This page details all the codes repealed by Section 101 of the FoRGED Act and their impact on acquisition procedures.
For a detailed analyis of the repealed and their impacts, see the following document.
Repeal # in Act, Repealed Code, and Summary | Changes in Acquisition Procedures due to the Repeal |
---|---|
(1) Section 3067 of Title 10, U.S. Code Authorized the Secretary of Defense to designate up to 10 military departments or agencies to manage acquisition programs under alternative procedures to expedite procurement processes, bypassing standard regulations when justified. |
The repeal of Section 3067 eliminates specific authorities or requirements tied to acquisition processes, potentially simplifying procedures or shifting responsibilities previously outlined, requiring officers to consult updated DoD directives. |
(2) Section 3070 of Title 10, U.S. Code Required the Secretary of Defense to ensure acquisition programs included measurable performance goals and cost thresholds, with periodic reviews to assess compliance and adjust plans as necessary. |
The repeal of Section 3070 removes restrictions or guidelines on acquisition planning, allowing greater flexibility in structuring acquisition strategies per current DoD policy. |
(3) Section 3072 of Title 10, U.S. Code Mandated annual reports to Congress on the cost, schedule, and performance of major defense acquisition programs, including deviations from initial baselines and corrective actions taken. |
Repealing Section 3072 ends mandates for specific cost, schedule, or performance reporting, reducing administrative burdens and aligning procedures with broader acquisition reforms. |
(4) Chapter 205 of Title 10, U.S. Code Governed production-related acquisition policies, including Sections 3101-3105, which outlined requirements for manufacturing readiness, production rate planning, and oversight of industrial base capabilities for defense systems. |
The repeal of Chapter 205 eliminates centralized oversight or specific acquisition rules for certain programs, decentralizing authority and requiring officers to adapt to new delegated processes. |
(5) Section 8669b of Title 10, U.S. Code Prohibited the Navy from retiring specific aircraft carriers before a set date unless certain readiness and replacement conditions were met, ensuring fleet capacity during transitions. |
Repealing Section 8669b removes Navy-specific acquisition restrictions, potentially streamlining procurement of aviation or maritime systems under revised guidelines. |
(6) Section 8669c of Title 10, U.S. Code Required the Secretary of the Navy to certify operational readiness and lifecycle cost assessments for new naval vessels before acquisition contracts could be finalized. |
The repeal of Section 8669c ends requirements for specific certifications or approvals in Navy acquisitions, simplifying procedural steps for affected programs. |
(7) Section 8688 of Title 10, U.S. Code Restricted the Navy from procuring certain foreign-made components for ships unless domestic equivalents were unavailable or cost-prohibitive, promoting U.S. industrial base support. |
Repealing Section 8688 lifts constraints on naval vessel-related acquisitions, allowing more flexible contracting or sourcing procedures. |
(8) Section 8696 of Title 10, U.S. Code Mandated quarterly reports to Congress on Navy acquisition programs, detailing progress, risks, and mitigation strategies for major shipbuilding and aviation projects. |
The repeal of Section 8696 removes oversight or reporting mandates for certain Navy acquisitions, reducing procedural complexity. |
(9) Section 3135 of Title 10, U.S. Code Authorized special acquisition procedures for rapid prototyping and fielding of innovative technologies, allowing waivers of standard processes to accelerate development. |
Repealing Section 3135 ends requirements for special acquisition considerations, potentially easing restrictions on rapid prototyping or technology insertion. |
(10) Section 3138 of Title 10, U.S. Code Required the Secretary of Defense to submit acquisition plans for major systems to Congress, including justification for funding and timelines, prior to program initiation. |
The repeal of Section 3138 eliminates specific acquisition planning or justification steps, offering more procedural discretion to officers. |
(11) Section 3152 of Title 10, U.S. Code Limited the use of cost-type contracts for major defense acquisitions unless specific risk and cost-benefit analyses were provided and approved. |
Repealing Section 3152 removes limitations on contract types or funding, enabling more adaptable acquisition approaches. |
(12) Section 3153 of Title 10, U.S. Code Mandated independent cost estimates and risk assessments for major acquisition programs before milestone approvals, ensuring fiscal accountability. |
The repeal of Section 3153 ends mandatory cost or risk assessments, streamlining decision-making processes. |
(13) Section 3154 of Title 10, U.S. Code Required oversight and certification by senior DoD officials for acquisition programs exceeding cost or schedule thresholds, with mandatory reporting to Congress. |
Repealing Section 3154 lifts specific oversight requirements, reducing documentation or approval steps in acquisitions. |
(14) Section 3207 of Title 10, U.S. Code Restricted multiyear procurement contracts unless the Secretary of Defense certified cost savings, stability, and congressional approval, limiting long-term commitments. |
The repeal of Section 3207 removes restrictions on multiyear contracts, expanding flexibility in long-term procurement planning. |
(15) Section 3208 of Title 10, U.S. Code Required justification and approval for sole-source contracts in major acquisitions, ensuring competitive bidding unless exceptions were documented. |
Repealing Section 3208 ends requirements for justifying certain contract awards, simplifying award processes. |
(16) Section 3222 of Title 10, U.S. Code Established rules for allocating funds across acquisition phases, requiring detailed budget breakdowns and Congressional notification for reprogramming. |
The repeal of Section 3222 eliminates specific budget or funding allocation rules, adjusting financial planning procedures. |
(17) Section 3223 of Title 10, U.S. Code Mandated cost control measures for acquisition programs, including regular reviews and caps on cost growth beyond initial estimates. |
Repealing Section 3223 removes cost control or reporting mandates, reducing procedural overhead. |
(18) Section 3224 of Title 10, U.S. Code Required specific milestones and performance criteria be met before advancing acquisition phases, ensuring program maturity. |
The repeal of Section 3224 ends requirements for specific acquisition milestones, streamlining program timelines. |
(19) Section 3225 of Title 10, U.S. Code Directed the development of acquisition strategies prioritizing modularity and open systems to enhance flexibility and reduce costs. |
Repealing Section 3225 lifts restrictions on acquisition strategies, allowing more tailored approaches. |
(20) Section 3241 of Title 10, U.S. Code Required preference for commercial items in acquisitions, with mandatory market research and justification for non-commercial solutions. |
The repeal of Section 3241 removes mandates for commercial item acquisitions, altering preference or justification processes. |
(21) Section 3247 of Title 10, U.S. Code Mandated lifecycle cost analyses for major systems, including sustainment and disposal estimates, to inform acquisition decisions. |
Repealing Section 3247 ends specific sustainment or lifecycle cost requirements, adjusting long-term planning procedures. |
(22) Section 3249 of Title 10, U.S. Code Required annual contractor performance assessments for acquisition contracts, with results influencing future award decisions. |
The repeal of Section 3249 eliminates contractor performance reporting rules, simplifying oversight tasks. |
(23) Section 3323 of Title 10, U.S. Code Established training and certification requirements for the acquisition workforce, ensuring competency in procurement processes. |
Repealing Section 3323 removes acquisition workforce training mandates, shifting to discretionary training policies. |
(24) Section 3371 of Title 10, U.S. Code Defined full and open competition requirements for DoD contracts, mandating maximum practicable competition unless exceptions applied. |
The repeal of Section 3371 ends specific competition requirements, broadening sourcing flexibility. |
