
You Think,” The Government Contractor, vol. 55, no. 16 (April 24, 2013).
35 See Richard D. Lieberman, “Bid Protests at the Court of Federal Claims and the General Accounting Office,”
Federal Contracts Report, March 31, 1997, and GAO annual report to Congress.
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Figure 9. Number of Bid Protest Cases Filed with GAO
FY1986-FY2012

Source: CRS analysis of Comptrol er General annual reports to Congress for FY1986-FY2012.
Notes: FY2008-FY2012 data excludes bid protests filed as a result of GAO’s expanded jurisdiction over task and
delivery orders, A-76 protests, and Transportation Security Administration protests. CRS has not ascertained
what precipitated the decrease in bid protests from FY1992-2000.
Why Companies File Bid Protests
Media reports discussing the increase in bid protests over the last few years have fueled the
debate over why the number of protests is rising.36 Generally, companies file a bid protest based
on the belief that the government has made a material error in the bidding process. According to
analysts, the most common government errors cited in protests are poorly written or vague
contract requirements, failure to follow the process or criteria laid out in the request for proposals,
and failure to adequately document their findings.37 Some analysts have attributed these errors to
an inexperienced or insufficiently trained acquisition workforce.38
In contracts that are complex, have elaborate request for proposals, or have poorly written
requirements, contractors may not always understand the basis upon which awards were made.

36 See Robert Brodsky, “Bid Protests Reach 10-Year High,” Nextgov.com, January 5, 2009, http://www.nextgov.com;
Nick Wakeman, “Bid Protests Keep Rising,” Washington Technology, November 18, 2011; Jack Moore, “Bid Protests
Increase in 2012, Nearing 15-Year High,” FederalNewsRadio.com, December 17, 2012; Jim McElhatton, “As Budgets
Tighten, Contract Attorneys Expect Uptick in Bid Protests,” federaltimes.com, April 3, 2013.
37 Steve Roemerman, “Why DoD Contractors File Protests, Why Some Don't, and What the Government Can Do,”
Defense AT&L, November/December 2010, pp. 10-11; Steven M. Maser, Vladimir Subbotin, and Fred Thompson,
“The Bid-Protest Mechanism: Effectiveness and Fairness in Defense Acquisitions?” (Atkinson Graduate School of
Management), pp. 1, 9.
38 Steve Roemerman, “Why DoD Contractors File Protests, Why Some Don't, and What the Government Can Do,”
Defense AT&L, November/December 2010, pp. 9-12; Steven M. Maser, Vladimir Subbotin, and Fred Thompson, “The
Bid-Protest Mechanism: Effectiveness and Fairness in Defense Acquisitions?” (Atkinson Graduate School of
Management), pp. 9-10; Discussions at the “What’s the Value of a GAO Protest?” conference, George Washington
University Law School, Washington, DC, June 4, 2013.
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GAO Bid Protests: Trends and Analysis

Not understanding the award criteria can lead contractors to think they were treated unfairly or
that an error was made in the award process.39 A number of analysts and government acquisition
officials have attributed confusion on behalf of contractors to poor communication between
government and industry, including agencies not adequately debriefing losing bidders after a
contract award. When agencies do not adequately debrief losing bidders, the losing companies
may file a protest to determine why they lost the competition.
Many analysts have argued that the increase in the value of individual contracts, longer periods of
contract performance, policy trends to insource more work, and decreased defense spending make
contractors more desperate to win each contract—and more willing to protest an award.
A number of analysts have suggested that companies are increasingly likely to file protests when
it is in their business interest to do so, even when they do not believe there was an error in the
procurement process. For example, an incumbent contractor might file a protest with GAO to
trigger an automatic stay of award.40 If a stay of award is granted, the incumbent may get a
temporary bridge contract, thereby extending the time it has to work on the contract and generate
revenue. Other reasons companies may protest, include hoping to influence the outcome of future
competitions (akin to “yelling at the referee”); proving to shareholders and executive managers
that they are doing everything they can to win contracts; or even seeking to hurt the competition
by delaying a contract award.41
The specter of a company filing a bid protest may influence agency behavior. Fear of protests
may motivate agency officials to conduct more rigorous market research, hold a competition
instead of awarding a sole-source contract, or conduct more thorough and fair competition. Fear
of a protest could also prompt officials to try to structure a contract in a manner they deem less
likely to be protested, such as using lowest price technically acceptable as an award criteria
instead of a best-value competition.
Common Grounds for GAO Sustaining Bid Protests
Knowing what aspect of the contracting process most often results in bid protests being sustained
could help agencies focus on improving those aspects of contracting. Such improvements could
help reduce the number of protests being filed and sustained. In the FY2013 National Defense
Authorization Act (P.L. 112-239), Congress required GAO to include in its annual report the most
common ground for sustaining protests.42

