Under the terms of a contract, a contractor was entitled to a price adjustment based on actual quantities of work performed. The government could not use a termination for convenience to disregard the contract unit prices and compensate the contractor only for costs plus profit.
Waiver and release forms signed in conjunction with applications for progress payments were not limited to the contractual scope of work. The release applied to claims for extra work and delay damages.
A contractor failed to assure the government it had a reasonable likelihood of achieving timely completion. The contractor’s delay was not excused by the cumulative impact of numerous change orders.