I am responding as an independent procurement practitioner, with experience of major public-sector and regulated-infrastructure procurements. I have also followed the first year of implementation of the UK Procurement Act 2023. I do not suggest that the EU should copy the UK model, but there are some useful practical lessons. The point I would put most strongly concerns data and interoperability.
Mona Solutions
Company · United Kingdom · EU Transparency Register 9563118106341-67
Counts here are a floor, never a total: they cover the 656 consultation files tracked so far (57,028 submissions, mostly 2021–26), so an organization's real filing history is larger, not smaller.
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Their record over time
Mona Solutions filed 2 positions between 20 Sept 2026 and 2 Oct 2026, across 2 of the 656 legislative files tracked here, attaching a full position paper 2 times.
What they argued
0. Introduction We support the Commissions first review of Regulation (EU) 2022/1031 and focus on four areas where procurement and commercial experience can inform whether the IPI is clear, proportionate and operationally workable. 1. Origin and complex economic-operator structures Article 3 and the 2023 Commission guidance provide a workable basis for determining origin.
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