The GovCon Bulletin™
SBIR Companies - Don't Leave TABA Funding On The Table
Before 2019, the assistance available to SBIR/STTR awardees was limited to technical assistance and was capped at $5,000. However, changes to the SBA Policy Directive in 2019 expanded the scope of the assistance available to SBIR/STTR awardees to also include business assistance in areas like product sales, intellectual property protection, market research, and development of regulatory and manufacturing plans. The 2019 changes to the Policy Directive also increased the funding ceiling to $6,500 per year for Phase I awardees and $50,000 per project for Phase II awardees.
Under the Policy Directive’s TABA rules, SBIR/STTR awardees that receive the supplemental TABA funds can use them to obtain services from agency-contracted vendors. As indicated above, Army's preferred-vendor, for example, offers CMMC compliance services. When certain conditions are met, SBIR/STTR awardees may obtain TABA services from their own vendors rather than agency-contracted vendors.
The TABA services and funding set out in the Policy Directive are discretionary and not mandatory. In fact, even within DoD, not all agencies offer them. Also, although the Policy Directive broadly outlines the kinds of assistance that may be provided and funding ceilings, agencies that offer TABA are free to set up more specific rules that cover how and when SBIR/STTR awardees should apply for the assistance and that set lower caps on fundings. The Department of Navy, for example, currently limits TABA funding to $25,000 per Phase II award, offering an additional $25,000 in TABA funding only if there is a subsequent sequential Phase II award.
For more information about TABA, SBIR companies and government contractors can go to our TABA FAQ's web page.
