Does acquiring maintenance or support services for an existing system trigger the requirement for the existing system to meet the Access Board’s technical provisions?
New maintenance and support contracts on legacy systems do not require the previously owned EIT to meet the technical provisions of Subparts B or C of the Access Board’s standards. However, the newly acquired help desk services, training, and product support documentation must meet Subpart D of the Access Board’s standards. G.9. Are agency purchases from Javits-Wagner-O’Day (JWOD) Act nonprofit agencies employing people who are blind or severely disabled (NIB/NISH) or Federal Prison Industries (“FPI,” also known as UNICOR) exempt from section 508? No. Agency purchases from NIB/NISH and FPI are treated as procurements and are subject to section 508. For EIT products and services where NIB/NISH and FPI are mandatory sources, agencies must look to these sources first for EIT that meets the applicable technical provisions of the Access Board’s standards. EIT that does not meet the applicable technical provisions may be acquired from these sources only if an exception applies or if EIT that
Related Questions
- Does acquiring maintenance or support services for an existing system trigger the requirement for the existing system to meet the Access Boards technical provisions?
- Does acquiring maintenance or support services for an existing system trigger the requirement for the existing system to meet the Access Board s technical provisions?
- Does acquiring maintenance or support services for an existing system trigger the requirement for the existing system to meet the Access Board’s technical provisions?