39 Steven M. Maser, Vladimir Subbotin, and Fred Thompson, “The Bid-Protest Mechanism: Effectiveness and Fairness
in Defense Acquisitions?” (Atkinson Graduate School of Management), pp. 9-10.
40 Daniel I. Gordon, “Bid Protests: The Costs Are Real, but the Benefits Outweigh Them,” The Public Contract Law
Journal
, Spring 2013, p. 34; Defense Industry Daily Staff, “I Beg to Differ: The U.S. GAO’s Bid Protest Process,”
Defense Industry Daily, April 22, 2010.
41 Steve Roemerman, “Why DoD Contractors File Protests, Why Some Don't, and What the Government Can Do,”
Defense AT&L, November/December 2010, pp. 9-12; Defense Industry Daily Staff, “I Beg to Differ: The U.S. GAO’s
Bid Protest Process,” Defense Industry Daily, April 22, 2010.
42 Section 867.
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GAO Bid Protests: Trends and Analysis

GAO officials stated that they had not previously tracked the most common reasons protests are
sustained.43 Officials believe, however, that in recent years, the most common grounds for
sustaining protests were
• agencies not maintaining adequate documentation,
• errors in how agency officials conduct discussions with offerors,
• flaws in cost evaluations, and
• agencies not adhering to established evaluation criteria.
Are Bid Protests Delaying Contracts?
Many analysts and acquisition professionals are concerned that bid protests can delay contract
awards for weeks and even months, costing millions of dollars and preventing government from
getting the goods and services it needs when it needs them. In an August 2007 memorandum,
John Young, then Acting Under Secretary of Defense for Acquisition, Technology and Logistics,
wrote that DOD
has experienced a significant increase in the number of competitive source selection
decisions which are protested by industry. Protests are extremely detrimental to the
warfighter and the taxpayer. These protest actions consume vast amounts of the time of
acquisition, legal, and requirements team members; delay program initiation and the delivery
of capability.44
Identifying which protests tend to experience the longest delays—and working to minimize such
delays—could help the government save hundreds of millions of dollars and receive the goods
and services it needs when it needs them.
Bid Protests Trigger an Automatic Stay
Under the Competition in Contracting Act (CICA), the mere filing of a bid protest with GAO may
result in an automatic stay, or postponement, of contract award or performance.45 When a protest
is filed prior to award, an agency may not award a contract until the protest has been resolved.46
Similarly, when a protest is filed after award, the agency must withhold authorization of
performance under the contract while the protest is pending.47 If performance has begun, the
agency must “immediately direct the contractor to cease performance under the contract” until the
protest is resolved.48

43 Based on conversations with GAO officials, December 17, 2008 and April 29, 2010.
44 Memorandum for Secretaries of the Military Departments, Chairman of the Joint Chiefs of Staff, Under Secretaries
of Defense, August 24, 2007, available at http://acquisition.navy.mil/rda/content/download/5263/23838/file/
enhancing%20competition%201-18-2008.pdf.
45 CICA was enacted as part of the Deficit Reduction Act of 1984, P.L. 98-369, §§ 2701-2753, 98 Stat. 1175 (1984)
(codified, in part, at 31 U.S.C. § 3556).
46 31 U.S.C. § 3553(c)(1).
47 31 U.S.C. § 3553(d)(1).
48 31 U.S.C. 3553(c) and (d).
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GAO Bid Protests: Trends and Analysis

Congress mandated the stay of award in 1984 to ensure that in cases where GAO found that
procurement law or regulation was violated, there would be sufficient opportunity for agencies to
remedy the violation. As the report of the Committee on Government Operations stated in 1984,
Congress believed
a cardinal failing of this bid protest process [is that] GAO has no power to stop a contract
award or contract performance while a protesting is pending. As a result, agencies usually
proceed with their contracts knowing that they will preclude any possibility of relief simply
by delaying the bid protest process.49
If an agency believes that circumstances are such that further delay in contract execution will
have severe consequences, CICA provides grounds for agency overrides of automatic bid-protest
stays.50 According to CICA, agencies may override stays when there are “urgent and compelling
circumstances” that impact the interests of the United States and when performing the contract is
in “the best interests of the United States.”51 According to data provided by GAO, in FY2012,
agencies sought to override CICA stays in 33 procurements (2% of procurement protests).52
GAO and the 100 Day Time Limit
GAO is required to complete its involvement in a protest within 100 calendar days of the protest
being filed.53 According to GAO officials, GAO has never failed to complete its work within the
required time period. In many cases the protest is resolved much earlier, most often as a result of
the protesting party withdrawing the case or GAO dismissing the protest.54 GAO can dismiss
protests that do not meet filing guidelines and can issue a summary decision on a protest at any
time.55 Cases that are withdrawn or dismissed are generally resolved within approximately 30
days.56

