Today, OFCCP published the latest Corporate Scheduling Announcement List (CSAL) for supply and service contractors. Titled, “FY 2025 CSAL Supply and Service Scheduling List, Release 1,” this list includes 2,000 federal contractor locations or functions that have been selected for various compliance reviews.The new list breaks down as follows:
- 1,940 Establishment Reviews;
- 60 of those are Corporate Management Compliance Evaluations (CMCE);
- 12 “University” Reviews (campus); and
- 48 Functional AAP reviews.
The agency selected establishments with the highest employee headcounts in each OFCCP region, according to 2022 EEO-1 data. They selected one hospital per region, two universities per region, and limited the list so that no single parent company should have more than ten audits on this list. For FAAPs, the agency limited the new list to no more than four per company.
In reality, the OFCCP did not schedule any single company for more than three FAAP audits. Almost fifty contractors got hit with the maximum number of ten location-based audits (Establishment and/or CMCE), though one seems to have been scheduled for eleven.
The methodology used to develop the CSAL is publicly available, along with FAQs. If a contractor believes it has been incorrectly selected for evaluation, they are advised to contact the OFCCP Scheduling Mailbox at ofccp-dpo-scheduling@dol.gov for a prompt response.
The OFCCP encourages contractors to utilize the available compliance assistance resources on their website. Additionally, contractors can participate in virtual compliance assistance events listed on the OFCCP's website, but Berkshire recommends all clients reach out to their dedicated consultant for preliminary counsel before having any conversations with OFCCP.
If you find that your company does appear on this list, visit our audit page to learn how Berkshire can support you through this process.
Berkshire will be contacting clients who are on the list in short order, but we encourage you to check the list now for earliest notice.