The Supply and Service list includes multiple different types of compliance reviews, including two new types of focused reviews:
The CSALs provide contractors a minimum 45-day courtesy notification before OFCCP begins sending its OMB-approved scheduling letters. The OFCCP is still scheduling from its March and November 2019 Scheduling Lists so it is hard to predict when OFCCP will begin scheduling reviews from these new lists.
The OFCCP also posted new FAQs regarding its scheduling process, available at https://www.dol.gov/agencies/ofccp/faqs/scheduling-lists. The new FAQs indicate that more information about the Accommodation Focused Reviews and Promotion Focused Reviews will be available before those reviews are scheduled. It is important to note, that OFCCP does not have a currently approved, or even proposed, Scheduling Letter for these two types of new focused reviews.
Berkshire will be providing more information about the scheduling lists after we have reviewed in more detail.