[Federal Register Volume 88, Number 236 (Monday, December 11, 2023)]
[Proposed Rules]
[Pages 85852-85856]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2023-27053]


 ========================================================================
 Proposed Rules
                                                 Federal Register
 ________________________________________________________________________
 
 This section of the FEDERAL REGISTER contains notices to the public of 
 the proposed issuance of rules and regulations. The purpose of these 
 notices is to give interested persons an opportunity to participate in 
 the rule making prior to the adoption of the final rules.
 
 ========================================================================
 

  Federal Register / Vol. 88, No. 236 / Monday, December 11, 2023 / 
Proposed Rules  

[[Page 85852]]



SMALL BUSINESS ADMINISTRATION

13 CFR Part 121


Small Business Size Standards: Revised Size Standards Methodology

AGENCY: U.S. Small Business Administration.

ACTION: Notice of availability of white paper on Revised Size Standards 
Methodology for comments.

-----------------------------------------------------------------------

SUMMARY: The U.S. Small Business Administration (SBA or Agency) advises 
the public that it has revised its white paper explaining how it 
establishes, reviews, and modifies small business size standards. The 
revised white paper provides a detailed description of SBA's size 
standards methodology, including changes from SBA's 2019 Revised Size 
Standards Methodology (2019 Methodology, available at www.sba.gov/size), which guided SBA's recently completed second five-year review of 
size standards as required by the Small Business Jobs Act of 2010 (Jobs 
Act). SBA welcomes comments and feedback on the 2023 Revised 
Methodology, which SBA intends to apply to the forthcoming third five-
year review of size standards.

DATES: SBA must receive comments to the 2023 Revised Methodology on or 
before February 9, 2024.

ADDRESSES: The 2023 Revised Methodology White Paper, titled ``SBA's 
Size Standards Methodology (December 2023),'' is available on the SBA's 
website at http://www.sba.gov/size and on the Federal rulemaking portal 
at www.regulations.gov.
    Comments may be submitted on the 2023 Revised Methodology, 
identified by Docket number SBA-2023-0015, by one of the following 
methods: (1) Federal eRulemaking Portal: http://www.regulations.gov 
(follow the instructions for submitting comments), (2) Mail/Hand 
Delivery/Courier: U.S. Small Business Administration, Khem R. Sharma, 
Chief, Office of Size Standards, 409 Third Street SW, Mail Code 6530, 
Washington, DC 20416, or (3) Email at [email protected].
    SBA will post all comments on www.regulations.gov. If you wish to 
submit confidential business information (CBI) as defined in the User 
Notice at www.regulations.gov, please submit the information to Khem R. 
Sharma, Chief, Office of Size Standards, 409 Third Street SW, Mail Code 
6530, Washington, DC 20416, or send an email to [email protected]. 
Highlight the information that you consider to be CBI and explain why 
you believe SBA should hold this information as confidential. SBA will 
review the information and make the final determination of whether it 
will publish the information or not.

FOR FURTHER INFORMATION CONTACT: Khem R. Sharma, Chief, Office of Size 
Standards, (202) 205-7189 or [email protected].

SUPPLEMENTARY INFORMATION: To determine eligibility for Federal small 
business assistance programs, SBA establishes small business 
definitions (commonly referred to as ``size standards'') for private 
sector industries in the United States. Under the Small Business Act, 
the SBA's Administrator has authority to establish small business size 
standards for Federal Government programs. SBA's existing size 
standards use two primary measures of business size: average annual 
receipts and average number of employees. Financial assets and refining 
capacity are used as size measures for a few specialized industries. In 
addition, the SBA's Small Business Investment Company (SBIC), 7(a), 
Certified Development Company (CDC/504) Programs determine small 
business eligibility using either the industry based size standards or 
tangible net worth and net income based alternative size standards. 
Presently, there are 102 different size standards, covering 978 
industries and 14 exceptions. Of these, 505 are based on average annual 
receipts, 483 on number of employees (one of which also includes 
barrels per calendar day total refining capacity), and four on average 
assets.
    The Jobs Act (Pub. L. 111-240, 124 Stat. 2504, Sept. 27, 2010) 
requires SBA to review, every five years, all size standards and make 
necessary adjustments to reflect market conditions. SBA completed the 
first five-year review of size standards under the Jobs Act in early 
2016 \1\ and completed the second five-year review of size standards in 
early 2023.\2\ SBA will begin the next (third) five-year review of size 
standards in the near future.
---------------------------------------------------------------------------

