Procurement Policy and Procedures
Table of content
1. Purpose and scope …………………………………………………………………………………………….. 1
2. Definitions …………………………………………………………………………………………………………. 1
3. Overview of procurement process and confidentiality ……………………………………………….. 2
4. Delegation of authority ………………………………………………………………………………………… 2
5. Ethics and sustainability ………………………………………………………………………………………. 2
6. Procurement process (expenditure limits) ………………………………………………………………. 3
7 Suppliers, vendors or consultants ………………………………………………………………………….. 5
8 Call for tenders (RFP, criteria) ………………………………………………………………………………. 5
9 Selection process ……………………………………………………………………………………………….. 6
10 Contract principles, review and management ………………………………………………………….. 6
1. Purpose and scope
The purpose of the TCG Procurement Policy and Procedures (Procurement Policy) is to structure TCG’s purchasing processes and sourcing strategies to ensure that the services and goods we acquire are the result of transparent, objective, time- and cost-effective decision making and risk management.
This Procurement Policy applies to all TCG staff, managers, directors and officers as well as any agent(s) for TCG seeking to acquire, acquiring and/or managing ongoing contractual relationships for the provision of services and/or goods to or on behalf of TCG . It is not a box- ticking exercise, but rather implies careful consideration at all stages of the procurement process, including before and after. Adhering to this Policy is mandatory; violations may result in disciplinary action.
This Policy may be shared with potential suppliers, donors and external partners, and incorporated into any resulting contractual relationship.
2. Definitions
The below are definitions of terms used throughout this Policy. When in doubt, speak to your manager, the Procurement Manager, Financial Services or Legal Services.
2.1 Bid, proposal or tender: is the offer from a possible vendor or consultant responding to an invitation from TCG for that offer.
2.2 Procurement Manager: is the TCG staff person(s) dedicated to handling TCG procurement issues, developing templates and answering any questions relative to this Policy.
2.3 Procurement process: is the acquisition process (purchasing) of goods and/or
services. TCG’s procurement process is meant to ensure that TCG’s needs are met for the best possible cost in terms of quality, time and other relevant factors to support TCG’s business operations.
2.4 Request for proposal (RFP) / Request for quote (RFQ): is an invitation from TCG defining a need and outlining certain project perimeters and criteria by which TCG will select a winning bid (in this case, a proposal that discretely sets out what service and good will be provided, for how much, when and how, etc.). Specific workflows have been created and made available to guide TCG staff through the different steps of each process.
3.Overview of procurement process and confidentiality This Procurement Policy applies to all acquisitions of goods/services at TCG. All purchases (and perhaps even most) will not need to go through a formal tender process but will remain subject to this Procurement Policy. To evaluate when a tender process is needed and what it should look like, see the below tender limits at Section 6. Procurement process (expenditure limits). Adhering to this Policy will be the responsibility of the relevant business unit seeking to acquire the goods/services, and, as required or requested, in consultation with the Procurement Manager or Financial Services. While this Policy may be shared with potential bidders and donors, several aspects of the procurement process are confidential. Offers or tenders received from applicants are strictly confidential to TCG and should not be shared with potential or actual applicants in order to ensure fair and unbiased competition. The results of any offer or tender may be shared directly with the applicant only, including a summary as to why it was not selected. Record-keeping will be of utmost importance for accounting and auditing reasons.
4.Delegation of authority Annex B to Clause 24 of the TCG Rules of Procedure (“Delegation of Authority”) and any further “inter TCG nal procedures” as referred to in the Delegation of Authority set out how authority to engage TCG financially is delegated from ’s TCG ecretary-General to staff. All TCG staff should be familiar with the Delegation of Authority and in TCG ternal procedures, including on avoidance of oral agreements or commitments. This Procurement Policy must be read in conjunction with the Delegation of Authority TCG and TCG internal procedures, which take precedence. Importantly, all engagements (except as explained in the Delegation of Authority and TCG internal procedures, e.g. for “click- through” agreements) must be approved by two signatories. When in doubt, speak to your manager or a member of Legal Services.As such, all normal budget constraints and approval processes shall also apply to any procurement process.
5.Ethics and sustainability All purchasing of goods or engagement of services at TCG must comply not only with Irish law, as TCG is headquartered in and subject to the laws of Ireland, but also meet or exceed the guidelines from the UN, WTO and OECD as well as those related to the transparency of project management and administration of projects and contracts with development agencies.
