Understanding OFCCP’s Political Agenda
by Bill Osterndorf - Feb, 2015
Several years ago, I wrote an article for The OFCCP Digest entitled “What Does OFCCP Want?” The central premise of that article was that the U.S. Department of Labor’s Office of Federal Contract Compliance Programs (OFCCP) has certain defined expectations for federal contractors and subcontractors. With all the additional changes that have occurred involving OFCCP over the last few years, this appears to be a good time to...
President Obama and the OFCCP: 2014 in Review – Part II
by Ahmed Younies - Feb, 2015
In Part I of this post we examined the close connection between the OFCCP’s focus on pay equity and the hiring of veterans and individuals with disabilities (IWDs) in 2014 and President Obama’s agenda. We continue here by comparing the President’s agenda and actions regarding LGBT workers and other, more general workers’ rights issues with those of the OFCCP during 2014. LGBT Workers President Obama: The President has...
Eight Ways to Survive an OFCCP Audit
by Cindy Karrow, SPHR - Feb, 2015
The key to surviving a compliance review, or audit, is in preparing the AAP—way before the scheduling letter is received. Remember, a compliance review focuses on the activity from the 12 months prior to the development of the current AAP. So audit survival starts with not forgetting the past. Here are eight ways to do just that: Develop your AAP on time and accurately! Scrub your data before your AAP is developed, and ch...
The OFCCP Digest Volume 5, Issue 1
by Local JobNetwork™ - Jan, 2015
National Industry Liaison Group’s Comment on OFCCP’s Notice of Proposed Rulemaking on Requirement to Report Summary Data on Employee Compensation by Cara Crotty, Esq. The National Industry Liaison Group (NILG) routinely submits comments to proposed rules that affect the EEO an...
A Quick Look at the OFCCP’s Enforcement Data for 2009 to 2015
by Dr. Hossein Borhani - Jan, 2015
The U.S. Department of Labor’s Office of Federal Contract Compliance Programs (OFCCP) makes some part of its enforcement data available to the public. The data can be accessed here. The data is provided in two parts, one dataset that consists of closed Compliance Evaluations and another dataset called Compliant Investigations data. The first dataset contains the information on the evaluations that OFCCP has initiated and th...
President Obama and the OFCCP: 2014 in Review – Part I
by Ahmed Younies - Jan, 2015
Every year we like to provide you, our readers in the federal contracting community, with a year-in-review and look ahead to the coming year to ensure that you are aware of trends that could impact your business. Typically, that means reviewing the OFCCP’s stated goals against its actions and then making an educated projection of what is to come. This year we will take our analysis a step further. As a federal government contr...
Targeting Veterans for Hire
by Jacquelyn Peterson - Jan, 2015
The Vietnam Era Veterans’ Readjustment Assistance Act (VEVRAA) is intended to provide affirmative action and nondiscrimination for protected veterans including special disabled veterans, veterans of the Vietnam era, disabled veterans, recently separated veterans, active duty wartime or campaign badge veterans, and armed forces service medal veterans. To promote equal opportunity for protected veterans, federal contractors...
From the Trenches – Audit Experience with the New Scheduling Letter and Itemized Listing
by Debra Milstein Gardner - Jan, 2015
You are going through your mail and see an envelope postmarked from the Department of Labor. Your heart starts racing and you silently pray that it is a mistake since you did not receive a courtesy letter in advance from the OFCCP. Unfortunately your company is on the OFCCP audit list and you just received your scheduling letter. Whether or not this is your first compliance review experience, the next thirty days will no...
National Industry Liaison Group’s Comment on OFCCP’s Notice of Proposed Rulemaking on Requirement to Report Summary Data on Employee Compensation
by Cara Crotty, Esq. - Jan, 2015
The National Industry Liaison Group (NILG) routinely submits comments to proposed rules that affect the EEO and affirmative action obligations of federal contractors. The NILG Board believes that representing the views of our ILG constituents around the country in this manner is vital to achieving our mission and vision. Below is our comment to the OFCCP's Notice of Proposed Rulemaking on the Requirement to Report Summary...
The OFCCP Digest Volume 4, Issue 11
by Local JobNetwork™ - Nov, 2014
Volume 4, Issue 11 LocalJobNetwork.com wishes you a happy holiday season! We thank both our authors and readers for contributing to the success of The OFCCP Digest. This is the last issue for 2014; the next issue will be published in January, 2015. Are You...
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