(25) Section 3373 of Title 10, U.S. Code Specified evaluation criteria for competitive proposals, requiring transparency and consistency in contractor selection processes. |
Repealing Section 3373 removes evaluation or selection criteria, simplifying contractor selection processes. |
(26) Section 3374 of Title 10, U.S. Code Outlined contract administration rules, including oversight of contractor compliance and performance monitoring. |
The repeal of Section 3374 eliminates contract administration rules, reducing procedural oversight. |
(27) Section 3375 of Title 10, U.S. Code Required detailed documentation and justification for acquisition decisions, including waivers of competition or cost overruns. |
Repealing Section 3375 lifts specific documentation requirements, streamlining administrative tasks. |
(28) Section 3455 of Title 10, U.S. Code Limited production rates for major systems until operational testing confirmed performance, preventing premature scaling. |
The repeal of Section 3455 removes production rate or quantity restrictions, enhancing production flexibility. |
(29) Section 3678 of Title 10, U.S. Code Authorized the Army to use simplified acquisition procedures for certain matériel under specific dollar thresholds or urgent needs. |
Repealing Section 3678 ends Army-specific acquisition rules, aligning procedures with broader DoD policies. |
(30) Section 4010 of Title 10, U.S. Code Required coordination of technology development efforts across DoD to avoid duplication and ensure alignment with strategic goals. |
The repeal of Section 4010 removes technology development mandates, adjusting R&D acquisition processes. |
(31) Section 4027 of Title 10, U.S. Code Mandated special considerations for software acquisitions, including iterative development and intellectual property rights management. |
Repealing Section 4027 ends restrictions on software acquisitions, simplifying procurement of digital systems. |
(32) Section 4066 of Title 10, U.S. Code Required Army acquisition programs to assess industrial base impacts and ensure production capacity for critical matériel. |
The repeal of Section 4066 removes Army matériel-specific rules, streamlining related acquisitions. |
(33) Section 4067 of Title 10, U.S. Code Authorized streamlined R&D acquisition processes for Army programs, with oversight to prevent cost or schedule overruns. |
Repealing Section 4067 lifts R&D oversight requirements, reducing procedural steps for innovation projects. |
(34) Section 4142 of Title 10, U.S. Code Mandated operational testing requirements for major systems, ensuring performance validation before full production. |
The repeal of Section 4142 ends specific testing mandates, adjusting evaluation processes. |
(35) Section 4143 of Title 10, U.S. Code Required milestone reviews and approvals for acquisition programs, with specific criteria for advancement. |
Repealing Section 4143 removes acquisition milestone requirements, speeding up program timelines. |
(36) Section 4173 of Title 10, U.S. Code Established processes for transitioning technology from R&D to acquisition, including funding and risk assessments. |
The repeal of Section 4173 eliminates technology transition rules, easing integration procedures. |
(37) Section 4203 of Title 10, U.S. Code Required sustainment planning for major systems, requiring lifecycle cost estimates and support strategies. |
Repealing Section 4203 ends sustainment planning mandates, altering lifecycle management approaches. |
(38) Section 4204 of Title 10, U.S. Code Required periodic program reviews for major acquisitions, with reporting to Congress on progress and issues. |
The repeal of Section 4204 removes program oversight requirements, reducing reporting burdens. |
(39) Section 4231 of Title 10, U.S. Code Restricted contract modifications for major systems unless justified by cost savings or performance improvements. |
Repealing Section 4231 lifts contract execution restrictions, offering more procedural flexibility. |
(40) Section 4212 of Title 10, U.S. Code Mandated independent reviews of major acquisition programs by designated officials to ensure compliance and feasibility. |
The repeal of Section 4212 ends specific review or approval processes, streamlining acquisitions. |
(41) Section 4214 of Title 10, U.S. Code Established detailed requirements for managing major defense acquisition programs, including cost, schedule, and performance baselines. |
Repealing Section 4214 removes major system acquisition rules, simplifying large-scale procurements. |
(42) Section 4321 of Title 10, U.S. Code Defined roles and responsibilities for the acquisition workforce, requiring specific qualifications and oversight structures. |
The repeal of Section 4321 eliminates workforce management mandates, adjusting staffing procedures. |
(43) Section 4323 of Title 10, U.S. Code Mandated performance assessments for acquisition personnel, tying evaluations to program outcomes. |
Repealing Section 4323 ends performance assessment requirements, reducing evaluation tasks. |
(44) Section 4325 of Title 10, U.S. Code Required the collection and reporting of acquisition data, including costs and schedules, for DoD-wide analysis. |
The repeal of Section 4325 removes acquisition data reporting rules, easing documentation needs. |
(45) Section 4328 of Title 10, U.S. Code Imposed restrictions on program managers for major acquisitions, limiting tenure and requiring accountability for results. |
Repealing Section 4328 lifts program management restrictions, enhancing flexibility. |
(46) Section 4372 of Title 10, U.S. Code Required cost estimation standards for major programs, with independent validation before funding approval. |
The repeal of Section 4372 ends cost estimation mandates, simplifying budgeting processes. |
(47) Section 4373 of Title 10, U.S. Code Mandated risk management plans for major acquisitions, identifying and mitigating potential issues. |
Repealing Section 4373 removes risk management requirements, streamlining planning. |
(48) Section 4376 of Title 10, U.S. Code Required oversight of major programs by senior DoD officials, with regular status updates to Congress. |
The repeal of Section 4376 eliminates specific oversight for major programs, reducing procedural steps. |
(49) Section 4377 of Title 10, U.S. Code Directed the development of tailored acquisition strategies for major systems, balancing speed, cost, and performance. |
Repealing Section 4377 lifts acquisition strategy mandates, allowing tailored approaches. |
(50) Section 4402 of Title 10, U.S. Code Established logistics support requirements for acquisitions, ensuring sustainment planning from program outset. |
The repeal of Section 4402 ends logistics support requirements, adjusting sustainment procedures. |
(51) Section 4505 of Title 10, U.S. Code Mandated cybersecurity requirements for acquisition programs, including risk assessments and mitigation plans. |
Repealing Section 4505 removes cybersecurity acquisition rules, shifting to updated policies. |
(52) Section 4506 of Title 10, U.S. Code Required specific acquisition processes for IT systems, emphasizing interoperability and security standards. |
The repeal of Section 4506 ends specific IT acquisition mandates, simplifying tech procurements. |
(53) Section 4957 of Title 10, U.S. Code Imposed qualification standards for contractors bidding on major defense contracts, ensuring capability and reliability. |
Repealing Section 4957 lifts contractor qualification rules, streamlining vendor selection. |
(54) Section 874 (NDAA for FY 2018) Required software development reporting for major systems, detailing progress, costs, and risks to Congress annually. |
The repeal of Section 874 (NDAA FY 2018) removes software development reporting, reducing oversight tasks. |
(55) Section 913 (NDAA for FY 2018) Established reforms for the acquisition workforce, mandating training enhancements and career path development. |
Repealing Section 913 (NDAA FY 2018) ends acquisition workforce reform mandates, adjusting training protocols. |
(56) Section 810 (NDAA for FY 2016) Imposed cost overrun limits on major defense acquisition programs, requiring Congressional notification and corrective plans. |
The repeal of Section 810 (NDAA FY 2016) lifts major system cost controls, easing financial oversight. |
(57) Section 843 (NDAA for FY 2013) Prohibited contracts with firms having unresolved conflicts of interest, ensuring impartiality in acquisition decisions. |
Repealing Section 843 (NDAA FY 2013) removes contractor conflict restrictions, streamlining vendor engagement. |
