Pentagon Directs Broader Contractor Cost and Pricing Transparency
Sep 15 2026 • 4 Min Read
On August 18, 2026, Deputy Secretary Stephen Feinberg issued a memorandum on Supplier Cost and Pricing Transparency directing the Department's acquisition workforce to obtain greater insight into contractor and supplier costs and pricing information. The memorandum is available through Federal News Network's published copy of the memorandum.
Although the memorandum does not amend procurement statutes, regulations, or existing contracts, it signals a potentially significant shift in how the Department intends to approach pricing negotiations, supply-chain transparency, profit analysis, and contractor reporting obligations.
The memorandum directs contracting officers to seek access to actual cost information at both the prime contractor and supplier levels for covered acquisitions, except for Commercial Off-the-Shelf (COTS) items. It also directs DoD acquisition leadership to explore mechanisms for obtaining cost information more efficiently and to develop approaches for evaluating contract profit.
Importantly, the memorandum does not:
The memorandum has generated discussion within the government contracts community because it appears to move toward greater government access to contractor cost information while other acquisition reform initiatives seek to reduce compliance burdens and rely more heavily on commercial market practices.
Critics argue that expanded cost visibility requirements could increase administrative burden, discourage commercial participation, and erode some of the policies underlying statutory exemptions from certified cost or pricing data requirements. How these competing objectives are reconciled may become an important issue as DoD develops implementing guidance and as the Revolutionary FAR Overhaul continues to advance.
While implementation details remain unknown, contractors should anticipate several areas of increased scrutiny:
Pricing and Cost Documentation. Greater visibility and access into actual costs is a primary goal. Greater documentation requests may be a result.
Data Requests Beyond Certified Cost or Pricing Data. Existing law permits contracting officers to request data other than certified cost or pricing data when necessary to determine price reasonableness. Contractors should ensure that responses to such requests are complete, accurate, and appropriately documented.
Supplier and Subcontractor Information. Prime contractors may face increased pressure to obtain cost information from suppliers and subcontractors. Existing subcontract terms, confidentiality provisions, and proprietary-data restrictions should be reviewed carefully.
CSDR Compliance. Contractors performing contracts that include applicable CSDR requirements should confirm that reporting processes, plans, and submissions are current. The memorandum specifically highlights delinquent reporting as a Department concern.
Protection of Proprietary Information. Any future automated reporting solution may raise significant questions concerning data access, cybersecurity, confidentiality, trade secrets, and use restrictions. The memorandum does not address these issues in detail.
Government contractors should consider:
The Supplier Cost and Pricing Transparency memorandum is a policy signal rather than a self-executing legal mandate. Nevertheless, it reflects senior Department leadership's clear intent to obtain greater visibility into contractor and supplier costs, measure pricing outcomes more aggressively, and strengthen oversight of sole-source acquisitions. Contractors should monitor implementation and prepare for increased scrutiny of pricing, cost reporting, and supply chain transparency.