    \1\ See Report on the First Five-Year Comprehensive Review of 
Size Standards at https://www.sba.gov/sites/sbagov/files/2023-09/Report%20on%20the%20First%205-Year%20Comprehensive%20Size%20Standards%20Review-508F.pdf.
    \2\ See Report on the Second Five-Year Comprehensive Review of 
Size Standards at https://www.sba.gov/sites/sbagov/files/2023-07/SBA%27s%20Report%20on%20the%20Second%205%20Year%20Review%20of%20Size%20Standards_Final.pdf.
---------------------------------------------------------------------------

    The goal of SBA's size standards review is to determine whether its 
existing small business size standards reflect the current industry 
structure and Federal market conditions and revise them if the latest 
available data suggests that revisions are warranted. The Small 
Business Act (the Act), 15 U.S.C. 632(a) (Pub. L. 85-536, 67 Stat. 232, 
as amended) requires that the size standard varies from industry to 
industry to the extent necessary to reflect the differing 
characteristics of the various industries. SBA evaluates the structure 
of each industry in terms of four economic characteristics or factors, 
namely average firm size, average assets size as a proxy of startup 
costs and entry barriers, the four-firm concentration ratio as a 
measure of industry competition, and size distribution of firms using 
the Gini coefficient (13 CFR 121.102(a)). Besides industry structure, 
SBA also examines the impact of an existing size standard as well as 
the potential impact of a revised size standard on small business 
participation in Federal contracting as an additional primary factor 
when establishing or reviewing the size standards. SBA generally 
considers these five factors--average firm size, average assets size, 
four-firm concentration ratio, Gini coefficient, and small business 
participation in Federal contracting--to be the most important factors 
in determining an industry's size standard. The 2023 Revised Size 
Standards Methodology White Paper provides a detailed description of 
evaluation of these factors (including relevant data sources) and 
derivation of size standards based on the results.
    SBA also periodically adjusts all monetary based standards for 
inflation. In accordance with SBA's regulations

[[Page 85853]]

(13CFR 121.102(c)) and rulemaking (67 FR 3041; January 23, 2002), an 
adjustment to size standards for inflation is made at least once every 
five years. In response to higher than normal rates of inflation, some 
past inflation adjustments have been made on more frequent intervals. 
For example, in response to ongoing higher than normal inflation, SBA 
issued an out-of-cycle inflation adjustment to monetary based size 
standards on November 17, 2022 (87 FR 69118). The SBA size standards 
methodology also explains how it adjusts monetary based size standards 
for inflation. SBA also updates its size standards, every five years, 
to adopt the Office of Management and Budget's (OMB) quinquennial NAICS 
revisions to its table of small business size standards. Effective 
October 1, 2022, SBA adopted the OMB's 2022 NAICS revisions (86 FR 
72277; December 21, 2021) for its table of small business size 
standards (87 FR 59240; September 29, 2022). The white paper also 
explains the SBA procedures for adopting updated NAICS definitions for 
the table of size standards.
    Section 3(a) of the Act provides the SBA's Administrator 
(Administrator) with authority to establish small business size 
standards for Federal Government programs. The Administrator has 
discretion to determine precisely how SBA should establish small 
business size standards. The Act and its legislative history highlight 
three important considerations for establishing size standards. First, 
as stated earlier, size standards should vary from industry to industry 
according to differences among industries. 15 U.S.C. 632(a)(3). Second, 
a firm that qualifies as small under the SBA's size standard shall not 
be dominant in its field of operation. 15 U.S.C. 632(a)(1). Third, 
pursuant to 15 U.S.C. 631(a), the policies of the Agency should assist 
small businesses as a means of encouraging and strengthening their 
competitiveness in the economy. These three considerations continue to 
form the basis for the SBA's methodology for establishing, reviewing, 
or revising small business size standards.
    The 2023 Revised Methodology, available for review and comment on 
the SBA's website at www.sba.gov/size, as well as at 
www.regulations.gov, describes in detail how SBA establishes, 
evaluates, and adjusts its small business size standards pursuant to 
the Act and related legislative guidelines. Specifically, the document 
provides a brief review of the legal authority and early legislative 
and regulatory history of small business size standards, followed by a 
detailed description of the size standards analysis. Below, SBA 
provides a brief summary of the revisions to SBA's size standards 
methodology, which are described in greater detail in the 2023 Revised 
Methodology.