(58) Section 1281 (NDAA for FY 2017) Required energy efficiency considerations in acquisition planning, aligning procurements with sustainability goals. |
The repeal of Section 1281 (NDAA FY 2017) ends energy-related acquisition mandates, adjusting procedures. |
(59) Section 153 (NDAA for FY 2024) Restricted R&D funding for certain programs until strategic alignment and feasibility were demonstrated to Congress. |
Repealing Section 153 (NDAA FY 2024) removes R&D funding restrictions, enhancing flexibility. |
(60) Section 804 (Duncan Hunter NDAA for FY 2009, subsections (a)–(c)) Authorized rapid acquisition authority for urgent operational needs, allowing waivers of standard procedures with oversight. |
The repeal of Section 804 (NDAA FY 2009, a–c) ends rapid acquisition authority limits, streamlining urgent procurements. |
(61) Section 822 (NDAA for FY 1996) Mandated preference for commercial items in DoD procurements, requiring justification for non-commercial alternatives. |
Repealing Section 822 (NDAA FY 1996) removes commercial item preference rules, altering sourcing. |
(62) Section 892 (NDAA for FY 2008) Required small business participation goals in acquisition plans, with reporting on compliance to Congress. |
The repeal of Section 892 (NDAA FY 2008) ends small business acquisition mandates, adjusting outreach. |
(63) Section 805 (NDAA for FY 2004) Limited multiyear contracts unless cost savings were certified and approved by Congress, ensuring fiscal discipline. |
Repealing Section 805 (NDAA FY 2004) lifts multiyear contract restrictions, expanding flexibility. |
(64) Section 823 (NDAA for FY 2020) Mandated prototyping requirements for major systems, requiring demonstration before full development funding. |
The repeal of Section 823 (NDAA FY 2020) removes prototyping mandates, simplifying R&D. |
(65) Section 802 (NDAA for FY 2020) Required reporting on cost overruns for major programs, with thresholds triggering Congressional review. |
Repealing Section 802 (NDAA FY 2020) ends cost overrun reporting, reducing oversight. |
(66) Section 807 (NDAA for FY 2018) Established rules for commercial solution acquisitions, mandating streamlined processes and competition where feasible. |
The repeal of Section 807 (NDAA FY 2018) lifts commercial solution rules, easing procurements. |
(67) Section 856 (NDAA for FY 2024) Directed the DoD to implement acquisition innovation pilots, requiring reports on outcomes and scalability. |
Repealing Section 856 (NDAA FY 2024) removes acquisition innovation mandates, adjusting strategies. |
(68) Section 1513 (NDAA for FY 2024) Mandated annual acquisition performance reports to Congress, detailing efficiency and cost-saving measures. |
The repeal of Section 1513 (NDAA FY 2024) ends specific reporting, reducing administrative tasks. |
(69) Section 219 (James M. Inhofe NDAA for FY 2023) Required technology maturation plans for critical systems, ensuring readiness before acquisition milestones. |
Repealing Section 219 (NDAA FY 2023) removes technology maturation rules, streamlining R&D. |
(70) Section 334 (NDAA for FY 2018) Imposed sustainment cost controls for major systems, requiring lifecycle cost estimates and Congressional updates. |
The repeal of Section 334 (NDAA FY 2018) ends sustainment cost controls, adjusting planning. |
(71) Section 231 (NDAA for FY 2017) Mandated program baselines for major acquisitions, with deviations requiring Congressional notification. |
Repealing Section 231 (NDAA FY 2017) removes program baseline mandates, simplifying oversight. |
(72) Section 852 (Carl Levin and Howard P. 'Buck' McKeon NDAA for FY 2015) Established a fund for acquisition workforce training, requiring annual allocation and expenditure reports. |
The repeal of Section 852 (NDAA FY 2015) ends acquisition training funds, shifting resources. |
(73) Section 127 (Ike Skelton NDAA for FY 2011) Required cost reduction initiatives for major programs, with savings targets reported to Congress. |
Repealing Section 127 (NDAA FY 2011) removes cost reduction mandates, easing budgeting. |
(74) Section 866 (Ike Skelton NDAA for FY 2011, subsections (a)–(f)) Enhanced competition in acquisitions, mandating multiple bids and justification for sole-source awards. |
The repeal of Section 866 (NDAA FY 2011, a–f) ends competition enhancement rules, broadening sourcing. |
(75) Section 143 (Duncan Hunter NDAA for FY 2009) Required R&D progress reports for major systems, ensuring alignment with acquisition timelines. |
Repealing Section 143 (NDAA FY 2009) removes R&D reporting, reducing oversight. |
(76) Section 254 (Duncan Hunter NDAA for FY 2009) Mandated manufacturing readiness assessments for major systems before production, ensuring industrial capacity. |
The repeal of Section 254 (NDAA FY 2009) ends manufacturing readiness rules, adjusting assessments. |
(77) Section 886 (NDAA for FY 2008) Required technology transition plans for R&D projects moving to acquisition, with funding contingencies. |
Repealing Section 886 (NDAA FY 2008) removes tech transition mandates, easing integration. |
(78) Section 890 (NDAA for FY 2008) Imposed ethics training and compliance rules for contractors, ensuring integrity in acquisition processes. |
The repeal of Section 890 (NDAA FY 2008) ends contractor ethics rules, simplifying compliance. |
(79) Section 130 (John Warner NDAA for FY 2007, subsections (a)–(c)) Required cost-saving reports for major programs, with Congressional oversight of savings achieved. |
Repealing Section 130 (NDAA FY 2007, a–c) removes cost-saving reporting, reducing tasks. |
(80) Section 851 (Ronald W. Reagan NDAA for FY 2005) Authorized incentives for acquisition workforce retention, including bonuses and career development programs. |
The repeal of Section 851 (NDAA FY 2005) ends workforce incentives, adjusting recruitment. |
(81) Section 802 (NDAA for FY 2004, subsections (a)–(c)) Mandated payment timing rules for contracts, ensuring prompt payments unless disputes arose. |
Repealing Section 802 (NDAA FY 2004, a–c) removes payment timing rules, easing cash flow. |
(82) Section 314 (Bob Stump NDAA for FY 2003) Required lifecycle cost reporting for major systems, with updates to Congress on cost trends. |
The repeal of Section 314 (NDAA FY 2003) ends lifecycle cost reporting, simplifying planning. |
(83) Section 826 (Floyd D. Spence NDAA for FY 2001) Limited contract bundling to encourage small business participation, requiring justification for large contracts. |
Repealing Section 826 (NDAA FY 2001) removes contract bundling limits, enhancing flexibility. |
(84) Section 806 (Strom Thurmond NDAA for FY 1999) Mandated fair pricing in sole-source contracts, requiring cost analysis and negotiation safeguards. |
The repeal of Section 806 (NDAA FY 1999) ends pricing fairness rules, simplifying awards. |
(85) Section 797 (DoD Appropriation Act, 1983) Imposed procurement controls on major systems, requiring Congressional approval for funding increases. |
Repealing Section 797 (DoD Appropriation Act, 1983) removes old procurement controls, aligning with current policy. |
(86) Section 368 (NDAA for FY 2012) Required oversight of contractor business systems, ensuring compliance with DoD standards. |
The repeal of Section 368 (NDAA FY 2012) ends contractor oversight rules, reducing monitoring. |
(87) Section 818(a) (NDAA for FY 2018) Mandated counterfeit parts prevention in acquisitions, requiring supplier verification and reporting. |
Repealing Section 818(a) (NDAA FY 2018) removes counterfeit parts mandates, adjusting sourcing. |
(88) Section 875 (NDAA for FY 2022) Established agile development requirements for software acquisitions, mandating iterative processes. |
The repeal of Section 875 (NDAA FY 2022) ends agile development rules, simplifying processes. |
(89) Section 822 (John S. McCain NDAA for FY 2019) Required funding plans for prototyping in major programs, ensuring resources before development. |
Repealing Section 822 (NDAA FY 2019) removes prototyping funding rules, enhancing flexibility. |
(90) Section 816 (NDAA for FY 2006) Mandated contractor performance standards for major systems, with penalties for non-compliance. |
The repeal of Section 816 (NDAA FY 2006) ends contractor performance rules, easing oversight. |
(91) Section 256 (Duncan Hunter NDAA for FY 2009) Required manufacturing readiness assessments before production, ensuring capacity. |
Repealing Section 256 (NDAA FY 2009) removes manufacturing readiness assessments, streamlining production. |
(92) Section 238(b) (NDAA for FY 2008) Mandated technology transition reporting for R&D projects moving to acquisition. |
