East Anglia, United Kingdom
£1
August 31, 2026 at 23:00
Other
001883-2026
For detailed contact information, please refer to the official procurement documents.
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This tender outlines a restricted procedure for catering services but suffers from a critical lack of detailed documentation, evaluation criteria, and a highly questionable estimated value, severely impacting transparency and fair competition.
The tender specifies a Restricted, Competitive flexible procedure, and outlines basic eligibility and technical requirements. However, the stated 'Estimated Value: 1.00 EUR' is a significant legal compliance issue, as it misrepresents the contract's true value and undermines principles of proportionality and transparency. The absence of explicit mandatory exclusion grounds (despite being listed as a category) and detailed evaluation criteria also raises concerns regarding adherence to public procurement regulations.
The general description of the service, location, and the two-stage process (Request to Participate, presentation) is clear. However, the overall clarity for potential bidders is severely compromised by the absence of specific details for technical, financial, and submission requirements, and critically, the complete lack of actual tender documents.
This tender is critically incomplete. The most significant omissions are the complete absence of any attached tender documents, the lack of specific evaluation criteria for both stages of the procedure, and the highly problematic 'Estimated Value: 1.00 EUR'. Furthermore, detailed financial requirements and comprehensive instructions for bid preparation are missing.
While a restricted procedure with a presentation stage can be fair, the current tender's lack of clear evaluation criteria for both shortlisting and the final award stage severely compromises fairness. The statement that the 'Federation will be able to select their preferred company' without transparent criteria creates an environment where the selection process could appear arbitrary or tailored, undermining equal treatment of bidders. The unrealistic estimated value further distorts the competitive landscape.
The requirement to bid for both schools as a single Lot is practical for the contracting authority. The two-stage process (RTP, presentation) is also a standard practical approach. However, the severe lack of detailed information, particularly the absence of tender documents and specific requirements, makes it highly impractical for bidders to prepare a comprehensive, competitive, and compliant offer.
The basic information provided (title, reference, organization, contract duration) is internally consistent. However, the 'Estimated Value: 1.00 EUR' is profoundly inconsistent with any realistic catering contract for two primary schools over 36 months, indicating a significant data error or placeholder that renders the financial information meaningless.
No specific sustainability criteria, such as green procurement or social considerations, are mentioned in the provided information. This represents a missed opportunity to incorporate broader public value objectives into the catering contract.
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