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US 116353 Dr Len Mortimer.

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Presentation on theme: "US 116353 Dr Len Mortimer."— Presentation transcript:

1 US Dr Len Mortimer

2 Supply Chain Management
Unit Standard Supply Chain Management

3 Unit Standard Outcomes (6)
OUTCOME 1: Apply legislative requirements governing supply chain management OUTCOME 2: Manage risks in supply chain management processes OUTCOME 3: Delegation supply chain management powers and functions OUTCOME 4: Comply with required ethical standards applied in municipal supply chain management OUTCOME 5: Develop and evaluate a municipal supply chain management policy

4 Unit Standard Purpose (8)
The unit standard and module purpose is to provide learners with a broad understanding of Supply Chain Management (SCM) in the public sector and specifically the municipal environment, as well as an understanding of the legislation, regulations and guidelines within which SCM occurs. Key aspects of the best practice model and supply chain management policy will be explained and analysed.

5 ASSESSMENT INSTRUCTIONS FOR TAKE HOME ASSIGNMENT and TEST
Available on the website

6 US116353 Question You have been appointed as the Director: Supply Chain Management. As a first responsibility you scheduled a meeting with the external auditors. The Auditor-General (AG) report for the City of Matlosana Local Municipality is loaded on the website. The report should be downloaded and used to answer the question below.

7 US116353 Refer to findings of the AG report, as it relates to the procurement processes and analyse each of the findings individually. Use the course notes, the latest SCM regulations, your own municipalities’ SCM policy, and identify detailed policies and controls that should be implemented to reduce the number of findings reported by the external auditors. Each individual finding should at least have three recommendations that you will apply to enhance the control effectiveness in the SCM directorate.

8 US116353 - Assessment Plan ACQUISITION DELEGATIONS DISPOSAL SCM POLICY
CLASS TEST Test learner’s understanding of: Supply chain management and applicable financial and other legislation, regulations and policy. ACQUISITION DELEGATIONS DISPOSAL SCM POLICY

9 READ List of abbreviations (21 – 23) Glossary of terms (23 – 25)

10 Revision PP regulations
 The main changes contained in the revised regulations are as follows: Previously bidders scored a maximum of 80 or 90 points for price, and 20 or 10 points for black ownership and for promoting specified RDP goals. The points for price will remain unchanged, while bidders will now score up to 20 or 10 points for their B-BBEE status level of contribution.

11 All bidders have to submit BEE rating certificates, issued by either verification agencies accredited by the South African Accreditation System (SANAS) or by registered auditors approved by the Independent Regulatory Board for Auditors (IRBA).

12 The new regulations became effective from 7 December 2011 to allow enterprises to become BEE rated.
PREFERENTIAL PROCUREMENT POLICY FRAMEWORK ACT, 2000: PREFERENTIAL PROCUREMENT REGULATIONS, 2017 AMENDMENTS 80/20 preference point system for acquisition of goods or services for Rand value equal to or above R and up to R50 million 90/10 preference point system for acquisition of goods or services with Rand value above R50 million

13 TREASURY CIRCULAR MUN NO 11 OF 2014
ISSUING OF STANDARD OPERATING PROCEDURE MANUAL FOR EXPENDITURE MANAGEMENT The manual covers the following sub-processes of the expenditure cycle: 137 pages Chapter 1: Ordering Chapter 2: Receiving Chapter 3: Invoicing Chapter 4: Cheque payments Chapter 5: EFT payments Chapter 6: Reconciliation.

14 TENDER & QUOTATION LEGISLATIVE REQUIREMENTS:
Regulations and Policy must be read together – (Numbering are the same)

15 Unit 1 – Introduction to SCM in the Public Sector (29)
CHAPTER 1 MMC US116353 Unit 1 – Introduction to SCM in the Public Sector (29)

16 Unit 1 – Introduction to SCM in the Public Sector (30)
Learning outcomes: Understand the need for transformation of SCM Understand the legislative framework, regulations and guidelines for SCM and be able to apply these Be able to identify the key SCM principles and the strategic nature of SCM in the delivery of services Understand the key elements, concepts and objectives for inclusion in SCM policy – aligned to legislation and regulations Be able to identify the role players, structures, and processes required to effectively perform the SCM function Understand the delegation of powers and responsibilities within SCM Understand the ethical standards and codes of conduct as relate to SCM

17 Key concepts (30 – 31)

18 What is Supply Chain Management (SCM)? (31)
“SCM in the public sector can be defined as an integral part of Financial Management that seeks to introduce internationally accepted best practice. It bridges the gap between traditional methods of procuring goods and services and the balance of the supply chain whilst addressing procurement related matters that are of strategic importance.” (Policy to Guide Uniformity in Procurement Reform Processes in Government: 2003) I Smith 2003

19 Definition of SUPPLY CHAIN MANAGEMENT
“Supply Chain Management (SCM) is the process of planning, implementing and controlling the operations of a supply chain with the purpose to satisfy customer requirements as efficiently as possible.” “The supply chain is the combination of all parties (e.g. external suppliers, partner organisations, internal corporate service units etc.) both inside and outside the organisation, involved in delivering the inputs, outputs or outcomes that will meet a specific public sector requirement.”