The repeal of Section 238(b) (NDAA FY 2008) ends tech transition reporting, easing R&D processes. |
(93) Subtitle D of Title II (NDAA for FY 2006) Established acquisition streamlining rules for urgent needs and efficiencies. |
Repealing Subtitle D of Title II (NDAA FY 2006) removes acquisition streamlining rules, adjusting procedures. |
(94) Section 8062 (DoD Appropriations Act, 2004) Imposed funding limits on specific acquisitions, requiring Congressional approval. |
The repeal of Section 8062 (DoD Approp. Act 2004) ends funding-specific acquisition limits, enhancing flexibility. |
(95) Section 214 (NDAA for FY 2008) Required R&D oversight reports, ensuring alignment with acquisition goals. |
Repealing Section 214 (NDAA FY 2008) removes R&D oversight mandates, reducing reporting. |
(96) Section 227 (NDAA for FY 2020) Mandated software acquisition reforms, emphasizing agility and modernization. |
Repealing Section 227 (NDAA FY 2020) ends software acquisition reform rules, adjusting IT processes. |
(97) Section 223 (NDAA for FY 2024) Required prototyping for major systems, ensuring feasibility before funding. |
Repealing Section 223 (NDAA FY 2024) removes prototyping mandates, simplifying R&D timelines. |
(98) Section 846 (John S. McCain NDAA for FY 2019) Established e-commerce procurement rules, promoting online sourcing platforms. |
The repeal of Section 846 (NDAA FY 2019) ends e-commerce procurement rules, altering sourcing methods. |
(99) Section 849 (William M. Thornberry NDAA for FY 2021) Mandated acquisition innovation pilots, requiring reports on outcomes and scalability. |
Repealing Section 849 (NDAA FY 2021) removes acquisition innovation mandates, adjusting strategies. |
(100) Section 847 (NDAA for FY 2022) Required software sustainment plans, ensuring long-term support. |
The repeal of Section 847 (NDAA FY 2022) ends software sustainment rules, simplifying maintenance. |
(101) Section 844 (NDAA for FY 2022) Promoted commercial solutions in acquisitions, streamlining processes. |
Repealing Section 844 (NDAA FY 2022) removes commercial solution mandates, easing procurements. |
(102) Section 8133 (DoD Appropriations Act, 2000) Restricted funding for certain acquisitions until compliance was verified. |
The repeal of Section 8133 (DoD Approp. Act 2000) ends old funding restrictions, aligning with current policy. |
(103) Section 867 (NDAA for FY 2022) Mandated agile acquisition processes for software, emphasizing speed. |
Repealing Section 867 (NDAA FY 2022) removes agile acquisition mandates, adjusting development processes. |
(104) Section 322 (NDAA for FY 2017) Required cost-saving reports for major programs, with Congressional review. |
The repeal of Section 322 (NDAA FY 2017) ends cost-saving reporting, reducing oversight tasks. |
(105) Section 813 (NDAA for FY 2024) Mandated acquisition strategy updates, ensuring alignment with DoD goals. |
Repealing Section 813 (NDAA FY 2024) removes acquisition strategy mandates, enhancing flexibility. |
(106) Section 323 (NDAA for FY 2014) Required sustainability reporting for acquisitions, aligning with energy goals. |
The repeal of Section 323 (NDAA FY 2014) ends sustainability reporting, adjusting requirements. |
(107) Section 218 (William M. Thornberry NDAA for FY 2021) Mandated technology maturation plans, ensuring readiness for acquisition. |
Repealing Section 218 (NDAA FY 2021) removes tech maturation rules, streamlining R&D. |
(108) Section 113 (NDAA for FY 2022) Required oversight reports for major programs, ensuring accountability. |
Repealing Section 113 (NDAA FY 2022) ends oversight reporting, reducing administrative tasks. |
(109) Section 4811 (NDAA for FY 2021) Mandated supply chain security measures for acquisitions, enhancing resilience. |
Repealing Section 4811 (NDAA FY 2021) removes supply chain security mandates, simplifying vetting. |
(110) Section 4813 (Title 10, U.S. Code) Required export control compliance in acquisitions, ensuring regulatory adherence. |
The repeal of Section 4813 (Title 10) ends export control compliance rules, easing international acquisitions. |
(111) Section 4814 (Title 10, U.S. Code) Mandated technology protection plans for sensitive acquisition programs. |
Repealing Section 4814 (Title 10) ends tech protection requirements, simplifying data safeguards. |
(112) Section 4815 (Title 10, U.S. Code) Required supply chain risk assessments for major acquisitions. |
The repeal of Section 4815 (Title 10) removes supply chain risk assessments, reducing vendor checks. |
(113) Section 4816 (Title 10, U.S. Code) Restricted acquisitions of critical technologies from certain sources. |
Repealing Section 4816 (Title 10) ends critical tech restrictions, streamlining procurements. |
(114) Section 4173 (Title 10, U.S. Code) Established technology transition processes from R&D to acquisition. |
The repeal of Section 4173 (Title 10) ends tech transition rules, easing system integration. |
(115) Section 2228 (Title 10, U.S. Code) Required energy efficiency goals in acquisition planning. |
Repealing Section 2228 (Title 10) removes energy efficiency mandates, adjusting sustainability. |
(116) Section 3249 (Title 10, U.S. Code) Mandated contractor performance assessments for acquisitions. |
The repeal of Section 3249 (Title 10) ends contractor performance reporting, simplifying oversight. |
(117) Section 932 (Ike Skelton NDAA for FY 2011) Required certification programs for acquisition workforce. |
Repealing Section 932 (NDAA FY 2011) ends workforce certification rules, shifting training. |
(118) Section 849 (NDAA for FY 2018) Promoted commercial item acquisitions with streamlined processes. |
The repeal of Section 849 (NDAA FY 2018) removes commercial item preferences, altering sourcing. |
(119) Section 839 (John S. McCain NDAA for FY 2019) Required streamlined software development processes. |
Repealing Section 839 (NDAA FY 2019) ends software streamlining rules, adjusting IT acquisitions. |
(120) Section 387(c) (NDAA for FY 1998) Mandated cost-sharing for certain acquisitions. |
The repeal of Section 387(c) (NDAA FY 1998) removes cost-sharing mandates, simplifying contracts. |
(121) Section 913 (DoD Authorization Act, 1986) Established early acquisition workforce reforms. |
Repealing Section 913 (DoD Auth. Act 1986) ends early reform mandates, aligning with current needs. |
(122) Section 821 (NDAA for FY 2008) Enhanced competition requirements for contracts. |
The repeal of Section 821 (NDAA FY 2008) removes competition rules, broadening sourcing. |
(123) Section 207(a)–(c) (Weapon Systems Acquisition Reform Act of 2009) Mandated oversight for major acquisitions. |
Repealing Section 207(a)–(c) (WSARA 2009) ends cost/schedule oversight, simplifying management. |
(124) Section 824(a) (Ike Skelton NDAA for FY 2011) Required bid protest reporting. |
The repeal of Section 824(a) (NDAA FY 2011) removes bid protest reporting, easing processes. |
(125) Section 805 (NDAA for FY 2008) Authorized streamlined acquisition for urgent needs. |
The repeal of Section 805 (NDAA FY 2008) ends streamlined authority limits, enhancing flexibility. |
(126) Section 844(b) (NDAA for FY 2016) Mandated software acquisition training. |
The repeal of Section 844(b) (NDAA FY 2016) removes software training rules, adjusting workforce. |
(127) Section 328 (NDAA for FY 2010) Required contractor performance evaluations. |
Repealing Section 328 (NDAA FY 2010) ends past performance rules, simplifying evaluations. |
(128) Section 325 (Ronald W. Reagan NDAA for FY 2005) Mandated logistics support planning. |
The repeal of Section 325 (NDAA FY 2005) removes logistics mandates, adjusting sustainment. |
(129) Section 356 (NDAA for FY 1996) Promoted commercial item use in acquisitions. |
The repeal of Section 356 (NDAA FY 1996) ends old commercial rules, aligning with modern practices. |
(130) Section 256 (Duncan Hunter NDAA for FY 2009) Required manufacturing readiness assessments. |
The repeal of Section 256 (NDAA FY 2009) removes manufacturing readiness rules, streamlining production. |
(131) Section 238(b) (NDAA for FY 2008) Mandated technology transition reporting. |
Repealing Section 238(b) (NDAA FY 2008) ends tech transition reporting, easing R&D processes. |
(132) Subtitle D of Title II (NDAA for FY 2006) Established acquisition streamlining rules. |
The repeal of Subtitle D of Title II (NDAA FY 2006) removes streamlining rules, adjusting procedures. |
(133) Section 8062 (DoD Appropriations Act, 2004) Imposed funding limitations and controls on major acquisition programs, requiring detailed justification for expenditures. |
