ARTICLE
8 December 2015

Do Not Forget! Time To Update Your Affirmative Action Plans

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Foley & Lardner

Contributor

Foley & Lardner LLP looks beyond the law to focus on the constantly evolving demands facing our clients and their industries. With over 1,100 lawyers in 24 offices across the United States, Mexico, Europe and Asia, Foley approaches client service by first understanding our clients’ priorities, objectives and challenges. We work hard to understand our clients’ issues and forge long-term relationships with them to help achieve successful outcomes and solve their legal issues through practical business advice and cutting-edge legal insight. Our clients view us as trusted business advisors because we understand that great legal service is only valuable if it is relevant, practical and beneficial to their businesses.
Many companies use the calendar year (January to December) as the plan dates for their Affirmative Action Plans (AAPs).
United States Employment and HR

Many companies use the calendar year (January to December) as the plan dates for their Affirmative Action Plans (AAPs). For companies that do so, it is important to remember that current year AAPs for January 1, 2015, thru December 31, 2015, will expire on December 31, 2015.

Under federal law, government contractors and subcontractors with 50 or more employees who have entered into at least one contract of $50,000 or more with the federal government must prepare and maintain a written affirmative action program, which must be developed within 120 days from the commencement of the contract and must be updated annually. Many states also have affirmative action program requirements for state government contractors.

Depending upon the size of the government contracts at issue ($50,000, $100,000, or more), government contractors are required to develop affirmative action programs to comply with the regulations that support three separate federal laws. All three of these laws prohibit employment discrimination and require contractors to exercise good faith efforts so that certain protected classes have the opportunity to be hired and advance in employment. The three laws are: Executive Order 11246, which prohibits discrimination on the basis of race, color, religion, sex, or national origin; the Rehabilitation Act of 1973, which, prohibits discrimination on the basis of disability; and, the Vietnam Era Veterans Readjustment Assistance Act of 1974 (VEVRAA), which prohibits discrimination against certain classes of veterans.

Additionally, new federal regulations that took effect in 2014 require an identification and an evaluation of the company's good faith efforts to recruit protected veterans and disabled individuals. This obligation will necessitate the contractor to list all of the recruiting efforts the company made during the January 1, 2015, thru December 31, 2015, time period to recruit veterans and disabled individuals — along with an evaluation of the effectiveness of each effort (for example, "attended job fair on 12/2/15 at Veterans Arena, received 15 applications/resumes, interviewed 6 persons, hired 2 persons").

Failure to comply with the non-discrimination or affirmative action provisions in a contract is considered a violation of the government contract. The Department of Labor's Office of Federal Contract Compliance Program (OFCCP) is the agency with authority to enforce these laws by auditing a company's AAPs and employment practices. The OFCCP has the authority to conduct compliance evaluations, which may consist of an off-site review of records and/or an on-site review of records and interviews. In every OFCCP audit, the Compliance Officer will request to review the current year AAP — so it is extremely important to ensure that all AAPs are properly updated each year.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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