Low RiskDFARSExport Control

252.225-7024Requirement for Products or Services from Afghanistan.

Researched by the BidStride Research Team

What This Clause Requires

DFARS 252.225-7024 — Requirement for Products or Services from Afghanistan.. This clause is part of the Defense Federal Acquisition Regulation Supplement and applies specifically to Department of Defense contracts.

Official Regulation Text

252.225-7024 Requirement for Products or Services from Afghanistan. As prescribed in 225.7703- 4 (b), use the following clause: Requirement for Products or Services From Afghanistan (SEP 2013) (a) Definitions. As used in this clause— (1) “Product from Afghanistan” means a product that is mined, produced, or manufactured in Afghanistan. (2) “Service from Afghanistan” means a service including construction that is performed in Afghanistan predominantly by citizens or permanent resident aliens of Afghanistan. (b) The Contractor shall provide only products from Afghanistan or services from Afghanistan under this contract, unless, in its offer, it specified that it would provide products or services other than products from Afghanistan or services from Afghanistan. (End of clause) [78 FR 59859, Sept. 30, 2013]

Source: eCFR, 48 CFR 252.225-7024 (https://www.ecfr.gov/current/title-48/section-252.225-7024)

Compliance Checklist

  • (b) The Contractor shall provide only products from Afghanistan or services from Afghanistan under this contract, unless, in its offer, it specified that it would provide products or services other than products from Afghanistan or services from Afghanistan.

Flow-Down to Subcontractors

No flow-down required

This clause applies only to the prime contract and does not need to be flowed down to subcontractors.

Frequently Asked Questions

BidStride automatically scans your RFPs for 252.225-7024

Stop hunting through solicitations manually. BidStride identifies every FAR and DFARS clause in your RFP, flags risk level, and surfaces compliance requirements before you submit your bid.

This summary is for informational purposes only and reflects the BidStride Research Team's plain-English interpretation of the regulation. It is not legal advice and does not constitute an attorney-client relationship. Always consult the official Federal Acquisition Regulation (FAR) or Defense Federal Acquisition Regulation Supplement (DFARS) text and qualified legal counsel for compliance decisions.