Revisions to SBA's Size Standards Methodology

    SBA's 2023 Revised Methodology describes various changes and 
revisions to the 2019 Methodology and provides a detailed history of 
changes to SBA's methodology for evaluating size standards over the 
years. In the past, including the first five-year review of size 
standards under the Jobs Act, to determine an overall size standard for 
each industry, SBA compared the characteristics of each industry with 
the average characteristics of a group of industries associated with an 
``anchor'' size standard. For example, in the first five-year review of 
size standards, $7 million (now $9 million due to the inflation 
adjustments in 2014, 2019, and 2022) was considered the ``anchor'' for 
receipts based size standards and 500 employees was considered the 
``anchor'' for employee based size standards. If the characteristics of 
a specific industry under review were similar to the average 
characteristics of industries in the anchor group, SBA generally 
adopted the anchor size standard for that industry. If the specific 
industry's characteristics were significantly higher or lower than 
those for the anchor group, SBA assigned a size standard that was 
higher or lower than the anchor.
    In response to public comments received during the first five-year 
review of size standards concerning SBA's size standards methodology, 
section 3(a)(7) of the Act that limits the SBA's ability to create 
common size standards by grouping industries below the four-digit NAICS 
level, and its own review of the methodology, in the 2019 Methodology, 
SBA replaced the ``anchor'' approach with the ``percentile'' approach, 
as a basis of evaluating industry factors and deriving a size standard 
for each industry factor for each industry.\3\ Under the ``percentile'' 
approach, for each factor, an industry is ranked and compared with the 
20th percentile and 80th percentile values of that factor among the 
industries sharing the same measure of size standards (i.e., receipts 
or employees). Combining that result with the 20th percentile and 80th 
percentile values of size standards among the industries with the same 
measure of size standards, SBA computes a size standard supported by 
each industry factor for each industry, then computes a weighted 
average of the resulting supported size standards to obtain an overall 
size standard for each industry.
---------------------------------------------------------------------------

    \3\ For a detailed justification for replacement of the 
``anchor'' approach to size standards analysis with the 
``percentile'' approach and a detailed description of the percentile 
approach, see the SBA's 2019 Size Standards Methodology White Paper, 
available at www.sba.gov/size.
---------------------------------------------------------------------------

