Frequently asked questions on the Build America, Buy America Act Frequently Asked Questions.
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BABAA requires that certain FEMA award recipients and subrecipients comply with the following domestic preference requirements:
Recipients and subrecipients must ensure their contracts, including purchase orders, subject to BABAA include a required contract clause and self-certification of compliance pursuant to FEMA Interim Policy #207-22-: Buy America Preference in FEMA Financial Assistance Programs for Infrastructure.
In determining whether the cost of components for manufactured products is greater than 55% of the total cost of all components, use the following instructions:
Construction material standards. The Buy America Preference applies to the following construction materials incorporated into infrastructure projects. Each construction material is followed by a standard for the material to be considered “produced in the United States.” Except as specifically provided, only a single standard should be applied to a single construction material.
There are currently 23 FEMA financial assistance programs subject to BABAA. For a complete list please click here.
There are currently 29 FEMA financial assistance programs not subject to BABAA. For a complete list please click here.
NOTE: Most disaster financial assistance programs are not subject to BABAA requirements, including the Public Assistance, Hazard Mitigation Grant Program, Individual Assistance, and Fire Mitigation Assistance Grant programs
Under FEMA financial assistance programs, the BABAA requirements apply to:
The BABAA requirements went into effect May 14, . However, FEMA determined that it was in the public interest to issue a general applicability waiver of the BABAA requirements allowing for a temporary adjustment period for FEMA, its recipients/subrecipients, industry partners, and other stakeholders to transition to the new compliance and certification process for iron, steel, manufactured products, and construction materials. This waiver period was effective from July 1, , and expired Jan. 1, . The BABAA domestic preference requirements therefore apply to awards or funds obligated on or after Jan. 2, . The requirements do not apply to awards or funds obligated during the six-month waiver period.
Domestic preferences for procurements under BABAA only apply to articles, materials, and supplies that are consumed in, incorporated into, or affixed to an infrastructure project. As such, BABAA does not apply to tools, equipment, and supplies, such as temporary scaffolding, brought to the construction site and removed at or before the completion of the infrastructure project. Nor does a Buy America preference apply to equipment and furnishings, such as movable chairs, desks, and portable computer equipment, that are used at or within the finished infrastructure project but are not an integral part of, or permanently affixed to, the structure.
Infrastructure, for the purposes of BABAA, includes, at a minimum, the structures, facilities and equipment, for, in the United States, roads, highways and bridges; public transportation; dams, ports, harbors, and other maritime facilities; intercity passenger and freight railroads; freight and intermodal facilities; airports; water systems, including drinking water and wastewater systems; electrical transmission facilities and systems; utilities; broadband infrastructure; and buildings and real property. Infrastructure also includes facilities that generate, transport, and distribute energy.
BABAA applies to an entire infrastructure project, even if it is funded by both federal and non-federal funds under one or more awards.
If FEMA determines that no funds from a particular award under a subject financial assistance program will be used for infrastructure, BABAA does not apply to that award. Similarly, BABAA does not apply to non-infrastructure spending under an award that also includes a covered project.
Based on guidance from the Office of Management and Budget’s (OMB) Made in America Office (MIAO), non-infrastructure costs such as technical assistance, debris removal, and management costs are not subject to BABAA requirements. More information can be found on the BABAA Best Practices guide.
Under the Hazard Mitigation Assistance (HMA) grant programs, BABAA does not apply to design and planning (although BABAA must be considered in planning to ensure compliance for construction projects e.g., design-build contracts); project scoping/advance assistance; partnerships; hazard mitigation planning and planning-related activities; codes and standards activities; and acquisition and demolition projects where there are no articles, materials, and supplies that are consumed in, incorporated into, or affixed to an infrastructure project. Projects consisting solely of the purchase, construction, or improvement of a private home for personal use (i.e., not serving a public function) do not constitute an infrastructure project. BABAA requirements also do not apply to nonresidential structures that are privately owned and do not serve a public function (e.g., a business).
Yes, BABAA applies to any funding from a subject FEMA program. For a full list of FEMA financial assistance programs subject to BABAA, please see Programs and Definitions: Build America, Buy America Act.
BABAA’s applicability to a generator depends on whether that generator is a portable or permanently installed generator. Although both are equipment that generate energy, only permanently installed generators are permanently affixed to a structure and provide power by being hard-wired into the facility’s main distribution panel in the event of a power outage. Portable generators, on the other hand, can be stored when not in use and then wheeled into position when needed. The same portable generator could also be used across multiple worksites or projects.
BABAA only applies to articles, materials, and supplies that are consumed in, incorporated into, or affixed to an infrastructure project. FEMA has determined fire trucks and ambulances to be "rolling stock" because they are not permanently affixed to an infrastructure project and therefore are not subject to BABAA.