49 U.S. Congress, House Committee on Government Operations, Competition in Contracting Act of 1984, 98th Cong.,
2nd sess., October 10, 1984, H.Rept. 98-1157 (Washington: GPO, 1984), p. 24. See also, p. 61, Memorandum from the
Office of the Clerk, House of Representatives, which states
In essence, based on years of investigations of improper procurement awards, Congress decided
that it was better to let bid protesters to stay alleged illegal awards before they occurred so that the
matter could be looked into immediately, than to leave it to agencies to give out awards and then,
maybe, rectify the legalities later.
See also, U.S. Congress, The Committee of Conference, Deficit Reduction Act of 1984, Conference Report to
Accompany H.R. 4170, 98th Cong., June 23, 1984, H,Rept. 98-861 (Washington: GPO, 1984), p. 1436.
50 31 U.S.C. § 3553(c)(1) & (d)(3). See Ameron, Inc. v. U.S. Army Corp. of Eng’rs, 607 F. Supp. 962, 974 (D.N.J.
1985) (describing the override as a “built-in safety value to prevent undue harm” to the government).
51 See GAO Bid-Protests: An Overview of Its Timeframes and Procedures.
52 Data provided by GAO. For more information on overrides see GAO Bid-Protests: An Overview of Its Timeframes
and Procedures
.
53 31 U.S.C. § 3554(a)(1). GAO must also resolve timely supplemental or amended protests within this timeframe, if
possible. 4 C.F.R. § 21.9(c).
54 Based on conversation with GAO officials, December 17, 2008. According to officials, even in those cases where a
supplemental protest is filed, the supplemental protest is generally resolved within 100 days of the filing of the original
bid protest.
55 4 C.F.R. § 21.10(e).
56 Based on data provided by GAO.
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GAO Bid Protests: Trends and Analysis

In FY2012, approximately 58% of all GAO protests were dismissed, withdrawn by the protester
with no further action, or resolved in the agency’s favor. Generally, for reasons discussed above,
these protests delayed a contract for fewer than 100 days.
In FY2012, approximately 37% of all GAO bid protests were resolved based on the protestor
obtaining some form of relief from the agency subsequent to filing a protest—but prior to GAO
issuing an opinion.57 For example, an agency may recognize an error in the contracting process
and choose to re-compete the contract. In these cases, protests are usually withdrawn as a result of
the settlement between the parties or dismissed by GAO because the basis for the protest has been
resolved. While the withdrawal or dismissal of these protests generally occurs well within 100
days, it could take more than 100 days to provide relief. For example, if an agency agrees that an
error occurred and opts to re-compete a contract, conducting a new competition could take more
than 100 days. However, in cases where procurement law was violated, agency action to correct
the violation may exceed 100 days. The extensive delay may be appropriate to ensure a fair and
lawful competition. CRS was unable to obtain data on the extent to which such bid protests delay
the award or execution of a contract.58
DOD Contracts and Bid Protests
The number of bid protest cases against DOD has increased from approximately 603 in FY2001
to 1,207 in FY2012, an increase of 100% (see Figure 10).59 Most of the protests against DOD
were dismissed, withdrawn by the protester, or resolved prior to GAO issuing an opinion. In
FY2012, GAO issued an opinion on 20% of these bid protests.60 Fewer still are sustained by
GAO. From FY2001 to FY2012, on average only 4% of protests against DOD were sustained by
GAO (see Table A-1 for number of protests filed and sustained, by service).

