At long last, OMB has finally approved OFCCP’s request to modify its scheduling letters, as well as approve a scheduling letter for VEVRAA Focused Reviews.

At first glance it appears the scheduling letters and itemized listings more resemble OFCCP’s current scheduling letters and not the Agency’s initial requested modifications.

Notably, the question requiring contractors to report on their known sub-contractors is not part of the final version of the letters.

We will bring you additional insights and thoughts in the coming days so stay tuned.