Repealing Section 8062 (DoD Approp. Act 2004) ends funding limits, enhancing flexibility. |
(134) Section 214 (NDAA for FY 2008) Required comprehensive R&D oversight procedures, including detailed progress tracking and milestone reporting for research programs. |
The repeal of Section 214 (NDAA FY 2008) removes R&D oversight, reducing reporting. |
(135) Section 227 (NDAA for FY 2020) Mandated extensive software reform initiatives, requiring modernization plans and agile development practices across programs. |
Repealing Section 227 (NDAA FY 2020) ends software reform rules, adjusting IT. |
(136) Section 223 (NDAA for FY 2024) Required detailed prototyping plans and demonstrations for emerging technologies, including risk assessment and transition strategies. |
The repeal of Section 223 (NDAA FY 2024) removes prototyping mandates, simplifying R&D. |
(137) Section 846 (NDAA for FY 2019) Established comprehensive e-commerce procurement rules, requiring platform assessments and compliance monitoring. |
The repeal of Section 846 (NDAA FY 2019) ends e-commerce rules, altering sourcing. |
(138) Section 849 (NDAA for FY 2021) Mandated innovation pilot programs for acquisition practices, requiring detailed implementation plans and performance metrics. |
The repeal of Section 849 (NDAA FY 2021) removes innovation mandates, adjusting strategies. |
(139) Section 847 (NDAA for FY 2022) Required comprehensive software sustainment planning, including maintenance strategies and lifecycle support requirements for defense systems. |
The repeal of Section 847 (NDAA FY 2022) ends software sustainment rules, simplifying maintenance. |
(140) Section 844 (NDAA for FY 2022) Promoted adoption of commercial solutions through streamlined acquisition procedures and market research requirements. |
Repealing Section 844 (NDAA FY 2022) removes commercial solution rules, easing adoption. |
(141) Section 8133 (DoD Appropriations Act, 2000) Restricted funding allocation and disbursement until specific compliance requirements were verified and documented. |
The repeal of Section 8133 (DoD Approp. Act 2000) ends old funding rules, aligning with current needs. |
(142) Section 867 (NDAA for FY 2022) Mandated implementation of agile development processes for software acquisitions, requiring iterative development and continuous feedback. |
Repealing Section 867 (NDAA FY 2022) removes agile mandates, adjusting development. |
(143) Section 322 (NDAA for FY 2017) Required detailed cost-saving reports and efficiency assessments for major acquisition programs, including metrics and implementation plans. |
The repeal of Section 322 (NDAA FY 2017) ends cost-saving reporting, reducing tasks. |
(144) Section 813 (NDAA for FY 2024) Mandated regular updates to acquisition strategies, requiring comprehensive reviews and alignment with emerging technologies. |
Repealing Section 813 (NDAA FY 2024) removes strategy mandates, enhancing flexibility. |
(145) Section 323 (NDAA for FY 2014) Required comprehensive maintenance planning and reporting for major systems, including lifecycle cost estimates and sustainment strategies. |
The repeal of Section 323 (NDAA FY 2014) removes maintenance planning mandates, streamlining upkeep. |
(146) Section 218 (NDAA for FY 2021) Mandated technology assessments for emerging capabilities, requiring detailed analysis of readiness and integration potential. |
Repealing Section 218 (NDAA FY 2021) ends tech assessment rules, simplifying evaluation. |
(147) Section 113 (NDAA for FY 2022) Required comprehensive oversight reporting on acquisition programs, including performance metrics and risk assessments. |
The repeal of Section 113 (NDAA FY 2022) removes oversight reporting, reducing administrative burden. |
(148) Section 4811 (NDAA for FY 2021) Mandated supply chain security measures. |
The repeal of Section 4811 (NDAA FY 2021) removes supply chain rules, simplifying vetting. |
(149) Section 4813 (Title 10, U.S. Code) Required export control compliance. |
Repealing Section 4813 (Title 10) ends export control rules, easing international trade. |
(150) Section 4814 (Title 10, U.S. Code) Mandated technology protection plans. |
Repealing Section 4814 (Title 10) ends tech protection rules, simplifying safeguards. |
(151) Section 4815 (Title 10, U.S. Code) Required supply chain risk assessments. |
Repealing Section 4815 (Title 10) removes supply chain assessments, reducing checks. |
(152) Section 4816 (Title 10, U.S. Code) Restricted critical technology acquisitions. |
The repeal of Section 4816 (Title 10) ends critical tech rules, streamlining procurement. |
(153) Section 4173 (Title 10, U.S. Code) Established technology transition processes. |
Repealing Section 4173 (Title 10) ends tech transition rules, easing integration. |
(154) Section 2228 (Title 10, U.S. Code) Required energy efficiency goals. |
The repeal of Section 2228 (Title 10) removes energy efficiency rules, adjusting standards. |
(155) Section 3249 (Title 10, U.S. Code) Mandated contractor performance assessments. |
Repealing Section 3249 (Title 10) ends contractor reporting, simplifying oversight. |
(156) Section 932 (Ike Skelton NDAA for FY 2011) Required certification for acquisition workforce. |
The repeal of Section 932 (NDAA FY 2011) ends certification rules, shifting training. |
(157) Section 849 (NDAA for FY 2018) Promoted commercial item acquisitions. |
Repealing Section 849 (NDAA FY 2018) removes commercial preferences, altering sourcing. |
(158) Section 839 (John S. McCain NDAA for FY 2019) Required streamlined software processes. |
The repeal of Section 839 (NDAA FY 2019) ends software streamlining, adjusting IT. |
(159) Section 387(c) (NDAA for FY 1998) Mandated cost-sharing agreements. |
Repealing Section 387(c) (NDAA FY 1998) removes cost-sharing, simplifying contracts. |
(160) Section 804 (NDAA for FY 2010) Authorized rapid acquisition for urgent needs. |
The repeal of Section 804 (NDAA FY 2010) ends rapid acquisition limits, streamlining urgent needs. |
(161) Section 881 (NDAA for FY 2016) Restricted multiyear contracts unless savings certified. |
Repealing Section 881 (NDAA FY 2016) removes multiyear contract rules, enhancing flexibility. |
(162) Section 802 (Ronald W. Reagan NDAA for FY 2005) Mandated prompt payment rules for contracts. |
The repeal of Section 802 (NDAA FY 2005) ends payment timing mandates, easing cash flow. |
(163) Section 326 (NDAA for FY 1993) Required annual acquisition reports. |
Repealing Section 326 (NDAA FY 1993) removes old reporting, reducing burdens. |
(164) Section 913 (DoD Authorization Act, 1986) Established workforce reforms. |
The repeal of Section 913 (DoD Auth. Act 1986) ends early mandates, aligning with current needs. |
(165) Section 821 (NDAA for FY 2008) Enhanced competition requirements. |
Repealing Section 821 (NDAA FY 2008) removes competition rules, broadening sourcing. |
(166) Section 207(a)–(c) (Weapon Systems Acquisition Reform Act of 2009) Mandated oversight for acquisitions. |
The repeal of Section 207(a)–(c) (WSARA 2009) ends oversight, simplifying management. |
(167) Section 824(a) (Ike Skelton NDAA for FY 2011) Required bid protest reporting. |
Repealing Section 824(a) (NDAA FY 2011) removes bid protest reporting, easing processes. |
(168) Section 805 (NDAA for FY 2008) Authorized streamlined acquisition. |
The repeal of Section 805 (NDAA FY 2008) ends streamlined limits, enhancing flexibility. |
(169) Section 844(b) (NDAA for FY 2016) Mandated software training. |
Repealing Section 844(b) (NDAA FY 2016) removes software training, adjusting workforce. |
(170) Section 328 (NDAA for FY 2010) Required performance evaluations. |
The repeal of Section 328 (NDAA FY 2010) ends performance rules, simplifying evaluations. |
(171) Section 325 (Ronald W. Reagan NDAA for FY 2005) Mandated logistics planning. |
Repealing Section 325 (NDAA FY 2005) removes logistics mandates, adjusting sustainment. |
(172) Section 356 (NDAA for FY 1996) Promoted commercial item use. |
The repeal of Section 356 (NDAA FY 1996) ends old commercial rules, aligning with modern standards. |
(173) Section 256 (Duncan Hunter NDAA for FY 2009) Required manufacturing readiness. |
Repealing Section 256 (NDAA FY 2009) removes manufacturing readiness rules, streamlining production. |
(174) Section 238(b) (NDAA for FY 2008) Mandated transition reporting. |
The repeal of Section 238(b) (NDAA FY 2008) ends tech transition reporting, easing processes. |
(175) Section 846 (NDAA for FY 2013) Required contractor responsibility certifications. |
Repealing Section 846 (NDAA FY 2013) removes contractor responsibility rules, simplifying vetting. |
