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4 documents available with AI summaries
This OCDS record details Bedford Borough Council's direct award process for Public Health Enhanced Services, encompassing the provision of Long-Acting Reversible Contraception (LARC) and Chlamydia/Gonorrhoea screening and treatment for various primary and community care providers.
This tender seeks providers (GPs, primary care, pharmacies, community settings) for Long-Acting Reversible Contraception (LARC) services and Chlamydia/Gonorrhoea screening and treatment under the Public Health Enhanced Services (PHES) offer.
Bedford Borough Council is seeking GPs, primary care, pharmacies, and community health settings to provide Long-Acting Reversible Contraception (LARC) and Chlamydia/Gonorrhoea screening and treatment services under a Direct Award Process B.
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This tender for primary care sexual and reproductive health services, while addressing a vital public need, suffers from significant transparency and completeness issues, notably the classified value, inaccessible key documents, and absence of evaluation criteria.
The tender explicitly references the UK's Health Care Services (Provider Selection Regime) Regulations 2023 for a 'Direct Award Process B', indicating adherence to a specific national legal framework. However, the initial 'Open procedure' label is misleading given the direct award nature. Critical omissions include explicit mandatory exclusion grounds and financial requirements, and the failure to provide an accessible official PDF version raises concerns about full disclosure.
The description of the required services and technical capabilities is clear and well-defined for the target providers. However, the tender lacks clarity regarding the overall procurement procedure (conflicting 'Open' and 'Direct Award B' labels), and critically, no evaluation criteria or detailed submission requirements are specified.
While basic information like title, organization, deadlines, and duration are present, the tender is significantly incomplete. The estimated value is classified, the official PDF document is inaccessible, and crucial details such as mandatory exclusion grounds, financial requirements, and comprehensive submission instructions are missing. Evaluation criteria are also absent.
Fairness is severely compromised by the classified estimated value, the complete absence of evaluation criteria, and the failure to provide access to the official PDF document. The lack of e-submission also creates potential barriers. While the technical requirements do not appear tailored, the overall transparency and equal access are significantly hindered.
Practicality is low due to the absence of electronic submission capabilities and the classified estimated value, which makes it difficult for potential providers to assess the commercial viability. The critical failure to download the official PDF document also presents a significant practical barrier to participation.
Most core data fields are consistent, including dates and basic organizational information. The primary inconsistency lies in the conflicting description of the procedure as 'Open' while simultaneously stating it's a 'Direct Award Process B'. Minor fields like 'Liable Person' and procedure codes are also unpopulated.
The tender shows no explicit integration of green procurement, social aspects, or innovation focus. There is no indication of EU funding, which often drives higher sustainability standards.
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