20 Perspectives/Dimensions of: THE SUPPLY CHAIN
DEMAND SUPPLY Point of origin Consumption Transactions Planning Budgeting Sourcing/Procuring Receiving Storing Distributing Demand Acquisitions Logistics and Inventory Distribution/disposal Management Management Management Management Information flows Goods/services flows Financial Flows

21 Characteristics of SCM (34)
Designed to optimise factors of material cost, quality and service Includes ongoing monitoring and research into the organisation’s supply chain environment Consolidates various operating activities to ensure a more integrated approach Collaborates with the I/T function to develop a data management system which facilitates strategic supply planning Incorporates improved supplier relationship management: Identifies, evaluates, elects, manages and develops suppliers to realise supply chain performance Develops longer term win-win relationships between the buying entity and specifically-selected suppliers Focuses on direct, concrete, on-site and frequent help to suppliers in exchange for dramatic and continuous performance improvements

22 History of SCM in the Public Sector (37 – 41)

23 The General Procurement Guidelines (45)
The Five Pillars of Procurement: (45) Value-for-money Open and effective competition Ethics and fair dealing Accountability and reporting Equity

24 FIVE PILLARS OF PROCUREMENT p46-50
Proper and successful government procurement rests upon the five pillars of procurement One of the pillars broken – entire system fails FIVE PILLARS OF PROCUREMENT 1. VALUE-FOR-MONEY 2. OPEN AND EFFECTIVE COMPETITION 3. ETHICS AND FAIR DEALING 4. ACCOUNTABILITY AND REPORTING 5. EQUITY

25 SCM legislative framework (52)
PFMA BBBEEA/ guidelines MFMA Systems/ Structures Acts SCM policies, procedures PAJA Asset transfer reg. EXTRAS Codes of Conduct The Constitution N/T Regs and guidelines Policies procedures N/T SCM regs, guides, circulars PPPFA and N/T regs

26 The Legislative framework p54
Constitution S216(1), 217(1),(3), See next slides PFMA S5,76(4),(c), PPPFA MFMA S112(1),

27 The Constitution p54 S216(1) “National legislation must establish a national treasury and prescribe measures to ensure both transparency and expenditure control in each sphere of government, by introducing: Generally recognised accounting practice Uniform expenditure classifications Uniform treasury norms and standards”

28 FINANCIAL MANAGEMENT LEGISLATION p54
Constitution S217(1)“When an organ of state in the national, provincial or local sphere of government, or any other institution identified in the national legislation, contracts for goods or services, it must do so in accordance with a system which is fair, equitable, transparent, competitive and cost-effective.” S217(3) issues national legislation with the requirement to prescribe a framework which provides for preferential procurement to address social and economic imbalances of the past.

29 MFMA p55 Sect 112(1) “The Supply Chain Management policy of a municipality must be fair, equitable, transparent, competitive, and cost-effective and must comply with a prescribed regulatory framework for municipal supply chain management…”

30 ENABLING LEGISLATION FOR THE PREFERENTIAL PROCUREMENT SYSTEM (PPPFA) p55
PPPFA gives effect to S 217 (3) of the Constitution Provides framework for implementation of procurement policy contemplated in S 217(2) of the Constitution Provide for matters connected therewith

31 PPPF Act and BBBEE Act Together with the Preferential Procurement Regulations gives effect to S217(3) of the Constitution (56) This was followed by the Broad Based Black Economic Empowerment Act (57)

32 SCM Role-players, Functions and Support structures (59)
National Treasury Provincial Treasury Municipal Council and Councillors The Accounting Officer Supply Chain Management Units Bid Specification Committee Bid Evaluation Committee Bid Adjudication Committee

33 National Treasury role (62)
Establish an SCM office Monitor implementation of SCM across government Develop policies, procedures, practices etc. for all spheres of government – to achieve broader policy objectives Policy for consultants, construction standards, transversal contracts, reporting requirements Receive complaints from bidders/suppliers Maintain a “bad list”

34 Provincial Treasury role
Establish provincial SCM offices Monitor province and municipal implementation of SCM Promote co-operative governance Measure improvements in SC performance Take intervention measures when necessary

35 Municipal Councils and Councillors p64
Oversee financial management and service delivery Approve the SCM policy Monitor and evaluate SCM implementation process through regular reporting

36 Political and Administrative structures p65
COMMUNITY Accountability Policy and Direction MUNICIPAL COUNCIL Council Committees Executive Mayor or Committee Advisory Committees Municipal Manager Administration

37 The Financial Governance Framework (66)
Responsible for Oversight over Accountable to Council approving policy Mayor Community Mayor Policy, budgets, AO Council AO Outputs and Implementation Administration Mayor, Council CFO Outputs Financial AO Management

38 Accounting Officer (68) Is ultimately accountable for all expenditure
Implementation of SCM system Establish a SCM unit Develop SCM policy Establish the SCM committees Ensure adequate controls Ensure adequate anti-corruption mechanisms Etc.

39 SCM Units p69 SCM units must be established within all municipalities
Units must have necessary capacity and skills The necessary delegations must be established

40 Bid Specification Committee 70
Must approve specifications Specifications must be reasonable, fair, and meet necessary standards Must establish a points systems and evaluation criteria for bids Determine BEE goals

41 Bid Evaluation Committee 71
Evaluate bids i.t.o. the predetermined specifications Evaluate bidders i.t.o. their ability to deliver, SARS status, N/T’s “bad list”

42 Bid Adjudication Committee 72
Must consider the BEC recommendations Make the final award Establish: That all documentation was in order Disqualifications are justified Scoring has been fair, etc. Bidders declarations of interest have been considered Etc.

