THA Logo_revisedVisit our blog  Follow us on Twitter  View our profile on LinkedIn
HResource

News


May 2015
MENTAL HEALTH AWARENESS MONTH

Affirmative Action Services

Plan Preparation (OFCCP/FTA)

Compliance Evaluations

Audit Representation

Compensation Evaluation

Interim Reporting

Training Highlight

EEO/AA and Diversity Basics

 

Unsure of your legal rights in the workplace? Confused about your responsibilities to protect your employees, accommodate disability requests, or put a stop to racial slurs? This Learning Library session will assist viewers in understanding the New and Improved rules of the workplace.

 

*Learn basics of EEO requirements including New! FLSA requirements for lactation accommodations, etc.

 

*Learn basics of Affirmative Action, especially important for contractors covered by Executive Order 11246 (DOL/OFCCP) and grant recipients covered by Circular 4704.1 (DOT/FTA)

 

*Gain understanding on how a robust Diversity program integrates the achievements of Affirmative Action and ensuring nondiscrimination and provides a dynamic, inclusive workplace

 

*Participants will also walk through situational scenarios to gain complete understanding EEO/AA and Diversity basics

 

HRCI Recertification Credit - 1.5 Hour

Click here for more information and to register for this HRCI accredited course.

FAQ
 
Q. May a contractor continue to invite applicants to voluntarily self-identify as a protected veteran using the individual categories for protected veterans even though the new VETS-4212 form asks only for aggregated protected veteran data?

A. Yes. Though not required, contractors may choose to continue to invite applicants to voluntarily self-identify the specific category or categories of protected veteran to which they belong at the post-offer stage, so long as the contractor also provides VETS with the aggregate protected veteran data required by the VETS-4212 form.
OFCCP Clarifies Invitation to Self-Identify and Protected Veterans Reporting Requirements
 
The Department of Labor's Veterans' Employment and Training Service (VETS) has issued its Final Rule revising its regulations implementing reporting requirements under the Vietnam-Era Veterans Readjustment Assistance Act of 1974, as amended (VEVRAA). Generally, VEVRAA requires Federal contractors and subcontractors with contracts of $100,000 or more to annually report the total number of their employees who belong to the categories of veterans protected under VEVRAA and the total number of those protected veterans who were hired during the period covered by the report on either a VETS 100 or VETS 100A form. The VETS Final Rule rescinds certain of the reporting requirements because they are obsolete and, for the reporting periods beginning August 1, 2014, renames the annual report required under these regulations as the Federal Contractor Veterans' Employment Report VETS-4212. It also revises the definitions of terms used in the regulations, the text of the reporting requirements clause included in Government contracts and subcontracts, and the methods of filing the Form VETS-4212.
  
While covered employers had a 90-day window in which to file the VETS 100 and 100A, Form VETS- 4212 provides a 60-day window from August 1 through September 30, and requires federal contractors and subcontractors to report aggregate data on the number of protected veterans that were newly hired and the number they employed. It does not require that contractors report the data by the number of veterans in each of the individual categories for protected veterans. For purposes of Form VETS-4212, protected veterans include the following categories of veterans: disabled veterans, active duty wartime or campaign badge veterans, Armed Forces service medal veterans, and recently separated veterans. The aggregated numbers are intended to present a more accurate record of veteran employment, since previously veterans could be double-counted in more than one individual category. Form VETS-4212 simplifies the reporting requirements for employers.
  
The OFCCP's final regulations addressing affirmative action requirements under VEVRAA became effective March 24, 2014. Among other things, they require federal contractors to solicit the veteran category data the contractor is required by VETS to report. Specifically, and in part to obtain the information required for the VETS reporting requirements, contractors were required to invite applicants to voluntarily self-identify as a protected veteran at both the pre-offer and post-offer stages of the hiring process. At the pre-offer stage, employers were not required to invite applicants to identify the specific protected veteran category to which they belong; however, they were required to invite post-offer applicants to identify to which specific protected veterans category they belonged. Employers began using two versions of the voluntary request to self-identify; the limited form on the application and the form identifying the type of protected veteran at the post-offer stage of the process.
  
Because the OFCCP self-identification requirements are specifically linked to the scope of the VETS reporting requirements and the Form VETS-4212 requires that contractors report only the aggregate data on the number of protected veterans that were newly hired and the number of protected veterans they employ, the OFCCP has now amended its Frequently Asked Questions on the VEVRAA regulations to provide that contractors are no longer required to invite self-identification by category in order to comply with VEVRAA's post-offer invitation requirements. Contractors now have a choice. They can continue to use the post-offer invitation to self-identify that invites the applicant to voluntarily self-identify the specific category or categories of protected veteran to which they belong at the post-offer stage, or they can use the same form that they use during the application process, which merely invites the applicant to voluntarily self-identify as a protected veteran.
  
Federal contractors and subcontractors can now revise their showing of interest (applicant flow) chart to delete references to each category of protected veteran and retain only the protected veteran field.

Source: Lynn F. Jacob | Williams Mullen

Improving Mental Health for Workers, This Month and Every Month

  

May is National Mental Health Awareness Month, and this year I find myself viewing this issue through an international lens. That's because in March, I had the distinct honor of travelling to The Hague to represent the U.S. Department of Labor at a policy forum on mental health and work sponsored by the Organization for Economic Cooperation and Development.

 

To read the full article, click here.

 

Source: U.S. DOL Blog
This information is intended to be informative
and should not be considered legal advice on any specific matter
For further informationon our services, click here
COMPLIANCE UPDATES

EAF_new 
Members Are Eligible
for a Discount

TRAINING

Click here to view our eLearning Library and HRCI accredited courses

Metropolitan Washington, DC
703.481.9839

www.thomashouston.com

Ft. Lauderdale, FL
954.916.9290