Such laws and guidelines include human rights, environmental, employment, health and safety, data protection, anti-avoidance, and anti-corruption regulations. It should be noted that TCG is not subject to VAT taxes, as prescribed in its Fiscal Accord with Switzerland.
Further to the applicable TCG staff rules and the Code of Conduct and Ethics, this Procurement Policy also commits all staff to upholding ethical conduct, social responsibility, transparency, auditability and accountability, and sound risk management in the context of procurement. Deviations from this should be reported to the relevant line manager, Procurement Manager, Legal Services, and/or Financial Services.
When selecting possible vendors or consultants, TCG shall strive to seek partners of the same or similar mindset and corresponding business operations.
As said above, this Procurement Policy is meant to encourage open and wide competition for the best quality/priced goods and services. As such, TCG procurement processes must always comply with the following:
• Procurement processes should be fair, unbiased, consistent, and aim to attract the widest and most diverse pool of applicants as possible and appropriate.
• Compliance with applicable laws and regulations is strictly required.
• TCG procurement should be consistent with socially responsible, diversity and ethical business operations and practices.
• Engagements made on TCG’s behalf must follow the delegation of authority as described in Delegation of Authority and TCG internal procedures.
• The procurement process shall be the responsibility of the relevant business unit, with systematic assistance from the Procurement Manager as required or requested, in order to ensure that another person can review and validate that the process is being followed.
• Selection should be based on transparent and objective criteria, free from personal interests, biases, or other untoward or political influences.
• Selected vendors or consultants should ensure compliance with all applicable data protection laws.
• All records should be as complete and accurate as possible, and timely kept.
• Any contract review shall be in accordance with Legal Services’ normal quality management practices.
6. Procurement process (expenditure limits)
All acquisition of goods/services for TCG shall comply with the following processes, according to the below-described expenditure limits and risk level assessment in relation to TCG financial impact, operational impact and TCG’s reputation. The Procurement Manager may nevertheless assist if there are any concerns, regardless of the exact monetary limit, especially if there may be a significant impact on TCG.
Any expenditure by TCG for goods/services shall comply with all the principles set forth in the
Risk/impact
Note: Numbers in parentheses are the attributed scores: Risk score + Cost score = Total score.
RFQ (request for quote) shall require that the relevant business unit request and obtain at least 3 (three) offers from possible vendors or consultants.
RFP (request for proposal) shall require formal call for tenders done in consultation with the Procurement Manager. It is up to the business unit to determine whether the management of the procurement process will be done by the Procurement Manager or by the business unit. Nevertheless, the Procurement Manager should be included in every step of the RFP process. Regular feedback to relevant LT member and/or Procurement Manager/Financial Services, as appropriate, would be expected in cases with a significant impact on TCG.
Risk management. Regardless of the expenditure, all purchasing shall include an appropriate and proportionate risk management analysis. Any purchase or engagement for services with external parties inherently exposes TCG (and possibly its members) to a variety of risks. It shall be the responsibility of the relevant business unit seeking to acquire the goods and/or services to conduct and document a risk management analysis, including the identification and mitigation.
Artificial limit compliance. These above expenditure limits are meant to ensure the proper use of procurement processes to obtain the best and most cost-effective service/good to meet TCG’s need. Artificial splitting of contracts or projects in order to avoid the implications of another procurement process category is strictly prohibited. When in doubt, business units must consult their relevant LT member, and/or Procurement Manager/Financial Services.
Auditability and accountability. For any TCG purchase, good record-keeping is important, including as may be required by law and by internal TCG Procedures. This includes keeping an original copy of all invoices for goods and services for 10 (ten) years (in paper or electronic form, if supported), from the end of the year in which the expense was incurred.
Business units should at a minimum also maintain a copy of (1) how and from whom the need for the acquisition originated, (2) the approval or project management process by which the purchase was authorized, (3) all records pertaining to the source of the service or good, (4) the performance of the vendor or consultant, and (5) any remedial measures taken where performance or compliance so required it.
