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?