43 COMMITTEE SYSTEM FOR COMPETITIVE BIDS cont. p74
PLEASE NOTE: Neither a member of a Bid Evaluation committee, nor an advisor or person assisting the Evaluation Committee may be a member of a Bid Adjudication Committee. The AO may at any stage of the bidding process, refer any recommendation made by the BEC or the BAC back to that committee for reconsideration of the recommendation. No municipal councillor or public sector official should be allowed to do business with the State.

44 SUPPLY CHAIN MANAGEMENT POLICY p74
S111 of the MFMA is very specific in the requirements of a Supply Chain Management Policy (SCMP) within a municipality and gives Effect to S217 of the Constitution. The SCMP must be fair, equitable, transparent, competitive and cost-effective; comply with the regulatory framework for municipal supply chain management; be consistent with other applicable legislation and with the national economic policy concerning the promotion of investments and doing business in the public sector; not undermine the objective of uniformity in SCM systems between organs of state in other spheres;

45 SCM Policy Must cover: The full range of processes – including tenders, quotations, auctions and other types of competitive bidding When a particular process may be used Procedures for more flexible processes where the value is below the prescribed amount Open and transparent processes for tenders or other bids Competitive bidding processes – in which only pre-qualified persons may participate Procedures for opening, registering and recording of bids For evaluating of bids, negotiating final terms, approving of bids Screening processes etc

46 SCM Policy p76 Include measures for: Combatting fraud and corruption,
Combatting favouritism and unfair and irregular practices The invalidation of recommendations or decisions that were unlawful or improperly made Contract management and dispute settling procedures The delegation of SCM powers and duties.

47 Delegation of SCM Powers and Duties (78)
S79, 82, and 106 of the MFMA allow the AO to sub-delegate decision-making powers to officials. Delegations must be in writing and approved in line with the SCM policy. Delegation should relate to the acquisition of goods and services as well as the disposal an letting of assets Delegations should only be i.t.o. procurement value (see page 61)

48 DELEGATION OF SUPPLY CHAIN MANAGEMENT POWERS AND DUTIES p78
CONTRACT AMOUNT(VAT INCLUDED) SUB-DELEGATIONS ALLOWED Above R10 million May not be sub-delegated by an Accounting Officer Above R2 million, but not exceeding R10 million May be sub-delegated but only to: Chief Financial Officer (CFO) A senior manager; or A Bid Adjudication Committee (BAC) of which the CFO or senior manager is a member. Not exceeding R2 million A manager directly accountable to the CFO or senior manager; or A BAC not including the CFO or senior manager.

49 Reporting in terms of delegated powers p80
The amount of the award The name of the person to whom the award was made; and The reason why the award was made to that person.

50 Oversight p80-81 RESPONSIBLE PERSON TIMELINE REPORT PRESENTED TO
CONTENTS AO of municipality Within 30 days of the end of the financial year Council of the municipality. Report on the implementation of the SCMP of the municipality and any municipal entity under its control AO of municipal entity Within 20 days of the end of the financial year Board of Directors of the entity. Subsequently to AO of municipality for reporting to municipal council. Report on the implementation of the SCMP of the municipal entity AO of municipality or AO of municipal entity Within 10 days of the end of each quarter Mayor Board of Directors

51 External Reporting Requirements 82
Information on successful bids should be made available on the municipality’s website – stating: Name of successful bidder The contract price Brands Delivery basis Etc. Any bidder requesting such information should be given the reason for why his/her bid was unsuccessful

52 Ethics and Codes of Conduct – in SCM 82
It is the responsibility of the AO, through the SCM policy, to: Take reasonable steps to prevent abuse of the SCM system To investigate all allegations against an official or other role-player of fraud, corruption, favouritism, unfair or irregular practices – and to take appropriate steps where required To ensure the bidder is not on the official list of defaulters or restricted suppliers To reject a bid where there is tax default or previous failure to perform

53 Combating abuse of SCM p83

54 The definition of fraudulent or corrupt activities 84
Corrupt practice Means the offering, giving, receiving or soliciting of anything of value to influence the action of a public official in the selection process or in contract execution Fraudulent practice Means a misrepresentation of facts in order to influence a selection process or the execution of a contract to the detriment of the Accounting Officer, and includes collusive practices amongst bidders/contractors designed to establish prices at artificial, non-competitive level and to deprive the Accounting Officer of the benefits of free and open competition.

55 Ethical Standards and Codes of Conduct (85)
A code of conduct is a set of moral principles or values used by an organisation to steer the conduct of both the organisation itself and its employees in all their business activities both internal and in relation to the outside world. (Institute of Management)

56 Ethical Standards and Codes of Conduct p85
The policy on SCM related ethical behaviour should cover: Acceptance of gifts, etc. Dealing with suppliers Handling quotations and bids Dealing with confidential information Behaviour in negotiations Possible conflicts of interest

57 Ethical Standards and Codes of Conduct p85
There should be: Code of conduct for Councillors (MSA) Code of conduct for municipal staff Code for SCM practitioners Code for bid Adjudication Committees

58 Ethical Standards and Codes of Conduct p86
The SCM Practitioners code should cover: Conflicts of interest Accountability arrangements Openness requirements Confidentiality requirements Prevention of “combative practices”