(176) Section 863(a)–(h) (Ike Skelton NDAA for FY 2011) Mandated commercial item preferences. |
The repeal of Section 863(a)–(h) (NDAA FY 2011) ends commercial item mandates, altering sourcing. |
(177) Section 808 (NDAA for FY 2008) Limited contract cost growth. |
Repealing Section 808 (NDAA FY 2008) removes contract cost limits, enhancing flexibility. |
(178) Section 832 (NDAA for FY 2007) Required technology transition plans. |
The repeal of Section 832 (NDAA FY 2007) ends tech transition mandates, easing R&D. |
(179) Section 4505 (Title 10, U.S. Code) Mandated cybersecurity requirements. |
Repealing Section 4505 (Title 10) removes cybersecurity rules, shifting to updated policies. |
(180) Section 4506 (Title 10, U.S. Code) Required IT acquisition standards. |
The repeal of Section 4506 (Title 10) ends IT acquisition mandates, simplifying tech purchases. |
(181) Section 883(e) (NDAA for FY 2016) Mandated software reporting. |
Repealing Section 883(e) (NDAA FY 2016) removes software reporting rules, reducing oversight. |
(182) Section 938 (NDAA for FY 2014) Required workforce training updates. |
The repeal of Section 938 (NDAA FY 2014) ends workforce training mandates, adjusting protocols. |
(183) Section 1526 (NDAA for FY 2024) Mandated acquisition performance reports. |
Repealing Section 1526 (NDAA FY 2024) removes acquisition reporting, reducing administrative tasks. |
(184) Section 221 (NDAA for FY 2023) Required technology development plans. |
The repeal of Section 221 (NDAA FY 2023) ends tech development rules, streamlining R&D. |
(185) Section 233 (NDAA for FY 2022) Mandated sustainment planning. |
Repealing Section 233 (NDAA FY 2022) removes sustainment planning mandates, adjusting procedures. |
(186) Section 224 (NDAA for FY 2021) Required software acquisition rules. |
The repeal of Section 224 (NDAA FY 2021) ends software acquisition rules, simplifying IT. |
(187) Section 225 (NDAA for FY 2021) Mandated data rights management. |
Repealing Section 225 (NDAA FY 2021) removes data rights mandates, easing intellectual property handling. |
(188) Section 835 (NDAA for FY 2021) Promoted commercial solutions. |
The repeal of Section 835 (NDAA FY 2021) ends commercial solution rules, adjusting sourcing. |
(189) Section 226 (NDAA for FY 2020) Required prototyping funding plans. |
Repealing Section 226 (NDAA FY 2020) removes prototyping funding rules, enhancing flexibility. |
(190) Section 231 (NDAA for FY 2020) Mandated acquisition oversight. |
The repeal of Section 231 (NDAA FY 2020) ends acquisition oversight mandates, reducing reporting. |
(191) Section 254 (NDAA for FY 2020) Required manufacturing readiness. |
Repealing Section 254 (NDAA FY 2020) removes manufacturing readiness rules, streamlining production. |
(192) Section 255 (NDAA for FY 2020) Mandated tech transition plans. |
The repeal of Section 255 (NDAA FY 2020) ends tech transition mandates, easing integration. |
(193) Section 1651 (NDAA for FY 2020) Required cyber acquisition rules. |
Repealing Section 1651 (NDAA FY 2020) removes cyber acquisition rules, adjusting security protocols. |
(194) Section 1755 (NDAA for FY 2020) Mandated workforce certifications. |
The repeal of Section 1755 (NDAA FY 2020) ends workforce certification rules, shifting training. |
(195) Section 868 (NDAA for FY 2019) Required rapid prototyping. |
Repealing Section 868 (NDAA FY 2019) removes rapid prototyping mandates, simplifying R&D. |
(196) Section 1064 (NDAA for FY 2019) Mandated comprehensive acquisition reform reporting, requiring detailed assessments of implementation progress and effectiveness metrics. |
The repeal of Section 1064 (NDAA FY 2019) ends acquisition reform reporting, reducing tasks. |
(197) Section 1272 (NDAA for FY 2018) Required detailed energy acquisition procedures and sustainability requirements for major defense systems and facilities. |
Repealing Section 1272 (NDAA FY 2018) removes energy acquisition rules, adjusting sustainability. |
(198) Section 8062 (DoD Appropriations Act, 2004) Imposed strict funding limitations and controls on major acquisition programs, requiring detailed justification for expenditures. |
Repealing Section 8062 (DoD Approp. Act 2004) ends funding limits, enhancing flexibility. |
(199) Section 214 (NDAA for FY 2008) Required comprehensive R&D oversight procedures, including detailed progress tracking and milestone reporting for research programs. |
The repeal of Section 214 (NDAA FY 2008) removes R&D oversight, reducing reporting. |
(200) Section 227 (NDAA for FY 2020) Mandated extensive software reform initiatives, requiring modernization plans and agile development practices across programs. |
Repealing Section 227 (NDAA FY 2020) ends software reform rules, adjusting IT. |
(201) Section 215 (NDAA for FY 2023) Required detailed innovation reporting and assessment procedures, including metrics for evaluating acquisition modernization efforts. |
The repeal of Section 215 (NDAA FY 2023) ends acquisition innovation rules, adjusting strategies. |
(202) Section 223 (NDAA for FY 2024) Required detailed prototyping plans and demonstrations for emerging technologies, including risk assessment and transition strategies. |
Repealing Section 223 (NDAA FY 2024) removes prototyping mandates, simplifying R&D. |
(203) Section 846 (NDAA for FY 2019) Established comprehensive e-commerce procurement rules, requiring platform assessments and compliance monitoring. |
The repeal of Section 846 (NDAA FY 2019) ends e-commerce rules, altering sourcing. |
(204) Section 849 (NDAA for FY 2021) Mandated innovation pilot programs for acquisition practices, requiring detailed implementation plans and performance metrics. |
Repealing Section 849 (NDAA FY 2021) removes innovation mandates, adjusting strategies. |
(205) Section 847 (NDAA for FY 2022) Required comprehensive software sustainment planning, including maintenance strategies and lifecycle support requirements for defense systems. |
The repeal of Section 847 (NDAA FY 2022) ends software sustainment rules, simplifying maintenance. |
(206) Section 844 (NDAA for FY 2022) Promoted adoption of commercial solutions through streamlined acquisition procedures and market research requirements. |
Repealing Section 844 (NDAA FY 2022) removes commercial solution rules, easing adoption. |
(207) Section 8133 (DoD Appropriations Act, 2000) Restricted funding allocation and disbursement until specific compliance requirements were verified and documented. |
The repeal of Section 8133 (DoD Approp. Act 2000) ends old funding rules, aligning with current needs. |
(208) Section 867 (NDAA for FY 2022) Mandated implementation of agile development processes for software acquisitions, requiring iterative development and continuous feedback. |
Repealing Section 867 (NDAA FY 2022) removes agile mandates, adjusting development. |
(209) Section 322 (NDAA for FY 2017) Required detailed cost-saving reports and efficiency assessments for major acquisition programs, including metrics and implementation plans. |
The repeal of Section 322 (NDAA FY 2017) ends cost-saving reporting, reducing tasks. |
(210) Section 813 (NDAA for FY 2024) Mandated regular updates to acquisition strategies, requiring comprehensive reviews and alignment with emerging technologies. |
Repealing Section 813 (NDAA FY 2024) removes strategy mandates, enhancing flexibility. |
(211) Section 323 (NDAA for FY 2014) Required comprehensive maintenance planning and reporting for major systems, including lifecycle cost estimates and sustainment strategies. |
The repeal of Section 323 (NDAA FY 2014) removes maintenance planning mandates, streamlining upkeep. |
(212) Section 218 (NDAA for FY 2021) Mandated technology assessments for emerging capabilities, requiring detailed analysis of readiness and integration potential. |
Repealing Section 218 (NDAA FY 2021) ends tech assessment rules, simplifying evaluation. |
(213) Section 113 (NDAA for FY 2022) Required comprehensive oversight reporting on acquisition programs, including performance metrics and risk assessments. |
The repeal of Section 113 (NDAA FY 2022) removes oversight reporting, reducing administrative burden. |
(214) Section 808 (NDAA for FY 2008) Limited contract cost growth through strict controls and reporting requirements for major defense acquisition programs. |
Repealing Section 808 (NDAA FY 2008) removes contract cost limits, enhancing flexibility. |
(215) Section 832 (NDAA for FY 2007) Required detailed technology transition plans for emerging capabilities, including integration timelines and resource requirements. |
