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Majority of Construction Firms Believe Additional Buy America Requirements Will Have a Major Impact

The Associated General Contractors of America and the American Road & Transportation Builders Association (ARTBA) jointly surveyed members from April 26 to May 8, 2024. The survey sought insights from contractors regarding Buy America requirements for manufactured products and their potential impact on projects which receive financial assistance from the Federal Highway Administration (FHWA).

For more than 40 years, FHWA has maintained a waiver from Buy America requirements for most manufactured products permanently incorporated into federal-aid highway projects. The agency now proposes to .

Both associations have reaffirmed their support for Buy America鈥檚 overarching objective of strengthening domestic manufacturing in the long term. The survey results are not as a rationalization for evading Buy America requirements, but to quantify the industry鈥檚 short-term challenge of complying with them while minimizing project cost increases and delay.

Key Findings

A majority of firms believe that FHWA鈥檚 rolling back the manufactured products waiver would require significant additional time and cost to document and certify the components within manufactured products. 62% of respondents indicated that removal of the waiver would have a major effect on their project efficiencies, while 19% stated it will have a more minor impact.

As implementation of recent Buy America revisions continues, 56% of those who responded to the survey indicated that they find the current Buy America policy in their state(s) to be 鈥淰ery Confusing鈥 or 鈥淪omewhat Confusing.鈥

In addition, 69% of respondents stated that they will 鈥減rice鈥 risks in their bids reflecting uncertainty about costs and/or availability of Buy America-compliant materials for particular projects. This reality usually results in higher project costs and diluted benefits from federal investment.

Survey results were consistent within a variety of subgroups among the respondents. For example, 65% of DBE firms reported that they believe the repeal of the waiver will have a major impact on their project management, as described above. Moreover, 70% of these firms indicated that they would likely 鈥減rice鈥 in risks related to concerns over Buy America compliance.

If FHWA rolls back its waiver, respondents expect significant challenges in complying with Buy America requirements for many manufactured products. All eight categories of manufactured products included in FHWA鈥檚 Request for Information had a greater ratio of respondents indicating that compliance would be 鈥淒ifficult鈥 and 鈥淰ery Difficult or Impossible鈥 compared to 鈥淓asy鈥 and 鈥淧ossible.鈥 Contractors anticipate particular difficulty with products such as LED lamps, traffic signals and controllers, vehicle detection equipment, traffic cameras, and Intelligent Transportation Systems hardware, as less than 15% of respondents believed these products would be 鈥淓asy鈥 and 鈥淧ossible鈥 to acquire in compliance with a new FHWA Buy America policy.

The survey also asked respondents to name and evaluate additional manufactured products with which they had recent experience. Generators, electrical equipment, electronics, pavement markings and pumps appeared multiple times, generally assessed as 鈥淰ery Difficult or Impossible鈥 to procure in compliance with post-waiver requirements.

For full results of the survey, the questions, accompanying responses, comments and the full letter which the associations sent to FHWA, click HERE

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