57 In the remaining 5% of cases, GAO sustained the protest, often leading to agency action that took more than 100
days to implement GAO’s recommendations.
58 According to GAO, in FY2012, protests resolved prior to the agency filing a report with GAO (in response to the
protest allegation) concluded, on average, in 22 days. Protests where GAO issued an opinion took the longest to resolve
(average 92 days).
59 Data based on protests closed in a fiscal year and not on protests filed in a fiscal year. Data also includes protests
from expanded jurisdiction. Some protests can be filed in 1 year and closed in the following year; this data does not
reconcile with information contained in GAO’s annual report to Congress because the annual report to Congress reports
on protests filed in a given year and not on the number of protests closed.
60 Data provided by GAO.
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GAO Bid Protests: Trends and Analysis

Figure 10. Number of Bid Protests Against DOD
FY2001-FY2012

Source: CRS analysis of GAO data.
Note: Based on number of protests closed.
Just as the number of protests filed against DOD has increased, the number—and value—of
contract actions signed by DOD has also increased (see Figure 11).61 According to the Federal
Procurement Data System, between FY2001 and FY2012, after adjusting for inflation, the value
of total DOD contract obligations increased 95% compared to an increase of 100% in the number
of protests filed in the same period.

61 Deflators for converting into constant dollars derived from Office of the Under Secretary of Defense (Comptroller),
Department of Defense, National Defense Budget Estimates, Department of Defense Deflators—TOA, ‘Total Non-
Pay.’ CRS was unable to ascertain whether the average dollar value of a contract increased, decreased, or remained
constant. Such information would help evaluate more precisely the correlation between the increase in bid protests and
the increase in contract spending.
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GAO Bid Protests: Trends and Analysis

Figure 11. DOD Contract Obligations
(FY2012 Dol ars)

Source: CRS analysis of data from FPDS.
In recent years, the percentage of protests sustained against DOD has decreased (see Figure 12).
From FY2001-FY2008, GAO sustained on average more than 5% of all protests filed; from
FY2008-FY2012, GAO sustained approximately 2.6% of all protests filed.
Figure 12. Percentage of Protests Against DOD Sustained by GAO
FY2001-2012

Source: Data provided by GAO.
DOD procurements are less likely to be protested than those of the rest of government. From
FY2008 to FY2012, on average, DOD accounted for 70% of total government contract
obligations but only 57% of total protests against the federal government (see Figure 13).
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GAO Bid Protests: Trends and Analysis

Figure 13. DOD Share of All Federal Contract Spending and Bid Protests
FY2001-FY2012

Source: Spending data obtained from FPDS. Protest data obtained from GAO.
Note: Data from FY2001-FY2012 based on number of protests closed.
Protests against DOD are also sustained at a lower rate than the rest of government. From
FY2008-FY2012, 2.6% of all protests against DOD were sustained by GAO, compared to 5.3%
of all protests against federal civilian agencies. Protests against civilian agencies are also growing
at a faster rate than protests against DOD. From FY2001-FY2012, the number of DOD
procurements that were protested increased 149% (from 421 to 1,057) compared to an increase of
221% (from 279-895) for civilian agencies (see Table 1).
Table 1. Growth Rate of Number of Protest Filed Against DOD vs. Civilian Agencies

DOD
Civilian
Agencies
FY2001-2012 149%
221%
FY2008-2012 71%
115%
Source: Data provided by GAO.


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GAO Bid Protests: Trends and Analysis

Appendix A. Bid Protests Filed Against DOD
Table A-1. Bid Protests Against DOD
Based on Cases Closed
Total
Protests
Percent
Total
Protests
Percent

Cases
Sustained
sustained
Cases
Sustained
sustained

Air Force
Army
FY2001 145
5
3%
224
12
5%
FY2002 136
4
3%
254
11
4%
FY2003 154
2
1%
229
20
9%
FY2004 132
3
2%
324
18
6%
FY2005 127
13
10%
282
7
2%
FY2006
148 13 9% 334 12 4%
FY2007
136 16 12% 323 22 7%
FY2008
154
9
6%
396
9
2%
FY2009
189
3
2%
503
7
1%
FY2010 205
2
1%
566
23
4%
FY2011 180
1
1%
547
10
2%
FY2012 235
4
2%
530
17
3%
Average 163
6
4%
376
14
4%

Marines
Navy
FY2001 25
6
24%
116
7
6%
FY2002 16
-
0%
120
5
4%
FY2003 20
-
0%
148
1
1%
FY2004 14
3
21%
112
11
10%
FY2005 12
1
8%
135
5
4%
FY2006 32
1
3%
101
4
4%
FY2007 20
-
0%
129
8
6%
FY2008
22
2
9%
126
9
7%
FY2009
43
2
5%
149
3
2%
FY2010 30
-
0%
182
6
3%
FY2011 37
-
0%
179
3
2%
FY2012 34
-
0%
179
5
3%
Average 25
1
6%
140
6
4%

