Photo of Aron C. Beezley

Aron Beezley is the co-leader of Bradley’s nationally ranked Government Contracts Practice Group. Ranked nationally himself in Government Contracts Law by ChambersLaw360Benchmark Litigation, and Super Lawyers, Aron’s vast experience includes representation of government contractors in numerous industries and in all aspects of the government-contracting process, including negotiation, award, performance and termination.

What’s Your Vax Status? New Requirements for Federal Employees and ContractorsWith Delta variant infections on the rise, the Biden administration recently announced that “every federal government employee and onsite contractor will be asked to attest to their vaccination status,” and that anyone who “does not attest to being fully vaccinated will be required to wear a mask on the job no matter their geographic location,

Court Grants ABC’s Preliminary Injunction Request in Case Challenging “Blacklisting” Executive OrderWe recently reported on a lawsuit, filed by the Associated Builders and Contractors (ABC), challenging the “blacklisting” Executive Order and the implementing regulations. As we noted in our article, a ruling by the Court on ABC’s request for a preliminary injunction should be issued in short order, given that the effective date for the implementing

ABC Files Lawsuit Challenging “Blacklisting” Executive OrderAs we recently reported, the Federal Acquisition Regulatory (FAR) Council has published a final rule, effective October 25, 2016, implementing the Fair Pay and Safe Workplaces Executive Order (also known as the “blacklisting” Executive Order). Not surprisingly, the final rule – which allows private citizens to report alleged labor violations by federal contractors

FAR Council and DOL Issue Final Rule Implementing Fair Pay & Safe Workplaces Executive OrderThe Federal Acquisition Regulatory Council and the Department of Labor published a final rule, implementing the Fair Pay and Safe Workplaces Executive Order (also known as the “blacklisting” Executive Order), on August 24, 2016. The Executive Order, implemented by the final rule, requires federal prime contractors and subcontractors under covered procurements (i.e., ones