Projects consisting solely of the purchase, construction, or improvement of a private home, such as a single or multi-family residential structure, for personal use (i.e., not serving a public function) do not constitute an infrastructure project. BABAA requirements also do not apply to nonresidential structures that are privately owned and do not serve a public function. Additional information can be found on page 3 of the FEMA Policy #207-22-: Buy America Preference in FEMA Financial Assistance Programs for Infrastructure.
BABAA requirements apply to new infrastructure awards under FEMA financial assistance programs for infrastructure made on or after May 14, , as well as new funding FEMA obligates to existing awards or through renewal awards where the new funding is obligated on or after May 14, .
FEMA issued a Six-Month General Applicability Waiver of the BABAA requirements for all FEMA award recipients and subrecipients to allow for an adjustment period. This waiver was in effect from July 1, , to Jan. 1, . If FEMA issued the financial assistance award or funding during the Six- Month General Applicability Waiver period, then the award is not subject to the BABAA requirements for the lifetime of that award funding. If additional funding is obligated to a project after Jan. 2, , then BABAA provisions do apply to those subsequently obligated funds.
BABAA does not apply to projects that involve privately-owned individual residential structures, such as ignition resistant construction retrofits, structure elevations for residential properties, or other individual residential retrofits. Projects consisting solely of the purchase, construction, or improvement of a private home for personal use would not constitute an infrastructure project, as they do not serve a public function.
Domestic preferences under BABAA apply to articles, materials, and supplies that are consumed in, incorporated into, or affixed to an infrastructure project. If a microwave relay is used at or within the finished infrastructure project but is not an integral part of or permanently affixed to the structure, then BABAA would not apply. If BABAA is applicable, then the microwave relay would have to be domestically produced or the cost of components that are mined, produced, or manufactured in the United States is greater than 55% of the total cost of all components of the manufactured product.
The most recent BABAA-related memorandum, M-24-02, does not specifically define “reasonably available quantities.” However, FEMA may waive the application of BABAA under a financial assistance program when the FEMA Administrator or designee finds that types of iron, steel, manufactured products, or construction materials are not produced in the United States in sufficient and reasonably available quantities or of a satisfactory quality. This waiver type will be reviewed on a case-by-case basis, but generally based on whether the products are available in sufficient quantity or quality at the time required for the project. This is called a nonavailability wavier. Additional information for waiver application can be found at: "Buy America" Preference in FEMA Financial Assistance Programs for Infrastructure.
Yes, all manufactured products used in covered projects must be produced in the United States. This means the manufactured product was manufactured in the United States, and the cost of the components of the manufactured product that are mined, produced, or manufactured in the United States is greater than 55% of the total cost of all components of the manufactured product.
Those product categories are federally defined. Please refer to OMB’s M-24-02 for additional clarification on these terms.
If additions to public buildings for target hardening are funded by a subject FEMA program, and incorporated into, or affixed to, an infrastructure project, then BABAA provisions apply.
Fencing may be considered infrastructure, depending on whether it is temporary or permanent fencing. If a project has specific questions about this situation, they should direct their inquiry to .
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BABAA does not apply to “removable” objects that are not an integral part of the structure or permanently affixed to the infrastructure project. For example, security cameras or fire/smoke/carbon monoxide detectors are not subject to the domestic preference requirements because they are removable and are not an integral part of the structure. This same reasoning applies to air conditioning units and building appliances within the infrastructure project; they are not an integral part of or permanently affixed to the structure. For equipment that is permanently affixed to infrastructure or that is integral to the structure and remains in a permanent location the equipment is subject to BABAA requirements.
If communication radios, base stations, and repeaters are not an integral part of, or permanently affixed to the infrastructure project they would not be subject to BABAA.
BABAA does not apply to temporary construction materials such as formwork. Similarly, BABAA does not apply to tools, equipment, and supplies, such as temporary scaffolding, brought to the construction site and removed at, or before the completion of, the infrastructure project.
To meet the definition of a manufactured product, the manufactured product must be manufactured in the United States; and the cost of the components of the manufactured product that are mined, produced, or manufactured in the United States is greater than 55% of the total cost of all components of the manufactured product. However, BABAA requirements do not apply to equipment and furnishings, such as movable chairs, desks, and portable computer equipment, that are used at or within the finished infrastructure project but are not an integral part of, or permanently affixed to, the structure.
If windows and doors are permanently installed at the project site, they are considered infrastructure. Fencing may be considered infrastructure, depending on whether it is temporary or permanent fencing. If a project has specific questions about this situation, they should direct their inquiry to .
Products must comply with BABAA if they are permanently affixed to, or incorporated into, an infrastructure project. If warning sirens are not an integral part of, or permanently affixed to the infrastructure project they would not be subject to BABAA.