    In the 2023 Revised Methodology, SBA is maintaining the 
``percentile'' approach as a basis of evaluating industry factors and 
deriving size standards for each industry factor for each industry; 
however, based on its review of the current methodology, SBA is 
proposing two major changes to its size standards methodology.
    The first major change is to replace the current approach to 
account for the Federal contracting factor with the disparity ratio 
approach. Under the 2019 Methodology SBA defines the Federal 
contracting factor in terms of the difference between the small 
business share of total contract obligations and the small business 
share of industry' receipts. If the small business share of an industry 
total receipts exceeds the small business share of total contract 
obligations by ten percentage points or more, all else being the same, 
SBA would increase that industry's current size standard by certain 
amount depending on the amount of that difference. If that difference 
is less than ten percentage points, SBA considers that the current size 
standard is sufficient with respect to the Federal contracting factor.
    Under the disparity ratio approach, SBA computes a disparity ratio 
as a ratio (instead of the difference) between the small business share 
of contract obligations (utilization ratio) and the small business 
share of industry receipts (availability ratio). SBA also computes a 
second disparity ratio as a ratio between small business share of the 
number of contracts (utilization ratio) and the share of small firms in 
the total population of firms that are willing, ready, and able to bid 
on and perform Federal contracts (availability ratio).
    If an industry's disparity ratio is less than 0.8, SBA would assume 
that small businesses are either materially underrepresented (i.e., the 
disparity ratio is 0.5 or greater and less than 0.8) or substantially 
underrepresented (i.e., the disparity ratio is less than 0.5) in the 
Federal market under that industry's current size standard and would 
generally propose to increase the current size standard. If an 
industry's disparity ratio is 0.8 or higher, small businesses are 
considered overrepresented (i.e., the disparity ratio is 0.8 or higher 
and less than 1.2) or

[[Page 85854]]

substantially overrepresented (i.e., the disparity ratio is 1.2 or 
higher) in the Federal market in that industry under the current size 
standard, and the size standard is maintained at the current level.
    The second proposed major change is to replace the 20th percentile 
and 80th percentile values of industry factors for evaluating size 
standards at subindustry levels (``exceptions'') from those calculated 
based on the Economic Census data with those calculated using The 
Federal Procurement Data System--Next Generation (FPDS) and The System 
for Award Management (SAM) data.
    SBA is proposing these changes in order to refine and improve its 
analysis of Federal contracting data used in the evaluation of industry 
size standards. These changes are also in response to public comments 
received during the second five-year review of size standards that 
pertained to Federal contracting trends generally. Although SBA did not 
specifically seek comments to the 2019 Methodology as part of the 
series of proposed rules issued to review size standards under the 
second five year review,\4\ SBA notes that, a number of commenters to 
SBA's proposed rules expressed positions both for and against SBA's 
proposed size standards based on Federal contracting trends, data, or 
analysis.\5\ Thus, given the demonstrated relevance of Federal 
contracting trends to small businesses, SBA believes that it is 
important to continually review and adjust its methodology for 
evaluating Federal contracting data to ensure its analysis accurately 
captures the varying impact of Federal contracting trends by industry.
---------------------------------------------------------------------------

    \4\ See Small Business Size Standards: Agriculture, Forestry, 
Fishing and Hunting; Mining, Quarrying, and Oil and Gas Extraction; 
Utilities; Construction (85 FR 62239; October 2, 2020), Small 
Business Size Standards: Transportation and Warehousing; 
Information; Finance and Insurance; Real Estate and Rental and 
Leasing (85 FR 62372; October 2, 2020), Small Business Size 
Standards: Professional, Scientific and Technical Services; 
Management of Companies and Enterprises; Administrative and Support 
and Waste Management and Remediation Services (85 FR 72584; November 
13, 2020), Small Business Size Standards: Education Services; Health 
Care and Social Assistance; Arts, Entertainment and Recreation; 
Accommodation and Food Services; Other Services (85 FR 76390; 
November 27, 2020), and Small Business Size Standards: Wholesale 
Trade and Retail Trade (86 FR 28012; May 25, 2021), Small Business 
Size Standards: Manufacturing and Industries With Employee-Based 
Size Standards in Other Sectors Except Wholesale Trade and Retail 
Trade (87 FR 24752; April 26, 2022). Comments available at 
www.regulations.gov.
    \5\ Prior to finalizing the 2019 Methodology for revising size 
standards under the second five-year review, SBA issued a 
notification in the April 27, 2018, issue of the Federal Register 
(83 FR 18468) to solicit comments from the public and notify 
stakeholders of the proposed changes to the 2019 Methodology. SBA 
considered all public comments in finalizing the 2019 Methodology. 
For a summary of comments and SBA's responses, refer to the SBA's 
April 11, 2019, Federal Register notification (84 FR 14587).
---------------------------------------------------------------------------

