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The Office of Federal Contract Compliance Programs has requested comments on its proposed changes to the Scheduling Letter and Itemized Listing – the documents that initiate a compliance evaluation of a federal contractor. The proposed changes would significantly increase the information and data that a contractor would be required to submit at the earliest stage of a compliance evaluation. Despite this substantial expansion and the additional burdens, the OFCCP does not propose to provide more time than the current 30 days to respond.