Affirmative Action and Compensation Reviews
HRDir1
69 Posts
We are a federal government contractor with affirmative action obligations under EO 11246. With all of the emphasis on compensation discrimination, we are concerned that an audit by OFCCP might catch us unaware. We are wondering what other government contractors are doing to document and check compensation practices to catch potential pay discrimination claims. Also wondering if anyone has gone through an OFCCP audit lately and what their experince was. Thanks in advance for your help!
Comments
Under OFCCP's “compliance coordination” program for contractors that do choose to follow the new comp self evaluation guidelines, OFCCP will forego independent review of a contractor's raw compensation data and instead evaluate the adequacy of the contractor's compliance with the Self-Eval Guidelines. But , beware -- although the compliance coordination program may appear to make things easier for contractors in the short run, OFCCP’s use of the data from the self analysis for pay “fixes” and potential liability for discrimination charges outside of the context of affirmative action could make compliance with the guidelines less attractive to contractors -- it did to us and we are sticking with the "old" compensation analysis methods. If you are interested in OFCCP's self-evaluation program, you must prove that the self evaluation:
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Also beware that if the SSEGs that meet the 30/5 rule do not encompass 70 percent of the workforce, OFCCP will review the SSEGs’ components to determine whether the definitions seem reasonable. At some facilities, the size of the workforce and the tyoe of work conducted may produce few groupings that meet the 30/5 rule. In such cases, the agency may accept SSEGs of less than 70 percent of the workforce to find the analyses meet the Voluntary Guidelines. Good luck!