    To determine how the above changes in the methodology would affect 
size standards across various industries and sectors, SBA derived the 
new size standards for all industries averaging $20 million or more in 
Federal contract dollars annually (excluding Sectors 42 and 44-45) 
using the 2019 Methodology and the disparity ratio approach of defining 
the Federal contracting factor. Overall, the calculated size standards 
were quite similar between the two approaches when compared to the 
existing size standards, with size standards increasing for some 
industries and decreasing for others under both approaches.
    SBA believes that using FPDS-NG and SAM data to obtain the 20th 
percentile and 80th percentile values of industry factors for 
evaluating size standards for the exceptions, instead of using the 
percentiles from the Economic Census, will promote consistency in its 
analysis of the exceptions by ensuring that the percentile values and 
factor values for each exception are in comparable terms. Specifically, 
SBA has found that for most industries, the average firm size of 
businesses participating in Federal contracting is generally larger 
than the average firm size of businesses represented in the Economic 
Census. There are also inconsistencies in data reporting between SAM/
FPDS-NG data and the Economic Census, which SBA will address by 
adopting the revised approach. Thus, SBA believes that using FPDS-NG 
and SAM to obtain the percentile values of industry factors for the 
exceptions will better reflect the varying economic characteristics of 
the underlying industries. The full results of SBA's impact analysis as 
well as a detailed description of the major changes to SBA's evaluation 
of size standards are included in the 2023 Revised Methodology.
    In the 2023 Revised Methodology, SBA is also updating the minimum 
and maximum size standard levels based on current minimum and maximum 
size standard levels. The minimum size standard generally reflects the 
size a small business should be to have adequate capabilities and 
resources to be able to compete for and perform Federal contracts. On 
the other hand, the maximum size standard represents the level above 
which businesses, if qualified as small, would cause significant 
competitive disadvantage to smaller businesses when accessing Federal 
assistance. SBA will not generally propose or adopt a size standard 
that is either below the minimum or above the maximum level, even 
though the calculations might yield values below the minimum or above 
the maximum level.
    With respect to receipts based size standards, SBA is proposing $8 
million and $47 million, respectively, as the minimum and maximum size 
standard levels (except for most agricultural industries in Subsectors 
111 and 112). These levels reflect the current minimum and the current 
maximum of receipts based size standards. As in the 2019 Methodology, 
the latest industry data from the 2017 Census of Agriculture suggests 
that $8 million minimum and $47 million maximum size standard levels 
would be too high for agricultural industries in Subsector 111 and 
Subsector 112. Accordingly, SBA is proposing $2.25 million and $5.5 
million, respectively, as the minimum and maximum size standard levels 
for agricultural industries in Subsectors 111 and 112 (excluding NAICS 
112112 and NAICS 112310). These levels represent the current minimum 
and current maximum levels of size standards in Subsectors 111 and 112 
(excluding NAICS 112112 and NAICS 112310).\6\
---------------------------------------------------------------------------

    \6\ NAICS 112112 (Cattle Feedlots) and NAICS 112310 (Chicken Egg 
Production) currently have a size standard of $22 million and $19 
million, respectively, and will be subjected to the $8 million 
minimum and $47 million maximum size standards proposed for other 
industries with receipts based size standards.
---------------------------------------------------------------------------

    Regarding employee based size standards for manufacturing and other 
industries that have employee based size standards (excluding Wholesale 
and Retail Trade), SBA's proposed 250-employee minimum and 1,500-
employee maximum are the current minimum and maximum employee based 
size standards among those industries. For employee based size 
standards for Wholesale Trade and Retail Trade industries, the proposed 
minimum and maximum size standards levels are 50 employees and 250 
employees, respectively.\7\
---------------------------------------------------------------------------

    \7\ Current employee based size standards for the wholesale and 
retail trade industries range from 100 employees to 250 employees. 
However, as in the 2019 Methodology, SBA is proposing a lower 50-
employee level as the minimum employee-based size standard to 
account for differences among industries more accurately.
---------------------------------------------------------------------------