59 Summary of Unit 1 Page 86

60 LEARNING ACTIVITY p88

61 Learning task Page 88 to 93

62 Perspectives/Dimensions of: THE SUPPLY CHAIN
DEMAND SUPPLY Point of origin Consumption Transactions Planning Budgeting Sourcing/Procuring Receiving Storing Distributing Demand Acquisitions Logistics and Inventory Distribution/disposal Management Management Management Management Information flows Goods/services flows Financial Flows

63 CHAPTER 2 MMC US116353 Unit 2 - Elements of a World-class SCM model: Demand and Acquisition Management

64 Unit 2 – Elements of a World-class SCM model: Demand and Acquisition Management (95)
Outcomes: Be able to identify key elements of government’s SCM model Have a more detailed understanding of Demand Management and how the SCM function must be incorporated into the overall strategic planning process of the municipality in order to ensure efficient and effective delivery of services Understand how a 3 year procurement plan can assist the municipality in developing strategic relationships with suppliers/service providers

65 Outcomes continued: Understand the various methods of acquiring goods and services as well as the specific processes to be followed depending on the threshold of a particular purchase/bid Understand the implementation requirements of the PPPFA and regulations, especially with regard to the Preferential Points System and calculations thereof.

66 Outcomes continued: Know where to source the correct documentation to be included in bid documentation and which documentation is to form the content of the legally binding contract between the municipality and the successful bidder Understand certain specialised sourcing such as the procurement of consulting skills, bulk water and electricity, information technology equipment through the State Information Technology Agency (SITA)

67 Introduction to Government’s SCM model (98)
The model: Subscribes to international best practice Forms an integral part to management and is linked directly to the budget planning process Addresses government’s preferential procurement objectives It attempts to add value at every stage of the supply chain

68 Government’s SCM model (101)
SUPPLY CHAIN MANAGEMENT DEMAND ACQUISITION Infrastructure systems objectives PPP LOGISTICS DISPOSAL SUPPLY CHAIN PERFORMANCE Risk management and contract management DATABASE/S

69 Demand Management (102) "Demand Management" is about having a unified view of all demand from programmes/projects in your organization so you can align and prioritize the requests with the needs of your organization. It also provides a way to control the life cycle of the demand process. Demand Management for an organization must accomplish three things: Provide a governance mechanism which includes a best practice framework. Provide a standardized method for collecting requests from the organisation. Accumulate all requests in a central repository to keep everything organized and provide visibility.

70 The Demand Management system (102)
The system must: Include timely planning and management processes Consider any benefits of economies of scale Provide for the compilation of the required specifications Include appropriate industry analysis and research

71 The planning process (103)
7.1.4 Strategic SCM Key steps: Consider from where requirements can be sourced Assess market characteristics and decide how the market is going to be approached for external sourcing Consider aspects of BEE, SMMEs, HDI extending opportunities for supplying goods/services, making use of labour intensive methods etc.. Establish total cost of ownership of a particular asset Development of specifications / terms of reference

72 The Demand Management process (104)
“An effective system of SCM requires an Accounting Officer …. to ensure that the resources required to support the strategic and operational commitments of an institution are properly budgeted for and procured at the correct time. Planning for the procurement of such resources must take into account the period required for the competitive bidding processes. It must therefore be emphasised that a lack of planning does not constitute a reason for dispensing with the prescribed bidding processes” National Treasury

73 Key SCM steps in Strategic Planning process
Page

74 Flow chart of the Demand Management process
Page 107

75 Development of a Procurement Plan (108)
The plan is useful in assisting municipalities in defining their SCM needs aligned to the IDP and SDBIP. Alignment with the IDP is critical in the case of capital projects. The plans should be undertaken by a cross-functional team and should consider: Expenditure and growth trends Types and quality of goods/services Estimates of quantities and timing of delivery General availability of goods/services – and potential alternatives.

76 Development of a Procurement Plan continued… (108)
The procurement plans are consolidated. This assists in: Identifying or verifying areas where joint bids can be undertaken to achieve savings and strategic alliances with suppliers Encouraging a more competitive market and improved supplier and municipal planning Suppliers respond better when given advance warning These plans are indicative plans and do not commit the municipality to its intentions.

77 Development of a Procurement Plan continued… (108-)
Plan includes the following detail per procurement: Capital or operating budget purchase? Category of spend Vote and accounting code Estimated value Description/specifications/terms of reference Area where required Department specific or Municipality wide Date current contract expires Contact person and contact details

78 Preparation of specifications (109)
The following should be considered: Should clearly and precisely indicate the work to be carried out, the location, goods to be supplied, minimum performance requirements, etc. Bidding documents should define the tests, standards etc. to be employed Drawings to be consistent with text of the specifications Specifications to be based on relevant characteristics References to brand names etc should be avoided

79 Needs assessment, Market analysis and Industry supply analysis (110)
Once the internal assessment has been documented in the Plan, external analysis is necessary SCM strategies based on market and specific industry research/analysis which respond to the needs identified must be undertaken When analysing the external environment two aspects should be considered: Supplier market (110) Supplier networks (110)

80 Market Assessment table
Page 111

81 Supplier relationship management and strategic alliances (112)
Because municipalities and suppliers are strategically linked through systems which allow for the flow of materials, services, information and funds – an integrated management philosophy is required Municipalities can positively influence supplier performance by managing the relationship in an agreed framework In order to establish strategic alliance the following should be assessed: Mission-critical municipal processes and functions Key internal and external dependencies External influences that may impact of critical processes and functions

82 Transactional vs. Alliance relationships
Page 113

83 The Contingency model to evaluate strategic alliances (114)
Developing strategic alliances is aligned to the contingency view regarding the characteristics of the given situation It calls for fitting the structure of the organisation to various possible situations Decisions are regarded as strategic if they are of significant to the future of the municipality e.g. Entering into a PPP or a long term contract. The wrong decision could have disastrous service delivery, financial, etc. consequences It is therefore critical to study how the circumstantial factors affect the decision-making process and the sought after outcomes

84 Appropriateness of Strategic Alliances (115)
The development of strategic alliances must always be considered in the context of the SCM legislation and regulations The possibilities of developing a strategic alliance should be highlighted in the tender documentation.