Defense Logistics Agency
DOD (Misc)
FY2001
80 3 4% 13 7 54%
FY2002 119
-
0%
35
2
6%
FY2003 107
1
1%
46
8
17%
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GAO Bid Protests: Trends and Analysis

Total
Protests
Percent
Total
Protests
Percent

Cases
Sustained
sustained
Cases
Sustained
sustained
FY2004 115
1
1%
34
-
0%
FY2005 121
-
0%
29
2
7%
FY2006
70 3 4% 54 5 9%
FY2007 97
-
0%
70
16
23%
FY2008
87
1
1%
53
-
0%
FY2009
127
3
2%
39
2
5%
FY2010 171
3
2%
72
6
8%
FY2011 174
3
2%
76
5
7%
FY2012 119
-
0%
92
4
4%
Average 116
2
1%
51
5
12%
Source: CRS analysis of data provided by GAO.
Notes: Data is based on closed and does not include requests for reconsideration; therefore data may not
reconcile with information contained in GAO’s annual report to Congress. GAO data may not be consistent
with data compiled by the military services based on differing tracking methodologies.
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GAO Bid Protests: Trends and Analysis

Appendix B. Data on Expanded Jurisdiction
Congress expanded GAO’s jurisdiction in FY2007 to include protests on some task and delivery
orders, A-76 contracts, and Transportation Security Administration contracts. The effective date
for GAO to hear protests of certain task and delivery orders was May 27, 2008. The effective date
for GAO to hear protests of A-76 contracts was January 28, 2008. The effective date for GAO to
hear protests of Transportation Security Administration actions was June 23, 2008. For more
information, see 73 Federal Register 32427, June 9, 2008, and CRS Report R40228, GAO Bid
Protests: An Overview of Time Frames and Procedures
, by Kate M. Manuel and Moshe Schwartz.

Figure B-1. Expanded Jurisdiction Data
FY08
FY08 Run
Expand
Start of
Run Rate
Rate
FY09
FY10
FY11
FY12
Actual
Jurisdiction
Inflator
Estimate
Actual
Actual
Actual
Actual
Task Orders
49
27-May-08
1.67
82
139
189
147
209
A-76
30
28-Jan-08
1.66
50
16
0
0
0
TSA
8
30-Jun-08
1.25
10
13
0
0
0
87
141
168
189
147
209

Source: GAO.
Notes: Run rate inflator for FY2008 calculated based on start date of jurisdiction.

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Table B-1. Comparison of Protests Closed Against DOD vs. Civilian Agencies

Civilian
DOD
Civilian + DOD

Percent
Percent
% Cases
% Sustain
Decisions
Decisions
Total
Sustained
Sustained
from
from
Total
Cases Sustained Total
Cases Sustained Total
Cases Sustained
Civilian
DOD
DOD
DOD
FY2001 404
26 603 40 1,007 66 6% 7%
60%
61%
FY2002 365
19 680 22 1,032 41 5% 3%
65%
54%
FY2003 435
18 704 32 1,139 50 4%
4.5%
62%
64%
FY2004 565
39 731 36 1,296 75 7% 5%
56%
48%
FY2005 517
43 706 28 1,223 71 8% 4%
58%
39%
FY2006 483
34 739 38 1,222 72 7% 5%
60%
53%
FY2007 483
27 775 62 1,258 89 6% 8%
62%
70%
FY2008 616
30 838 30 1,454 60 5% 4%
58%
50%
FY2009 716
37 1050 20 1,766 57 5% 2%
59%
35%
FY2010 841
42 1,226 40 2,067 82 5% 3%
59%
49%
FY2011 957
45 1,193 22 2,150 67 5% 2%
55%
33%
FY2012 1,151 78 1,207 30 2,358 108 7% 2.5%
51%
28%
Source: CRS Analysis of data provided by GAO.

CRS-22

GAO Bid Protests: Trends and Analysis

Notes: Data based on protests closed in a fiscal year and not on protests filed in a fiscal year.
Some protests can be filed in one year and closed in the following year; this data does not
reconcile with information contained in GAO’s annual report to Congress because the annual
report to Congress reports on protests filed in a given year and not on the number of protests
closed

Author Contact Information

Moshe Schwartz
Lucy P. Martinez
Specialist in Defense Acquisition
Research Associate
mschwartz@crs.loc.gov, 7-1463
lmartinez@crs.loc.gov, 7-2875
Kate M. Manuel

Legislative Attorney
kmanuel@crs.loc.gov, 7-4477


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