Yes. FEMA may waive the application of a domestic preference under a financial assistance program when the FEMA Administrator (or the relevant FEMA Associate/Assistant Administrator in charge of a financial assistance program, acting as the Administrator’s designee) finds that:
For additional information on waivers, including waiver criteria, waiver types, and FEMA’s interim waiver process, please see FEMA Policy #207-22-: Buy America Preference in FEMA Financial Assistance Programs for Infrastructure.
All FEMA approved waivers will be posted on FEMA’s website at https://www.fema.gov/grants/policy- guidance/buy-america.
FEMA estimates that the timeline for review and determination of most waiver requests will be no less than 60 calendar days from date of submission. For renewals of general applicability waivers, FEMA estimates the timeline to be 75 calendar days from date of submission until final waiver determination is made due to the requirement for a longer public comment period.
The FEMA grant representative is the recipient's FEMA point of contact for their federal financial assistance. Depending on the grant program, it may be a representative at FEMA Headquarters or located in a FEMA Regional Office. This representative will review the waiver requests for completeness and then submit the waiver to FEMA's Grant Programs Directorate (GPD) for technical review. Once FEMA GPD’s review is complete, FEMA GPD will route to the MIAO for review, post for public comment and make a final waiver determination. FEMA GPD will notify the FEMA grant representative of the decision and the FEMA grant representative is responsible for notifying the grant recipient of the waiver decision.
Recipients and subrecipients will submit the waiver request to their FEMA grant representative.
Best practice is to submit a BABAA waiver request as soon as it is known that a waiver will be needed. Please refer to FEMA’s BABAA Best Practices guide.
FEMA estimates that the timeline for review and determination of most waiver requests will be no less than 60 calendar days from date of submission. For renewals of general applicability waivers, FEMA estimates the timeline to be approximately 75 calendar days from date of submission until final waiver determination is made due to allow for the required longer public comment period.
Yes, the FEMA waivers can be found at fema.gov/grants/policy-guidance/buy-america. Once FEMA posts additional waivers, we will expand this section to describe them.
FEMA may waive the application of a Buy America preference under a financial assistance program if the inclusion of iron, steel, manufactured products, or construction materials produced in the United States will increase the cost of the overall project by more than 25%.
The De Minimis Waiver allows a project to incorporate products of foreign or unknown origin up to 5% of the cost of materials subject to BABAA, with a cap of $1 million. The De Minimis percentage allowance will be based on the final materials costs subject to BABAA. Recipients and subrecipients are encouraged to track De Minimis items to ensure they are in compliance with applicable limitations.
No, because BABAA does not apply to tools, equipment, or supplies brought to the construction site and removed at or before the completion of the infrastructure project.
No, there are not currently any project-specific or general applicability waivers that apply to fiber optic products.
The Small Projects General Applicability Waiver waives the BABAA requirements for projects under FEMA awards or subawards where the total project cost does not exceed the federal simplified acquisition threshold (currently set at $250,000). If the total project cost is under $250,000, the projects do not have to comply with the BABAA provisions. The Small Projects General Applicability Waiver is available at: https://www.fema.gov/sites/default/files/documents/fema_babaa-small-project-waiver.pdf
Although a general applicability waiver is not currently available for those products, FEMA may consider product-specific general applicability waivers for products for which there are well- established domestic sourcing challenges.
In addition, project-specific waivers might be considered by recipients and subrecipients of projects for which these products may not be available domestically.
Information for submitting a waiver can be found by visiting "Buy America" Preference in FEMA Financial Assistance Programs for Infrastructure.
FEMA may waive the application of a BABAA requirements under a financial assistance program when the FEMA Assistant Administrator for the Grant Programs Directorate or designee finds that types of iron, steel, manufactured products, or construction materials are not produced in the United States in sufficient and reasonably available quantities or of a satisfactory quality.
FEMA encourages manufacturers to provide award recipients with product-specific certifications verifying BABAA compliance. If a manufacturer provides a certification, award recipients must store and maintain these in their project files. The manufacturer should indicate in the certification letter if the manufacturer is using the minor components waiver for the specified product.
For additional information on FEMA’s General Applicability Waivers, including best practices for documenting compliance for each waiver, please see the BABAA: Applying the General Applicability Waivers FEMA Fact Sheet.
The Small Projects Waiver waives the BABAA requirements for infrastructure projects under FEMA awards or subawards where the total project cost does not exceed the federal simplified acquisition threshold (currently set at $250,000). In the event of unplanned cost overages and overruns that increase project costs over $250,000, all additional purchases are subject to and must comply with BABAA unless otherwise waived.
The recipient might seek a waiver from BABAA requirements under one of the allowable waiver types (nonavailability, unreasonable costs, or public interest). Please see FEMA's BABAA Best Practices guide for additional information.
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