    SBA is also updating the percentile values, derived from the latest 
2017 Economic Census and other industry data, used to evaluate the 
structure of each industry in terms of the four economic 
characteristics or factors, namely average firm size, average assets 
size, the four-firm concentration ratio, and the Gini coefficient. As 
explained in

[[Page 85855]]

the 2023 Revised Methodology, SBA ranks industries by size standard 
types in terms of the four industry factors and in terms of the 
existing size standards, then computes the 20th percentile and 80th 
percentile values for both. SBA then evaluates each industry by 
comparing its value for each industry factor to the 20th percentile and 
80th percentile values for the corresponding factor for industries 
under a particular type of size standard. The updated 20th percentile 
and 80th percentile values for the four factors for receipts based and 
employee based size standards are found in Table 5 and Table 6 of the 
2023 Revised Methodology, respectively; the updated 20th percentile and 
80th percentile values of size standards are found in Table 7.

Request for Comments

    SBA welcomes comments from the public on a number of issues 
concerning its size standards methodology. Specifically, SBA invites 
feedback and suggestions on the following:
     Should SBA establish size standards that are higher than 
industry's entry-level business size? SBA generally sets size standards 
higher than the entry-level business size to enable small businesses to 
compete against others of their size and considerably larger businesses 
for Federal contracts set aside for small businesses. It is important 
that small businesses be able to apply for and be eligible for SBA's 
various business development programs that have additional 
requirements, such as a minimum number of years in business to qualify 
for its 8(a) Business Development Program. This precludes setting size 
standards at too low a level or at the entry-level size. Additionally, 
establishing size standards at the industry entry-level firm size would 
cause small businesses to outgrow their eligibility very quickly, 
thereby lacking sufficient cushion or experience to succeed outside of 
the small business market. Finally, size standards must be above the 
entry-level size to ensure small businesses have necessary resources 
and capabilities to be able to perform and meet Federal Government 
contracting requirements.
     Should there be a ceiling beyond which a business concern 
cannot be considered as small? In other words, should there be a 
maximum size standard? SBA has not increased its employee based 
standards beyond the 1,500-employee level. However, receipts based size 
standards have gradually increased over time due to inflationary 
adjustments and the highest receipts based size standard stands at $47 
million today. This is a policy decision that the Agency should make--
is there a size beyond which a business is not small?
     Should SBA consider adjusting employee based size 
standards for labor productivity growth or increased automation? Just 
as firms in industries with receipts based standards may lose small 
business eligibility due to inflation, firms in industries with 
employee based standards may gain eligibility due to improvement in 
labor productivity and technical change.
     Should SBA consider lowering its size standards generally? 
SBA receives periodic comments from the public that its standards are 
too high in certain industries or for certain types of Federal 
contracting opportunities. The comments generally concern the 
competitive edge that large small businesses have over the ``truly 
small businesses'' (a phrase heard frequently from commentators). On 
the other hand, SBA also receives comments from advanced small 
businesses that its size standards are too small to qualify for Federal 
contracting opportunities and other Federal small business assistance. 
This has always been a challenging issue, one that SBA has had to deal 
with over the years. SBA's size standards appear too large to the 
smallest of small businesses while more advanced small businesses often 
request even higher size standards.
     In response to the distressed economic environment in the 
aftermath of the 2007-2009 Great Recession, in the first five-year 
review of size standards, SBA adopted a policy of not lowering size 
standards even though the data supported lowering them. Similarly, in 
response to the COVID-19 pandemic and its impacts on small businesses 
and the overall economy, during the second five-year review of size 
standards, SBA adopted a similar policy of not lowering any size 
standards even if the analytical results supported lowering them. 
Should SBA lower size standards regardless of prevailing economic 
conditions when the analytical results support lowering them or should 
it consider the prevailing economic environment when deciding on 
whether to revise size standards?
     Should SBA adopt new disparity ratio approach to 
evaluating small business participation in the Federal market, which 
will replace the Federal contracting factor the Agency used in the 
past. Should SBA adopt the results from the power analyses of the 
disparity ratios? Since only a very few industries were impacted by the 
power analyses, SBA has decided to not use the results from the power 
analyses.
     SBA is proposing to use FPDS-NG and SAM data to obtain the 
20th percentile and 80th percentile values of industry factors for 
evaluating size standards for the NAICS exceptions, instead of using 
the percentiles from the Economic Census. Should SBA continue using the 
Economic Census data to obtain the 20th percentile and 80th percentile 
values of industry factors for evaluating size standards for exceptions 
or should it start using FPDS-NG and SAM data to calculate 20th and 
80th percentile values of industry factors for evaluating exceptions?
     Should size standards vary from program to program? In 
other words, should SBA establish one set of standards for SBA 
financial programs, another for Federal procurement, or yet another for 
other Federal programs? SBA had, in the 1980s, established different 
size standards for different programs. The result had been that some 
firms were small for some programs and large for others. Such size 
standards were very confusing to users and caused unnecessary and 
unwanted complexity in their application. The statutory guidance 
encourages an industry-by-industry analysis and not a program-by-
program analysis when developing small business size definitions. While 
the characteristics and needs of a particular SBA program may 
necessitate the deviation from the uniform size standards, the Agency 
will continue its general policy of favoring one set of size standards 
for all programs. However, SBA has established 14 special size 
standards for some activities (commonly referred to as ``exceptions'') 
within certain industries for Federal Government purposes. Similarly, 
for industries in Wholesale Trade and Retail Trade, SBA has established 
industry specific size standards for SBA's loan and other Federal 
nonprocurement programs and a common 500-employee size standard for 
Federal procurement under the nonmanufacturer rule. Additionally, for 
SBA's SBIC, 7(a), and CDC/504 Programs businesses can qualify either 
based on industry specific size standards for their primary industries 
or based on a tangible net worth and net income based alternative size 
standard.
     Should size standards apply nationally or should they vary 
geographically? The data SBA obtains from the Economic Census are 
national data. While the Economic Census does publish a Geographic 
Series of the data, application of those data to evaluating and 
establishing size standards would be cumbersome and time consuming at 
best, resulting in a very complex set of size standards that would 
likely be

