The OFCCP has recently published two important notices in the Federal Register to drastically modify the information the agency collects from construction contractors, and in doing so signaling some potentially troubling policy changes. In particular, the OFCCP is overhauling the construction audit Scheduling Letter and Itemized Listing, and it Continue Reading...
OFCCP Ordered to Provide AI Guidance
Federal contractors are well aware the Department of Labor’s Office of Federal Contract Compliance Programs (OFCCP) is really interested in how organizations are deploying artificial intelligence and/or other “automated” systems when making employment selection decisions. The agency’s newly revised audit Scheduling Letter and Itemized Listing Continue Reading...
OFCCP Not Waiting on the Revised Scheduling Letter (*sigh*)
Contrary to what some may have heard, the OFCCP is not waiting on approval of their new, revised audit scheduling letter to initiate new audits from the most recent CSAL. In case you missed the news somehow, the OFCCP has issued a new “FY2023” Corporate Scheduling Announcement List (CSAL) with 500 federal contractor establishments or functions Continue Reading...
OFCCP Publishes FY 2021 Audit List
The OFCCP has released a new “Corporate Scheduling Announcement List” (CSAL) listing the federal contractor employer locations and functions that have been selected, but not yet scheduled, for audit. As of this writing, the agency has not yet published the list in the FOIA Library where the agency traditionally publishes and maintains active audit Continue Reading...
OMB Finally Approves New And Revised OFCCP Scheduling Letters
As we reported previously, the OFCCP submitted final revised scheduling letters for “regular” audits, compliance checks, and Section 503 (disability) focused reviews, along with a new scheduling letter for VEVRAA (veteran) focused reviews, to the White House Office of Management and Budget (OMB) for approval back in July, 2019. Nearly nine Continue Reading...