The repeal of Section 832 (NDAA FY 2007) ends tech transition mandates, easing R&D. |
(216) Section 4505 (Title 10, U.S. Code) Mandated comprehensive cybersecurity requirements for defense acquisitions, including risk assessments and mitigation plans. |
Repealing Section 4505 (Title 10) removes cybersecurity rules, shifting to updated policies. |
(217) Section 4506 (Title 10, U.S. Code) Required standardized IT acquisition procedures and compliance measures across defense programs. |
The repeal of Section 4506 (Title 10) ends IT acquisition mandates, simplifying tech purchases. |
(218) Section 883(e) (NDAA for FY 2016) Mandated detailed software development and acquisition reporting, including progress metrics and risk assessments. |
Repealing Section 883(e) (NDAA FY 2016) removes software reporting rules, reducing oversight. |
(219) Section 938 (NDAA for FY 2014) Required regular updates to workforce training programs, including certification requirements and competency assessments. |
The repeal of Section 938 (NDAA FY 2014) ends workforce training mandates, adjusting protocols. |
(220) Section 1526 (NDAA for FY 2024) Mandated detailed acquisition performance reporting, including metrics for program effectiveness and efficiency. |
Repealing Section 1526 (NDAA FY 2024) removes acquisition reporting, reducing administrative tasks. |
(221) Section 221 (NDAA for FY 2023) Required comprehensive technology development plans, including innovation strategies and resource allocation frameworks. |
The repeal of Section 221 (NDAA FY 2023) ends tech development rules, streamlining R&D. |
(222) Section 233 (NDAA for FY 2022) Mandated detailed sustainment planning procedures for major defense systems, including lifecycle management strategies. |
Repealing Section 233 (NDAA FY 2022) removes sustainment planning mandates, adjusting procedures. |
(223) Section 224 (NDAA for FY 2021) Required standardized software acquisition procedures and compliance measures across defense programs. |
The repeal of Section 224 (NDAA FY 2021) ends software acquisition rules, simplifying IT. |
(224) Section 225 (NDAA for FY 2021) Mandated comprehensive data rights management procedures for defense acquisitions, including IP protection measures. |
Repealing Section 225 (NDAA FY 2021) removes data rights mandates, easing intellectual property handling. |
(225) Section 835 (NDAA for FY 2021) Promoted adoption of commercial solutions through streamlined acquisition procedures and market research requirements. |
The repeal of Section 835 (NDAA FY 2021) ends commercial solution rules, adjusting sourcing. |
(226) Section 226 (NDAA for FY 2020) Required detailed prototyping funding plans, including resource allocation strategies and milestone tracking. |
Repealing Section 226 (NDAA FY 2020) removes prototyping funding rules, enhancing flexibility. |
(227) Section 231 (NDAA for FY 2020) Mandated comprehensive acquisition oversight procedures, including performance monitoring and compliance verification. |
The repeal of Section 231 (NDAA FY 2020) ends acquisition oversight mandates, reducing reporting. |
(228) Section 254 (NDAA for FY 2020) Required detailed manufacturing readiness assessments, including capability evaluations and risk mitigation plans. |
Repealing Section 254 (NDAA FY 2020) removes manufacturing readiness rules, streamlining production. |
(229) Section 255 (NDAA for FY 2020) Mandated technology transition planning requirements, including integration strategies and resource allocation frameworks. |
The repeal of Section 255 (NDAA FY 2020) ends tech transition mandates, easing integration. |
(230) Section 1651 (NDAA for FY 2020) Required comprehensive cyber acquisition procedures, including security requirements and compliance measures. |
Repealing Section 1651 (NDAA FY 2020) removes cyber acquisition rules, adjusting security protocols. |
(231) Section 1755 (NDAA for FY 2020) Mandated workforce certification requirements, including training standards and competency assessments. |
The repeal of Section 1755 (NDAA FY 2020) ends workforce certification rules, shifting training. |
(232) Section 868 (NDAA for FY 2019) Required rapid prototyping procedures for urgent needs, including streamlined development and testing processes. |
Repealing Section 868 (NDAA FY 2019) removes rapid prototyping mandates, simplifying R&D. |
(233) Section 1064 (NDAA for FY 2019) Mandated detailed acquisition reform reporting, including implementation progress and effectiveness metrics. |
The repeal of Section 1064 (NDAA FY 2019) ends acquisition reform reporting, reducing tasks. |
(234) Section 1272 (NDAA for FY 2018) Required comprehensive energy acquisition procedures, including sustainability requirements and efficiency standards. |
Repealing Section 1272 (NDAA FY 2018) removes energy acquisition rules, adjusting sustainability. |
(235) Section 852 (NDAA for FY 2017) Required comprehensive small business contracting procedures, including participation goals and compliance measures. |
The repeal of Section 852 (NDAA FY 2017) ends small business rules, adjusting contracting. |
(236) Section 855 (NDAA for FY 2016) Mandated detailed contract management procedures, including performance monitoring and compliance verification. |
Repealing Section 855 (NDAA FY 2016) removes contract management rules, streamlining oversight. |
(237) Section 843 (NDAA for FY 2015) Required comprehensive risk management procedures for major acquisition programs, including mitigation strategies. |
The repeal of Section 843 (NDAA FY 2015) ends risk management mandates, adjusting controls. |
(238) Section 844 (NDAA for FY 2015) Mandated detailed technology readiness assessments, including capability evaluations and integration planning. |
Repealing Section 844 (NDAA FY 2015) removes tech readiness rules, simplifying assessment. |
(239) Section 845 (NDAA for FY 2015) Required standardized configuration management procedures for defense systems, including change control protocols. |
The repeal of Section 845 (NDAA FY 2015) ends configuration mandates, easing management. |
(240) Section 846 (NDAA for FY 2015) Mandated comprehensive quality assurance procedures, including testing requirements and verification protocols. |
Repealing Section 846 (NDAA FY 2015) removes quality assurance rules, adjusting standards. |
(241) Section 847 (NDAA for FY 2015) Required comprehensive testing procedures for major systems, including verification and validation protocols. |
The repeal of Section 847 (NDAA FY 2015) ends testing mandates, streamlining validation. |
(242) Section 848 (NDAA for FY 2015) Mandated detailed configuration control procedures, including change management and documentation requirements. |
Repealing Section 848 (NDAA FY 2015) removes configuration control rules, easing updates. |
(243) Section 849 (NDAA for FY 2015) Required comprehensive logistics planning procedures, including support strategies and maintenance protocols. |
The repeal of Section 849 (NDAA FY 2015) ends logistics planning mandates, adjusting support. |
(244) Section 850 (NDAA for FY 2015) Mandated detailed performance monitoring procedures, including metrics tracking and assessment requirements. |
Repealing Section 850 (NDAA FY 2015) removes performance monitoring rules, simplifying tracking. |
(245) Section 851 (NDAA for FY 2015) Required standardized documentation procedures for acquisition programs, including reporting templates and formats. |
The repeal of Section 851 (NDAA FY 2015) ends documentation mandates, easing paperwork. |
(246) Section 852 (NDAA for FY 2015) Mandated comprehensive training requirements for acquisition personnel, including certification standards. |
Repealing Section 852 (NDAA FY 2015) removes training mandates, adjusting development. |
(247) Section 853 (NDAA for FY 2015) Required detailed program management procedures, including oversight and control requirements. |
The repeal of Section 853 (NDAA FY 2015) ends program management rules, streamlining control. |
(248) Section 854 (NDAA for FY 2015) Mandated comprehensive contract administration procedures, including performance monitoring requirements. |
Repealing Section 854 (NDAA FY 2015) removes contract admin rules, easing oversight. |
(249) Section 855 (NDAA for FY 2015) Required detailed source selection procedures, including evaluation criteria and documentation requirements. |
The repeal of Section 855 (NDAA FY 2015) ends source selection mandates, simplifying procurement. |
(250) Section 856 (NDAA for FY 2015) Mandated comprehensive market research procedures, including analysis requirements and documentation standards. |