[[Page 85856]]

unusable. For example, in Federal contracting, how would a contracting 
officer set the size standard on a contracting opportunity? Would it 
depend on the contracting officer's location, on the location of the 
Agency's headquarters, or on the place of delivery of the product or 
service? What about multiple delivery locations? On the location of the 
prospective contractor? On the location of the prospective contractor's 
headquarters? What about subcontractors, since size standards apply to 
subcontracts as well? The same questions could be asked about them, 
which would affect a prime contractor's ability to bid. Would this 
encourage firms to relocate based upon perceived favorable size 
standards? That would defeat the purpose behind geographic 
distinctions. The undue complexity and resulting confusion would render 
geographically based size standards unusable, for all practical 
purposes.
     Are there alternative approaches that SBA should consider 
for determining small business size standards?
     How have SBA's latest size standards revisions impacted 
competition in general and within a specific industry?
     Are there alternative or additional factors or data 
sources that SBA should consider when establishing, reviewing, or 
revising size standards?
     Does SBA's current approach to establishing or modifying 
small business size standards make sense in the current economic 
environment?
    SBA encourages the public to review and comment on the Revised 
Methodology, which is available at www.sba.gov/size as well as at 
www.regulations.gov. SBA will thoroughly evaluate and consider all 
comments and suggestions when finalizing the 2023 Revised Methodology, 
which the Agency will apply in the forthcoming, third five-year review 
of size standards as required by the Jobs Act.

Isabella Casillas Guzman,
Administrator.
[FR Doc. 2023-27053 Filed 12-8-23; 8:45 am]
BILLING CODE 8026-09-P