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DocuSign Envelope ID: 22B27811-29AA-4D9C-BBFF-5660ECE3BEC4

Skanska/Walsh Joint Venture LaGuardia Airport Hangar 5A Runway Drive Flushing, NY 11371

February 11, 2020

Andee Hidalgo Spearhead Construction, LLC PO Box 575 Fort Montgomery, NY 10922

Via Procore: andee@spearheadcx.com

RE: LaGuardia Airport Central Terminal Building Replacement Project (the “ Project ”); Subcontract No. 620-027 (the “ Subcontract ”) between Skanska/Walsh Joint Venture (“ SWJV ”) and Spearhead Construction LLC (“ Spearhead ); Response to Spearhead Feb 1 2020 response - Reduced Scope Bridge B .

Ms. Hidalgo:

SWJV acknowledges receipt of your February 1, 2020 correspondence. Our records also show that you received both SWJV correspondences from January 27 and January 16, 2020, via Procore. Spearhead’s progress of work has been threatening the Project Schedule, and furthermore, Spearhead did not provide a Recovery Plan of which SWJV is aware within the contractually-required 48-hour notice period detailing how Spearhead intended to recover its delays. Therefore, as a necessary mitigation of Spearhead’s actions and failures, a portion of scope has been transferred to Donaldson at Spearhead’s cost. Spearhead continues to be responsible for the costs and impacts necessary to perform the scope of work that has been transferred to Donaldson to avoid undue schedule and cost impact. 1. The Subcontract for Spearhead provided Target dates for completion and Spearhead agrees that your pricing allowed for a 60-day shift in start and finish dates without overall impact to the price. (Subcontract Ex. D.) Furthermore, to the extent that Spearhead required acceleration, such acceleration is already included within the executed change orders to your Subcontract for premium time. The schedule that Spearhead priced consisted of dates outlined in Exhibit D. It was incumbent upon Spearhead, to provide a detailed schedule detailing how Spearhead intends to complete its work in coordination and compliance with the Project Schedule. Spearhead received a Project Schedule dated May 27, 2019 to which Spearhead’s work should have been coordinated. Your statements and contentions in the February 1 correspondence do not excuse Spearhead from this responsibility for several reasons:

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PBB-9925-200207-Response to Spearhead Feb 1 2020 response - Reduced Scope Bridge B

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