85 ACQUISITION MANAGEMENT (116)
Involves the management of procurement to ensure that: Goods/services are only procured i.t.o. authorised processes The expenditures are i.t.o. an approved budget Threshold values of different procurement processes are adhered to Bid documentation, evaluation and adjudication criteria and general conditions of contract accord with the legislation Treasury guidelines and regulations are adhered to In general: Compile bid documentation including evaluation criteria Evaluate bids i.t.o. evaluation criteria Ensure proper contract documentation is signed

86 VAT 15 references to VAT in model policy –all vat included IN THRESHOLDS STATED

87 Public invitation of Bids (128)
According to section 22 of the Municipal Supply Chain Management (SCM) Regulations, the bid needs to be advertised for a minimum period of not less than 30 days before closure in the case of: transactions over 10 million rand (VAT included), or of a long term nature, or 14 days in any other case. If the closing date for submission of bids is less than the 30 or 14 days requirement, then the reasons were recorded to be on the grounds of it being an urgent or emergency case or in exceptional cases impractical to be advertised for the required number of days.

88 A long term contract in terms of the SCA Policy and the SCM Regulations means a contract for a period exceeding/over one year.  In terms of the Preferential Procurement Policy Framework Act, 5 of 200)(“PPPFA”) a “contract” is an agreement resulting from the acceptance of a tender by an organ of state.

89 Uniformity in SCM practices (116)
Is ensured through: Uniformity in bid procedures, policies and control measures, including: Uniform procurement policy Easy to interpret, cost effective, quick, transparent bidding procedures Uniformly applied SC system across government Uniformity in bid documentation and contracts: Documents must define the rights, risks and obligations. The nature, quality, quantity of the goods/services Documents must include bid conditions, specifications, the bid itself, delivery standards

90 Range of Procurement processes
Page

91 Database of Accredited Prospective Providers (120)
The AO is required to compile a list of accredited prospective providers – and to ensure: The list is used to promote the PP regulations and BBBEE Act Annually invite new prospective providers to apply for inclusion The listing criteria include compliance with: SARS clearance requirements Occupational Health and Safety Act The list is updated at least quarterly

92 Information required for Quotations (121)
Must contain: Full name ID number or company registration number Tax reference and Vat reference number Authorisation to obtain a SARS clearance certificate Whether the provider is in the service of the state or has been in the previous 12 months Whether the spouse, child or parent of the provider is in the employ of the state or has been in the past 12 months

93 Negotiations with Suppliers (122)
Can only be done with AO approval and in the following circumstances: Urgent needs for goods, works or services On the occurrence of a catastrophic event where other procurement methods are impractical Emergency cases Bidders were identified through a competitive bidding process The AO must record and approve the reasons for such deviations or ratifications and report quarterly to the Council and include a note in the annual financial statements

94 Process for Competitive Bidding (122)
Goods/services in excess of R may only be procured through a competitive bidding process The objective of this process is to provide all prospective bidders with timeous and adequate notification of the requirement – and an equal opportunity to bid.

95 Deviations and ratifications
Page 124

96 Standard Competitive process (124)
Per the NT SCM guide for AO’s Properly plan for, and accurately estimate the costs of the goods/services Compilation of bidding documentation Public Invitation for bids Handling, opening and recording of bids submitted Evaluation of bids Contracting with winning bidder

97 Bid Documentation Documentation: page 125- Key inclusions:
Evaluation and adjudication criteria Compel declarations of conflict of interest Requirement of SARS certification Additional requirements for bids above R10m Statement that any outstanding disputes must be settled Details of surety required Certificate from Dept. of Labour indicating compliance

98 Public Invitation of Bids (128)
Must be publically advertised Must state: Closure date (as per regulations) That correct documentation must be used The AO can approve an earlier closing date in the case of urgent or emergency situations Bids must be sealed

99 Handling, opening of bids (129)
Bids and quotations must be opened in public – as soon as possible after closure date The AO must: Record all bids in a register Make the register available for inspection Make public the bidders as well as the winning bidder No late bids will be considered

100 Evaluation of Bids (129) The AO must appoint a Bid Evaluation Committee for evaluation of the bids received The Committee is required to evaluate all bids received and to submit a report and recommendations to the Adjudication Committee regarding the awarding of bids.

