# Class Deviation 2020-O0011 # Rescission of Class Deviation 2020-O0011 – Revision 1 - Submission of Interim Vouchers Under Classified Contracts, effective December 31, 2022 Status: Active Date Issued: Not explicitly dated in the extension memorandum header; enclosed rescission dated September 1, 2022 Signed By: John M. Tenaglia, Principal Director, Defense Pricing and Contracting Scope: All DoD contracting officers with classified contracts subject to interim voucher submission requirements Authority: Federal Acquisition Regulation (FAR) 42.803(b)(1) and Defense Federal Acquisition Regulation Supplement (DFARS) 242.803(b)(i)(A) and (B) ## Summary This memorandum rescinds and supersedes the prior rescission of Class Deviation 2020-O0011, Revision 1, which had been scheduled to take effect on October 1, 2022. The rescission effective date is extended to December 31, 2022, giving contractors additional time before they must resume submitting interim vouchers under classified contracts directly to the Defense Contract Audit Agency. The original deviation had been issued in response to COVID-19 and allowed contractors to submit interim vouchers directly to the payment office instead of DCAA. ## Required Contracting Officer Actions 1. Take appropriate actions to facilitate timely payment, including providing copies of any resulting contractual modifications to the appropriate payment office. 2. By no later than December 31, 2022, ensure contractors are directed to submit interim vouchers under classified contracts to DCAA using an appropriate method, in accordance with FAR 42.803(b)(1) and DFARS 242.803(b)(i)(A) and (B). ## Notes COVID-19 Origin: Class Deviation 2020-O0011 and its Revision 1 were originally issued in response to the COVID-19 national emergency. They allowed contractors to submit interim vouchers under classified contracts directly to the payment office listed in the contract and treated those vouchers as provisionally approved by DCAA, relieving the normal pre-payment submission requirement to DCAA. Rescission Deadline: The deviation is fully rescinded as of December 31, 2022. After that date, normal requirements under FAR 42.803(b)(1) and DFARS 242.803(b)(i)(A) and (B) apply. ## Suggested Questions You can ask your AI assistant: - What actions do I need to take for this deviation? - Does this deviation affect commercial acquisitions under Part 12? - Which clauses need to be removed from my existing contracts? - Are there any SAM registration implications? --- Source: https://part52.dev Generated: 2026-03-20 Memorandum: https://www.acq.osd.mil/dpap/policy/policyvault/USA001851-22-DPC.pdf