Continuous improvement. TCG staff or agents engaged in procurement for TCG shall strive to continually seek relevant training and perform self or team assessments to support an ethical and sustainable procurement process in accordance with the usual TCG business operations. As TCG and its members are committed to ISO’s continuous improvement, all vendors and consultants with whom TCG does business are expected to demonstrate the same commitment in improving the goods and/or services contracted, as well as identifying and setting performance targets within the context of their relationship with TCG.
7 Suppliers, vendors or consultants
TCG only partners with suppliers, vendors or consultants that attest they respect and comply with all applicable health, safety, environmental, employment, data protection, and fiscal regulations. Any known violations or inability to provide the appropriate evidence shall disqualify any supplier, vendor or consultant from the procurement process.
The relevant business unit seeking or managing the acquisition will also manage the vendor or consultant relationship. For contracts with a particular impact on TCG, feedback should be given to the relevant LT member and Procurement Manager/Financial Services.
Any conflicts of interests that may arise in the context of a possible or ongoing vendor/consultant relationship should be immediately raised with the relevant manager of the business unit, who may escalate its resolution, in accordance with internal TCG Staff Rules Edition 2016.
8 Call for tenders (RFP, criteria)
A call for tenders is an essential part of any formal procurement plan. Due consideration must be given to the manner in which the call is released, how to effectively describe the service/good ISO is requesting (with a clearly defined aim), and by which criteria TCG will judge timely, eligible bids.
Open/restricted. Calls for tenders should preferably be open (widely advertised). In some cases, a more targeted approach (whereby a few possible applicants are directly contacted) may be more effective, especially in cases of genuine time or resource constraints. Derogations must be authorized by the Procurement Manager, who must keep a list of such derogations so the reason for the derogation is documented. However, casting a wider (but cost-efficient) net may help to attract a wider and more diverse pool of applicants. Where appropriate, social media can be helpful in getting the word out, as well as using a dedicated page on www.iso.org. Business units must consult the Procurement Manager on both the content and the manner of invitation for a call for tender to help strike the right balance.
Templates. When issuing a call for tender where the business unit is seeking a more detailed proposal of the service/good offered to meet TCG’s need, business units may use the RFP template maintained by the Procurement Manager.
A critical part of any RFP will be the careful selection and weighting of criteria. This is essential in the later selection process. Such criteria may include:
• Cost competitiveness of the offer
• Service and service level coverage
• Ability to meet time frames
• Company profile and stability
• Geographical coverage
• Compliance with relevant regulatory bodies
• Relevant experience and references
• Ease of implementation
• Communication and technology
• Innovation and continuous process improvement
• Methodology and project management
• Environmental contribution and compliance
• Ability to respond to TCG financial requirements such as prices
• Future developments
The Procurement Manager can aid in defining and weighting criteria for an RFP or other call for tender.
9 Selection process
Selection shall be made in a neutral and transparent manner and in accordance with the criteria pre-determined in the initiation phase or as per the call for tenders. Cost-effectiveness and quality shall figure heavily in any weighted selection process.
The purchasing of goods or engagement for services from external sources bears inherent risks. Any selection process shall also take due consideration to manage any pre-identified risks of the acquisition and any potential risks of the engagement itself, including vis-à-vis the selected vendor or consultant.
The selection process should correspond to the delegation of authority in the Delegation of Authority and internal TCG procedures.
Unsuccessful bids or offers should be notified to the applicant as soon as possible, while taking care to maintain confidentiality vis-à-vis other applicants, including the successful applicant.
10 Contract principles, review and management
Per Section 4. Delegation of Authority above, all TCG contracts (including related to a procurement process) are subject to execution in accordance with Delegation of Authority and internal TCG procedures. This also includes contract review by Legal Services, in accordance with its quality management practices.
Relevant business units must involve Legal Services as soon as possible in the procurement process to help identify and mitigate any risks, as well as increase efficiency for contract review and negotiation. Where possible, TCG’s terms and conditions should be used, particularly for Framework Agreements and subsequent Project Agreements. Variation from TCG terms and conditions should be kept to a minimum.
This Policy may be referred to in contract review and negotiation.
All contracts, including amendments, purchase orders and other contractual documentation should be properly kept by the relevant business unit, in accordance with internal TCG practices on archiving and record-keeping.
Any relevant feedback regarding performance, including possible breaches or failures to perform, should be timely notified to the relevant line manager and/or Legal Services, as appropriate.