101 Negotiations with bidders (130)
No communication is allowed with bidders and prospective providers after the closing date and the date of notification Unauthorised communication may lead to the disqualification of a bidder The Head of SCM may communicate with a bidder during the period in particular circumstances middle page 130

102 Discounts and Prices (130)
Unconditional discounts which have been offered may be taken into account when calculating prices Where prices are offered for different periods of the contract, the price per period should be considered as a firm price Evaluation of bids i.t.o. the PPPFA and its regulations must be evaluated in accordance with the prescribed points system LG refer to 2011 regs not 2017

103 80/20 and 90/10 2017 REGULATIONS PPPFA R50 million

104 Clearing successful bidders and Awarding contracts (133)
Steps to be taken: Confirm no conflicts of interest Assessment of possible risks of performance failure Tax clearance “Restricted persons” clearance Negotiations regarding final terms of the contract Signing of contract and service level agreement

105 Requirements for a valid contract (134)
A valid, binding contract is critical between the municipality and the successful bidder – especially for longer term contracts Certain principles must be in all contracts: Requirements for a valid contract ( ) Breach of contract Rules governing termination

106 Contract Administration (135)
Contract management is essential Four key areas of administration: Price adjustments Escalation clauses (135) Rate of Exchange fluctuations (136) Amendments/cancellations/variations and transfers Poor performance 138 Restrictions imposed on contractors, shareholders and directors 138

107 Specialised Procurement (141 - 143)
Consultancy Services ECSA fees exclude VAT Banking Services IT goods and services Contract approved by other organ of state Bulk service purchases Building, engineering or construction works Public, private partnerships Unsolicited bids

108 Consultancies (144) Consultants to be appointed i.t.o. NT SCM guide for Accounting Officers It should be ensured: The consultant is appropriately qualified The consultant is not treated as an employee The consultantcy is subject to a formal contract The AO monitors the Consultants performance i.t.o. the project specifications etc TRANSFER OF SKILLS

109 Appointment of Consultants
Steps to be taken – see pages

110 LEARNING ACTIVITY

111 Learning activity Page 153 to 166

112 CHAPTER 3 MMC US116353 Elements of a world-class SCM model: Logistics, Disposal, Risk and Performance Management

113 Unit 3 – elements of a world-class SCM model: Logistics, Disposal, Risk and Performance Management (168) Outcomes: Be able to identify and understand the key processes involved in municipal logistics management Have knowledge of inventory systems that can be utilised to increase efficiency and effectiveness of logistics Understand the key considerations to be taken into account in warehouse management including optimal utilisation of warehouse space, and safety and security Understand the processes required i.t.o. the MFMA in order to dispose of any asset of a municipality

114 Unit 3 – elements of a world-class SCM model: Logistics, Disposal, Risk and Performance Management
Outcomes continued.. Understand and be able to suggest the most applicable disposal strategy for a variety of asset types Identify the eight key components of the risk management process and how these can be applied to SCM in identifying potential and actual risks List the key areas in which SCM should be undertaken , the manner in which each can be accomplished as well as the benefits of performance management Have knowledge of the required external and internal SCM reporting requirements.

115 Key Concepts Page 169

116 Introductory comment (169)
Unit 2 introduced the key elements of; Demand Management and Acquisitions Management Unit 3 now explains the elements of: Logistics Management Disposal Management Risk Management SCM Performance Management ……………………….. as parts of the SCM model

117 Logistics Management overview (172)
Management of Stock or Inventory includes: Coding of items Analysing product usage and trends Setting inventory levels Placing and expediting orders Receiving and distributing material timeously and accurately Stores, warehouse and transport management functions Minimisation of potential redundant material Generation of timeous payments to suppliers Continuous review of vendor performance A similar process occurs for fixed capital items Efficient logistics management can assist in reducing costs

118 Coding of items (173) The use of a suitable coding system/structure will assist with: Benchmarking of items Spend analysis Standardisation of products Market share analysis Organising of items Finding items in catalogues There should be standardisation of coding across government There are best practice coding systems which are internationally available

119 Inventory Management and Setting of Inventory levels (174)
Efficient inventory management requires finding a balance between holding a large inventory and a small inventory The calculation of optimal stock levels should lead to the minimisation of inventory holding costs, usage of storage space, avoidance of stock becoming obsolete while at the same time ensuring availability of strategic items. Consideration should be given to : Which items and quantities of stock to hold Adding a safety margin to the minimum level

120 Inventory Management and Setting of Inventory levels (174)
Identifying the real reason for holding inventory – which are: To ensure the availability of specific and specialised items of stock Protracted lead times To ensure a continuous supply of inventory for ingoing daily processes and service delivery Also: Seasonal fluctuations require higher stock holdings during peak periods Utilisation of quantity discounts Cost saving through transport in bulk Protection against supply problems and sudden price increases

121 Inventory Management and Setting of Inventory levels continued…. (175)
Differentiating between contract methods and other procedures for purchasing inventories. Contract method: Many items can be grouped against which bids can be invited for medium term contracts This can include a fixed price arrangement and minimum quantity orders The benefits include: reduced documentation, assured availability, less purchasing staff needed Other Procedures MRP 175 JIT 175 ABC analysis 176

122 Placing and Expediting orders (178)
An efficient, timeous system for placing orders is critical – either when: A particular item reaches its minimum level, or A new item is now needed Orders against an existing contract should be placed i.t.o. that contract Orders below R Quotations should be requested form database of accredited suppliers Orders above R An open competitive bidding process should be used Intervention is necessary where orders are not timeously received or properly complied with if service delivery is to be maintained.

123 GOODS AND SERVICES MAY NOT BE DELIBERATELY SPLIT INTO PARTS OR ITEMS OF A LESSER VALUE MERELY TO AVOID COMPLYING WITH THE REQUIREMENTS OF THE SCM POLICY ESPECIALLY WITH REGARD TO THE COMPETITIVE BIDDING PROCESS.