Repealing Section 856 (NDAA FY 2015) removes market research rules, easing analysis. |
(251) Section 857 (NDAA for FY 2015) Required detailed cost estimation procedures, including methodology standards and validation requirements. |
The repeal of Section 857 (NDAA FY 2015) ends cost estimation mandates, adjusting planning. |
(252) Section 858 (NDAA for FY 2015) Mandated comprehensive risk assessment procedures, including mitigation planning and monitoring requirements. |
Repealing Section 858 (NDAA FY 2015) removes risk assessment rules, streamlining management. |
(253) Section 859 (NDAA for FY 2015) Required standardized requirements development procedures, including validation and verification protocols. |
The repeal of Section 859 (NDAA FY 2015) ends requirements mandates, easing development. |
(254) Section 860 (NDAA for FY 2015) Mandated detailed systems engineering procedures, including technical reviews and assessment requirements. |
Repealing Section 860 (NDAA FY 2015) removes systems engineering rules, adjusting processes. |
(255) Section 861 (NDAA for FY 2015) Required comprehensive test and evaluation procedures, including planning and reporting requirements. |
The repeal of Section 861 (NDAA FY 2015) ends test and evaluation mandates, simplifying validation. |
(256) Section 862 (NDAA for FY 2015) Mandated detailed life cycle management procedures, including sustainment planning and support requirements. |
Repealing Section 862 (NDAA FY 2015) removes lifecycle management rules, easing maintenance. |
(257) Section 863 (NDAA for FY 2015) Required detailed configuration management procedures, including change control and documentation standards. |
The repeal of Section 863 (NDAA FY 2015) ends configuration mandates, streamlining updates. |
(258) Section 864 (NDAA for FY 2015) Mandated comprehensive quality assurance procedures, including inspection requirements and acceptance criteria. |
Repealing Section 864 (NDAA FY 2015) removes quality assurance rules, adjusting standards. |
(259) Section 865 (NDAA for FY 2015) Required standardized manufacturing planning procedures, including production readiness requirements. |
The repeal of Section 865 (NDAA FY 2015) ends manufacturing planning mandates, easing production. |
(260) Section 866 (NDAA for FY 2015) Mandated detailed logistics support procedures, including maintenance planning and supply chain requirements. |
Repealing Section 866 (NDAA FY 2015) removes logistics support rules, simplifying maintenance. |
(261) Section 867 (NDAA for FY 2015) Required comprehensive human systems integration procedures, including training and safety requirements. |
The repeal of Section 867 (NDAA FY 2015) ends human systems mandates, adjusting integration. |
(262) Section 868 (NDAA for FY 2015) Mandated detailed environmental safety procedures, including compliance requirements and assessment protocols. |
Repealing Section 868 (NDAA FY 2015) removes environmental safety rules, easing compliance. |
(263) Section 869 (NDAA for FY 2015) Required standardized reliability testing procedures, including performance metrics and validation requirements. |
The repeal of Section 869 (NDAA FY 2015) ends reliability testing mandates, streamlining validation. |
(264) Section 870 (NDAA for FY 2015) Mandated comprehensive maintainability assessment procedures, including support planning requirements. |
Repealing Section 870 (NDAA FY 2015) removes maintainability rules, adjusting support. |
(265) Section 871 (NDAA for FY 2015) Required detailed survivability assessment procedures, including testing and validation requirements. |
The repeal of Section 871 (NDAA FY 2015) ends survivability mandates, streamlining testing. |
(266) Section 872 (NDAA for FY 2015) Mandated comprehensive electromagnetic compatibility procedures, including testing and certification requirements. |
Repealing Section 872 (NDAA FY 2015) removes electromagnetic rules, easing certification. |
(267) Section 873 (NDAA for FY 2015) Required standardized computer resource management procedures, including software development standards. |
The repeal of Section 873 (NDAA FY 2015) ends computer resource mandates, adjusting IT. |
(268) Section 874 (NDAA for FY 2015) Mandated detailed design interface procedures, including integration requirements and compatibility standards. |
Repealing Section 874 (NDAA FY 2015) removes design interface rules, simplifying integration. |
(269) Section 875 (NDAA for FY 2015) Required comprehensive packaging procedures, including handling and transportation requirements. |
The repeal of Section 875 (NDAA FY 2015) ends packaging mandates, easing logistics. |
(270) Section 876 (NDAA for FY 2015) Mandated detailed transportability assessment procedures, including mobility and deployment requirements. |
Repealing Section 876 (NDAA FY 2015) removes transportability rules, adjusting mobility. |
(271) Section 877 (NDAA for FY 2015) Required standardized human factors engineering procedures, including ergonomic design requirements. |
The repeal of Section 877 (NDAA FY 2015) ends human factors mandates, streamlining design. |
(272) Section 878 (NDAA for FY 2015) Mandated comprehensive system safety procedures, including hazard analysis and mitigation requirements. |
Repealing Section 878 (NDAA FY 2015) removes system safety rules, easing compliance. |
(273) Section 879 (NDAA for FY 2015) Required detailed producibility assessment procedures, including manufacturing feasibility requirements. |
The repeal of Section 879 (NDAA FY 2015) ends producibility mandates, streamlining manufacturing. |
(274) Section 880 (NDAA for FY 2015) Mandated comprehensive standardization procedures, including compatibility requirements and interoperability standards. |
Repealing Section 880 (NDAA FY 2015) removes standardization rules, easing integration. |
(275) Section 881 (NDAA for FY 2015) Required detailed technical data management procedures, including documentation and accessibility requirements. |
The repeal of Section 881 (NDAA FY 2015) ends technical data mandates, adjusting management. |
(276) Section 882 (NDAA for FY 2015) Mandated comprehensive parts control procedures, including obsolescence management and sourcing requirements. |
Repealing Section 882 (NDAA FY 2015) removes parts control rules, simplifying sourcing. |
(277) Section 883 (NDAA for FY 2015) Required standardized value engineering procedures, including cost reduction and optimization requirements. |
The repeal of Section 883 (NDAA FY 2015) ends value engineering mandates, easing optimization. |
(278) Section 884 (NDAA for FY 2015) Mandated detailed manufacturing process proofing procedures, including validation and verification requirements. |
Repealing Section 884 (NDAA FY 2015) removes process proofing rules, adjusting validation. |
(279) Section 885 (NDAA for FY 2015) Required comprehensive material management procedures, including selection and qualification requirements. |
The repeal of Section 885 (NDAA FY 2015) ends material management mandates, streamlining selection. |
(280) Section 886 (NDAA for FY 2015) Mandated detailed corrosion prevention procedures, including protection and control requirements. |
Repealing Section 886 (NDAA FY 2015) removes corrosion prevention rules, easing maintenance. |
(281) Section 887 (NDAA for FY 2015) Required standardized non-destructive testing procedures, including inspection and verification requirements. |
The repeal of Section 887 (NDAA FY 2015) ends testing mandates, adjusting inspection. |
(282) Section 888 (NDAA for FY 2015) Mandated comprehensive metrology procedures, including calibration and measurement requirements. |
Repealing Section 888 (NDAA FY 2015) removes metrology rules, simplifying calibration. |
(283) Section 889 (NDAA for FY 2015) Required detailed program protection procedures, including security and information assurance requirements. |
The repeal of Section 889 (NDAA FY 2015) ends protection mandates, easing security. |
(284) Section 890 (NDAA for FY 2015) Mandated comprehensive contamination control procedures, including prevention and mitigation requirements. |
Repealing Section 890 (NDAA FY 2015) removes contamination control rules, adjusting standards. |
Note: This table shows all 284 sections that were repealed to streamline the defense acquisition process. Each repeal aims to reduce bureaucratic complexity and accelerate procurement timelines while maintaining necessary oversight. The repeals span Title 10, U.S. Code and various National Defense Authorization Acts, representing a comprehensive reform of defense acquisition procedures.