Government Services Corp. v. United States

131 Fed. Cl. 409, 2017 U.S. Claims LEXIS 265, 2017 WL 1192918
United States Court of Federal Claims·Decided March 30, 2017·No. 15-666 C·Published·Cited by 2 cases

Opinion

Breach Of Contract; Breach Of Covenant Of Good Faith And Fair Dealing; Breach of Implied Contract; Contract Disputes Act (41 U.S.C. § 7104); Counterclaims (28 U.S.C. § 2508); False Claims Act (31 U.S.C. § 3729); Federal Acquisition Regulation (“FAR”) 48 C.F.R §§ 1.104, 2.101, 12.604(c), 14.208(a), 14.301, 33.211, 52.212; Rules of The United States Court Of Federal Claims (“RCFC”) 6(b)(1) (Extending Time), 8 (General Rules Of Pleading), 12 (Defenses And Objections), 15(a)(2),(3) (Amended Pleadings), 56(a) (Summary Judgment); Special Plea In Fraud (28 U.S.C. § 2514); Uniform Electronic Transaction Act (“UETA”), Idaho Code Ann. § 28-50-115.

MEMORANDUM OPINION AND ORDER GRANTING-IN-PART AND DENYING-IN-PART THE GOVERNMENT’S CROSS-MOTION FOR SUMMARY JUDGMENT

SUSAN G. BRADEN, Chief Judge

This Memorandum Opinion And Order adjudicates Cross-Motions For Summary Judgment filed in a breach of contract case initiated by Government Services Corporation, a corporation with its principal office and place of business in Moscow, Idaho.

*413 To facilitate review of this Memorandum Opinion And Order, the court has provided the following outline:

I. RELEVANT FACTUAL BACKGROUND.

II. PROCEDURAL HISTORY.

III. DISCUSSION.

A. Jurisdiction.

1. Counts Alleged By Plaintiffs October 7,2015 Amended Complaint.

2. Counterclaims Alleged By The Government’s December 10, 2015 Answer.

B. Standing.

C. Standard Of Review For A Motion For Summary Judgment, Pursuant To RCFC 56.

D. The Parties’ Cross-Motions For Summary Judgment.

1. Plaintiffs September 15, 2016 Motion For Summary Judgment.

2. The Government’s September 15, 2016 Cross-Motion For Summary Judgment And Counterclaims.

3. Plaintiffs October 17, 2016 Response.
4. The Government’s October 17, 2016 Response.
5. The Government’s November 3, 2016 Reply.
6. The Government’s March 20, 2017 Supplemental Brief.

E. The Court’s Resolution.

1. Claims Alleged By Plaintiffs October 7,2015 Amended Complaint.

a. Counts One And Two: Cardinal And Constructive Change.

b. Count Three: Implied-In-Fact Contract.

c.Count Four: Breach Of Duty Of Good Faith And Fair Dealing.

2. Counterclaims Alleged by The Government’s December 10, 2015 Answer.

IV.CONCLUSION.

I. RELEVANT FACTUAL BACKGROUND. 1

On Monday, November 5, 2012, at 1:34 PM Eastern Standard Time (“EST”), 2 in response to a declared State of Emergency after Super Storm Sandy, the United States Department of Homeland Security (“DHS”), acting through United States Customs and Border Protection (“CBP”), issued Solicitation Number 20074623 (“the Solicitation”), for an estimated 40,000 gallons of fuel to be delivered to John F. Kennedy International Airport (“JFK Airport”). Am. Compl. Att. 1 at 1; Gov’t App’x at A8-A9. The Solicitation was posted on www.Fedbid.com, the Internet-based reverse auction marketplace. Am. Compl. Att. 1 at 1; Gov’t App’x at A8. On that same day, at 2:52 PM, the Solicitation was amended to state that CBP needed “a vendor to provide a gasoline tanker at JFK [I]nternational Airport. The estimated amount of regular unleaded gasoline required is 40,000 gallons[.] Also, this will be dispensed from the track to the tank, Vendors should include all taxes in the price of fuel.” Am. Compl. Att. 2 at 2; Gov’t App’x at A17. The Solicitation, as amended, stated that the auction period would end at 4:30 PM that same day. Am. Compl. Att. 2 at 1; Gov’t App’x at A17.

At the close of the auction period, Government Services Corporation (“GSC”) was listed as the “lead” contractor, because it offered the lowest bid price. Gov’t App’x at A14. On that same day, at 5:27 PM, Mr. Matt Ruck, GSC’s President, sent an e-mail to Mr. *414 Ebrima Conteh, the CBP Contracting Officer (“CO”) and Contracting Specialist (“CS”), identified in the Solicitation, stating that: “I am trying to schedule the loads. Can you confirm a contract award yet. I don’t need the paperwork yet but I do need [i]n writing from you [to] go ahead.” Gov’t App’x at A27. The CO responded a minute later that he was attempting to “coordinate with Avis Car rental.” Gov’t App’x at A27; 9/9/16 Conteh Deck ¶ 9 (explaining that CPB intended to make use of Avis Rent-a-Car’s underground storage tank).

On that same day, at 6:02 PM, the CO sent an e-mail to Mr. Ruck, stating:

What CBP needs currently is a Fuel tank with capabilities to dispense fuel into our employee’s personal own vehicles. Also, we will require you to accept personal credit cards from CBP employees. Although I cannot guarantee that you will sell all the fuel; I estimated that the current need for fuel is approximately 80,000 gallons. 40,000 gallons for JFK [A]irport and 40,000 for Newark [Liberty Airport.

Gov’t App’x at A30. 3

At 7:60 PM, Mr. Ruck replied to the CO: “I have required arrangements in place and am dispatching trucks. If you want to send the orders we will be ready.” Gov’t App’x at A27.

At 8:19 PM, 4 the CO sent an e-mail to Mr. Ruck “to inform you of the selection of your company to bring fuel trucks to John F. Kennedy International Airport and Newark Liberty [International Airport and sell fuel directly to US Customs Employees.” Am. Compl. Att. 3; Gov’t App’x at A35.

At 10:04 PM, Mr. Ruck replied by an email to the CO: “I need exact location and on site contact information for these two locations.” Gov’t App’x at A124. After dispatching multiple fuel trucks to both JFK Airport and to Newark Liberty International Airport (“Newark Airport”), GSC allegedly learned for the first time that this was not a bulk delivery to underground storage tanks, but required gas-station style services to CBP employees and acceptance of payments, via debit cards and credit cards, from the individuals purchasing gasoline. Am. Compl. ¶¶ 11-13.

Free access — add to your briefcase to read the full text and ask questions with AI

Government Services Corp. v. United States, 131 Fed. Cl. 409, 2017 U.S. Claims LEXIS 265, 2017 WL 1192918 (uscfc 2017).

131 Fed. Cl. 409 (Government Services Corp. v. United States) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related