124 Receiving and distributing items timeously (179)
The stores system must be fully integrated into the financial management system to ensure timeous payment On receipt the goods must be verified for correctness. Discrepancies should be followed-up Full records must be maintained for audit The goods must be coded and stored – awaiting usage An issue voucher must be produced for every item issued from the stores

125 Stores, Warehousing and Transport Management (180)
Until municipalities are ready to introduce modern systems for minimising stock holding it is critical to maintain stocks in an efficient, effective and safe way. These higher than necessary stocks have certain advantages: Creates time utility – making goods available when required Makes bulk transport possible which can reduce costs Gains financial advantages through bulk purchasing discounts Protects an organisation against contingencies such as transport delays, stock shortages, strikes Storage has 2 main components: Inventory holding costs warehousing

126 Inventory holding costs (181)
To reduce the costs of holding inventories the need is to reduce the components which make-up the total holding cost INVENTORY HOLDING COSTS Capital Costs (interest) Inventory Investment Own Warehouse Storage Costs (space) Property Tax Rented Warehouse Inventory obsolescence Costs Inventory Risk Costs Damage Theft Inventory Insurance

127 Warehousing (181) The following trends/developments are affecting warehouse management: JIT and reduced inventory Ecommerce and IT advances Bar coding and scanning technology Efficiency and customer service New technologies

128 Warehousing continued… (182)
Design and layout of stores should be done around a forecast of product types and product quantity Safety and Security considerations in the warehouse Stocktaking Transport management

129 Disposal Management (185)
Disposal management is the last step in the SCM process. It ensures best value-for-money of the asset over its full life Disposal management is also directly linked to the Asset Management Strategy and includes: Obsolescence planning Maintaining a data base of redundant material Determining the best disposal strategy Execution of actual disposal strategy.

130 Asset Management, Depreciation and Obsolescence planning (185)
Two main systems of recording income and expenditure: Cash-based system Here the tendency is to always spend on new assets rather than measuring the full and most efficient and effective available use of assets. Maintenance of assets is frequently ignored Accrual-based system Here the focus is on whether the life of the asset can be extended rather than simply replaced. This is possible through the systems information which allows for wider decision-making

131 Asset Management, Depreciation and Obsolescence planning (186)
Each type or sub-type of asset has its own prescribed “useful life” which determines the percentage depreciation charged against it each year. Hence each item of capital expenditure (fixed asset) impacts on the operating budget by increasing the charges against depreciation – as well as interest payable on loans used to finance the capital expenditure items.

132 Asset Management, Depreciation and Obsolescence planning (187)
This concerns assets which are reaching the end of their useful lives and involves disposal of he assets – and their replacement This also concerns aging and inefficient technology When the asset is beyond economic repair it can not serve the purpose for which it was required In the absence of available funds it can sometimes be necessary to repair an obsolete asset even if not cost effective to do so

133 Maintaining a Redundant Material database (187)
A Redundant Material database must be maintained on an on-going basis Redundant (as opposed to obsolete) items are items which are surplus to needs – or which are no longer suitable for their original purpose

134 Disposal Strategy for Assets (188)
When assets are disposed of by selling them, gains or losses are inevitable. The gain or loss is the difference between the net disposal proceeds from the sale and the carrying amount (book value) of the asset. The gain or loss must be disclosed in the financial statements as an item of revenue or expense An asset so disposed of should be eliminated from the fixed asset records and the financial statements All disposal of assets must be conducted in line with S14 and S90 of the MFMA

135 Methods of Disposal (189-190)
Transfer to another organ of state – at market-related value In the case of movable assets. Sell as per price quotation, competitive bid or auction – which ever is the most advantageous Trade in against a new asset Destroy the asset In the case of immovable property. This can only be disposed of at market-related prices

136 Risk and Performance Management (191)
Risk Management – definition: “A continuous proactive and systematic process, effected by the political leadership – accounting officer, management and other personal, applied in strategic planning and across the municipality, designed to identify potential events that may effect the municipality, and manage risks to be within the municipality’s risk tolerance to provide reasonable assurance regarding the achievement of the municipality’s objectives.” NT Risk Management Framework

137 Risk Management continued … (191)
The MFMA S62(1)(c.)(i) indicates that all municipalities “must maintain effective and efficient and transparent systems of financial and risk management and internal control” Risk management includes the identification, consideration and avoidance of potential risks The management of and reduction or mitigation of risk in the SCM process is an important part of developing a business plan for the acquisition of goods/services.

138 Risk Management continued … (192)
The process of risk management follows 4 steps: Objective setting Risk identification Risk Assessment Risk management strategy The process must constantly be assessed, reviewed, and the control environment improved.

