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Laura Mitchell
Jackson Lewis P.C.

Over the last year, the leadership at OFCCP has been transforming the Agency’s approach to compliance evaluations. OFCCP is driving toward quicker, more pointed reviews that allow the Agency to conduct more audits, touch more contractors and cover more road in ensuring compliance. Enter the “focused review.” In August 2018, OFCCP announced that in addition to being eligible for the typical, comprehensive compliance evaluations, contractors may now be selected for “mini-audits” that would focus on just one law – either Executive Order 11246 or VEVRRA or Section 503, but not all three. Of course, “compliance” under each law includes a vast array of obligations from outreach to recordkeeping to data evaluations, all of which may be scrutinized in focused reviews. The good news for contractors is that focused reviews are not nearly as heavy on data collection or analysis. The bad news is they include “onsite” investigations to evaluate areas that even well intentioned contractors can overlook. So how should contractors prepare for the prospect of an EO 11246, VEVRAA, or Section 503 focused review?  This session will explore this questions and provide practical tips for ensuring your organization is prepared.

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