Compliance requirements
The bidder must confirm that neither the company nor its relevant representatives is subject to exclusion grounds such as convictions for participation in a criminal organisation, corruption, fraud, terrorism-related offences, money laundering, terrorist financing, child labour or human trafficking. The bidder must also confirm compliance with tax and social security payment obligations and disclose any insolvency, liquidation, suspended business activity, serious professional misconduct, agreements restricting competition, conflicts of interest, involvement in preparing the procurement, serious breaches of previous contracts, false or misleading information, failure to provide required information or documents, and breaches of environmental, social or labour law obligations. The bidder must additionally confirm that no applicable national exclusion ground, international sanction or other prohibited circumstance prevents the award of the contract. Where relevant, the bidder must provide explanations and evidence of reliability-restoration measures. The precise personal and company information to be submitted for the exclusion-ground checks must be completed in the tender procedure.
Qualification criteria and exclusion grounds
The machine-readable notice does not specify precise financial capacity, turnover, previous-experience or staffing requirements; these must be checked in the tender documents. For compliance, the bidder must submit a technical description of the offered training stand, including the product name, specifications, product sheets and any other information needed to verify compliance with the technical requirements. The bidder must confirm that the tender complies with all tender-document requirements, is not conditional and, where an equivalent solution is offered, explain the equivalence and provide supporting evidence. The bidder must confirm that the offered goods are not subject to international sanctions and do not originate from sanctioned regions, and that the bidder is not established or resident in Russia or Belarus. Subcontractors and suppliers accounting for more than 10% of the contract value must not fall within the specified Russia-related ownership, residence, establishment or control restrictions. A joint tender must include a power of attorney appointing an authorised representative. The bidder must identify any business secrets and justify their classification, while the tender price and other prohibited evaluation-related figures may not be classified as business secrets. The bidder must also provide details of authorised persons who represent, control or make decisions for the company but are not visible from the relevant commercial-register extract, or confirm that no such persons exist.