On Wednesday, November 20, 2024, the U.S. Department of Labor’s Office of Federal Contract Compliance Programs (OFCCP) issued the Fiscal Year 2025 Corporate Scheduling Announcement List (CSAL) - which is a list providing notice of 2,000 compliance evaluations, commonly referred to audits, for supply and service federal contractors.
The scheduling letters commencing OFCCP audits can be sent to contractors effective immediately. Upon receipt of a scheduling letter, federal contractors have only 30 days to submit responsive data and documents.
Those federal contractors and subcontractors that are on the newest CSAL should promptly assess whether they are audit ready. Advanced preparations are important because OFCCP will only grant an extension of the 30-day submission deadline in limited, “extraordinary circumstances.”
The FY2025 CSAL lists federal contractors' establishments, Functional AAPs (FAAPs) or Corporate Management Compliance Evaluations (CMCEs) that are to be audited. Any contractor included in the new CSAL initially should confirm that they are properly listed in the CSAL. Following that confirmation, contractors should begin their preparations for the upcoming audit, which typically includes completing their 2025 AAPs as soon as possible.
Reach out to any FortneyScott attorney for assistance in preparing for the upcoming compliance evaluations, or contact us at
info@fortneyscott.com for additional information.
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