What Federal Contractors Need to Know for 2025 AAP Compliance
A live webinar presented by Chris Northup, Ellen Shong & Associates and Kimberly J. Korando, Smith Anderson
Wednesday, December 4, 2024
1:00 - 2:00 pm EST
OFCCP continued to be busy in 2024 with significant activity in a number of areas impacting contractors and their compliance obligations.
Within the last 14 months, OFCCP has published two scheduling lists (CSALs) for Service and Supply contractors targeting 1,500 establishments for compliance reviews (audits). Another large scheduling list is expected very shortly. While OFCCP continues to focus on Service and Supply contractors, it is ramping up efforts to audit and review construction contractors, especially under the Mega Construction Project program.
Over a year ago, OFCCP began using the revised (and more burdensome) audit scheduling letter for Supply and Service contractors. More recently, it received approval and began using a revised Construction contractor scheduling letter. Though the agency continues to struggle with lack of sufficient funding and decreasing staffing levels, it continues to make audits longer and more challenging for contractors with the revised scheduling letters requiring more information earlier in compliance reviews.
The new administration is expected to significantly impact OFCCP policies and direction and, in turn, will affect federal contractors.
Join us for a review of significant activity in 2024, the latest new policies issued, reflections on the new audit scheduling letter, and what contractors might expect in 2025.