139 SCM Risk Identification and Assessment (195 top)
Critical issues: Identify procurement risks on a case-by-case basis Allocate risk to the person best placed to manage the risk The municipality bears the cost of the risk where retaining the risk is less costly than transferring the risk Using a pro-active risk management approach Contract documents clearly assign risks to contacting parties

140 Types of Risks found in SCM
Page

141 SCM Risk Management Strategy (197)
Once potential risks have been identified and prioritised measures should be implemented to reduce or prevent the risk from materialising. Ways of mitigating risks (to be included in the SCM Risk Management Strategy: Insurance Guarantees Performance guarantees Retention money Performance bonds Ethics and fair dealings (198) SCM Risk monitoring and evaluating (198)

142 SCM Performance Management (198)
SCM involves the monitoring, as well as retrospective analysis of the SCM system to determine whether the proper processes are being followed and whether the desired objectives are being achieved. This is undertaken through internal reporting which includes: Achievement of PP goals and objectives Implementation of SCM policies Compliance to SCM norms and standards Savings generated Stores efficiency Contract breach Cost efficiency of the procurement process Consistency of SC objectives with Government’s objectives

143 SCM Performance Management continued…. (200)
Other specific areas of performance management: Contract performance management Performance management of SCM projects Assessment of the SCM function and Internal Service Delivery Assessment of the SCM policy and regulations as well as strategic objectives SCM Implementation check-list Monthly reporting questionnaire to NT

144 SCM Performance Management continued…. (200)
Contract and Supplier performance management Contract management is a key component of supplier relationships and has 3 components; administration, compliance management and performance management Critical to the implementation of good contract and supplier management are the processes of measurement, monitoring and feedback to the supplier/service provider.

145 MANAGEMENT IMPROVEMENT PERFORMANCE MANAGEMENT COMPLIANCE MANAGEMENT
Supplier relationship Management LONG TERM PERFORMANCE MANAGEMENT IMPROVEMENT (are you getting excellent Service from your providers?) PERFORMANCE MANAGEMENT (are you getting more than The minimum, but adequate?) COMPLIANCE MANAGEMENT (are you getting What you paid for?) ADMINISTRATION (what is going on? management 202 Strategic supplier management Supplier relationship management Supplier Relationship management Incentives management Relationship management monitor measure feedback Document financial asset change Management management management management

146 SCM Performance Management continued….
Some key service provider/supplier characteristics which can have a positive or negative impact page

147 SCM Performance Management continued…. (204)
Performance management of SCM Project- related work Additional emphasis is placed on ensuring deadlines are met For civil and large scale contracts formal project management practices are required in order to meet deadlines Key administrative processes with regard to the contract include: Documenting all correspondence and project reports Tracking all progress payments and certification of work completed Compiling all documentation at the close-out of the project

148 SCM Performance Management continued…. (205)
Internal service delivery performance management Just as applies to external suppliers, measurement of the quality of service that internal suppliers supply to internal customers must be managed. Every link in the SC has impact. Internal service delivery is important because: It impacts on the organisation’s ability to meet external customer needs Internal customers determine to a large degree the quality of products and services delivered It is a big contributor to employee satisfaction

149 SCM Performance Management continued…. (206)
Implementation of National SCM Policy and Strategic goals Key target are: page

150 SCM Performance Management continued…. (207)
External Reporting Requirements National Treasury has produced reporting templates: Checklist for the Implementation of SCM – which covers essential areas of performance – page Monthly reporting questionnaires to National Treasury - page 211 Additional reporting requirements: Irregular expenditure page 212

151 LEARNING ACTIVITY

152 Learning task Page 216 to 219

153 Unit 4 – Public, Private Partnerships (220)
PPP’s are a specialised area of SCM Read 1.1- Provides an introduction to Unit Standard

154 SCM & Expenditure management
All expenditure must be in terms of an approved budget If annual budget is not approved before start of the municipal financial year, SCM processes may not be undertaken resulting in unspent conditional grants and poor service delivery. Mayors and councillors may only instruct expenditures to be made through the budget and SDBIP or the revised Mayors may approve unforeseen and unavoidable expenditure within the framework prescribed by regulation 73 of the Municipal Budget and Reporting Regulations Sec19 of MFMA Sec54, sec69, 72 . Risks and benefits should be considered Unforeen and unavoidable – Does not mean poor planning, disaster management

155 Fruitless & wasteful, irregular & unauthorised expenditure CIRC 68
Fruitless & Wasteful expenditure Expenditure that was made in vain and would have been avoided had reasonable care been exercised Example: Paying for goods or services that are not used or consumed Irregular expenditure Expenditure that contravenes the MFMA, the Systems Act, Public Office-Bearers Act, or any of the municipality’s policies or By-laws Examples Awarding a contract that was not subjected to tender procedures Benefits not provided for in the Public Office Bearers Act

156 Fruitless & wasteful, irregular & unauthorised expenditure cont…
Unauthorised expenditure means any expenditure that was not budgeted for or that is unrelated to the municipal department’s function, e.g. Overspending of budget of a vote Using municipal funds to pay for unbudgeted projects A council committee (e.g. MPAC) must investigate the expenditure and may recommend to council that it: Be authorised in an adjustments budget Or recovered from the person responsible for making or approving the expenditure Same process as for irregular expenditure, if it is irrecoverable

157 Recovery of irregular, fruitless & wasteful expenditure
Council does not have the authority in law to authorise irregular expenditure fruitless and wasteful expenditure The municipality must recover such expenditure from the person responsible for making it or approving it A council committee must investigate the recoverability of expenditure taking into consideration regulation 74 of the Municipal Budget and Reporting Regulations If found to be irrecoverable, the committee may recommend that council writes it off

158 Council Oversight Council should:
Monitor implementation of capital projects Assess performance of contractors Municipal contribution to the local economy Adherence to SCM processes ensure efficient and effective financial management and service delivery BBBEE objectives and Preferential Procurement regulations

159 Conclusion Adherence to SCM processes ensures efficient and effective financial management, service delivery and contributes toward clean audit Thank you

160 THANK YOU Dr Len Mortimer


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