The OFCCP has added two new responses under the Frequently Asked Questions part of their website that Federal contractors need to be aware of. See text below from OFCCP website under http://www.dol.gov/ofccp/regs/compliance/faqs/csalfaqs.htm
IS IT POSSIBLE FOR ESTABLISHMENTS OTHER THAN THOSE LISTED ON THE CSAL TO BE SCHEDULED FOR A COMPLIANCE EVALUATION DURING THE SCHEDULING CYCLE?
Yes. The list of establishments provided with the CSAL is not all-inclusive for a variety of reasons. For example, company establishments that are not clearly associated with a contractor's parent organization through currently-available EEO-1 Reports, such as those that have been acquired through recent mergers, are not included on the CSAL. In addition, the CSAL does not identify whether an establishment of a contractor has been selected for evaluation because of a contract award notice, a directed review, as a result of conciliation agreement monitoring or an individual complaint, or as part of the agency's Corporate Management Compliance Evaluation (CMCE) or Functional Affirmative Action Plan (FAAP) initiatives.
IS THERE A LIMIT ON THE NUMBER OF ESTABLISHMENT EVALUATIONS THAT CAN BE SCHEDULED PER CONTRACTOR?
No. Beginning in FY 2010, there is no limit on the number of compliance evaluations that OFCCP may schedule or conduct per contractor during a fiscal year.
Tuesday, February 2, 2010
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