Office of Federal Contract Compliance Programs.
Advance notice of proposed rulemaking.
The Office of Federal Contract Compliance Programs (OFCCP) is issuing this Advance Notice of Proposed Rulemaking in order to invite the public to provide input on the development and implementation of a compensation data collection tool. Possible uses for the collected data include generating insight into potential problems of compensation discrimination at the establishment level that warrant further review or evaluation by OFCCP or contractor self-audit. OFCCP could use the data collected by the tool to conduct analyses at the establishment level, as well as to identify and analyze industry trends, Federal contractors' compensation practices and potential equal employment-related issues.
OFCCP is issuing this Advanced Notice of Proposed Rulemaking to solicit comments from interested parties as early as possible in the development process of this new data collection tool. There will, of course, be an additional opportunity to comment following the Start Printed Page 49399publication of the Notice of Proposed Rulemaking. However, to maximize the opportunity to participate in the rulemaking process, OFCCP strongly encourages all interested parties to take this opportunity to submit any ideas, comments or concerns which OFCCP should consider in the course of designing this compensation data collection tool. OFCCP is especially interested in the nature of data that would be most useful for analysis, and any practical implementation issues.
All comments must be received on or before October 11, 2011.
You may submit comments, identified by RIN number 1250-AA03, by any of the following methods:
- Federal eRulemaking Portal: www.regulations.gov. Follow the instructions for submitting comments.
- Mail and Hand delivery/Courier: Debra A. Carr, Director, Division of Policy, Planning, and Program Development, Office of Federal Contract Compliance Programs, Room C-3325, 200 Constitution Avenue, NW., Washington, DC 20210.
Receipt of submissions will not be acknowledged; however, the sender may request confirmation that a submission has been received by telephoning OFCCP at (202) 693-0103 (voice) or (202) 693-1337 (TTY) (these are not toll-free numbers).
All comments received, including any personal information provided, will be available online at http://www.regulations.gov and for public inspection during normal business hours at Room C-3325, 200 Constitution Avenue, NW., Washington, DC 20210. People who require assistance to review comments will be provided with appropriate aids such as readers or print magnifiers. Copies of this Advance Notice of Proposed Rulemaking will be made available in the following formats: Large print, Braille, electronic file or computer disk, and audiotape. To schedule an appointment to review the comments or this Advance Notice of Proposed Rulemaking in an alternate format, contact OFCCP at the telephone numbers or address listed above.Start Further Info
FOR FURTHER INFORMATION CONTACT:
Debra A. Carr, Director, Division of Policy, Planning and Program Development, Office of Federal Contract Compliance Programs, 200 Constitution Avenue, NW., Room C-3325, Washington, DC 20210. Telephone: (202) 693-0103 (voice) or (202) 693-1337 (TTY).End Further Info End Preamble Start Supplemental Information
The Department of Labor's Office of Federal Contract Compliance Programs (OFCCP or Agency) enforces Executive Order 11246 (Executive Order) which requires Federal Government contractors and subcontractors to provide equal employment opportunity through affirmative action and nondiscrimination based on race, color, national origin, religion, and sex. Compensation discrimination is one form of discrimination prohibited by the Executive Order.
Identifying and remedying compensation discrimination remains an important part of OFCCP's compliance efforts. In 2000, concerns about compensation discrimination led OFCCP to require contractors to proactively conduct in-depth analyses of their compensation systems to ensure that those systems were not discriminatory. That same year, OFCCP began requiring contractors to submit compensation data requested in the scheduling letter at the outset of a compliance evaluation to permit the agency to evaluate compensation practices as a matter of course in reviews.
In 2000, OFCCP also initiated a reporting requirement, the Equal Opportunity Survey (EO Survey), which required a subset of contractors to submit information to OFCCP independent of OFCCP compliance evaluations. 65 FR 68022, 68046 (November 13, 2000). The EO Survey required contractors to submit information about personnel activities, compensation and tenure, and certain information about the contractor's affirmative action program. The EO Survey had three major objectives:
(1) To increase compliance with equal opportunity requirements by improving contractor self-awareness and encouraging self-evaluations;
(2) To improve the deployment of scarce federal government resources to those contractors that were most likely to be out of compliance;
(3) To increase agency efficiency by building on the tiered-review process already accomplished by OFCCP's regulatory reform efforts, resulting in better resource allocation.
From its inception, OFCCP was concerned about verifying the utility and efficiency of the EO Survey. The development of the EO Survey began in March 1998, with initial field testing beginning in August 1999. In April 2000, a pilot EO Survey was sent to approximately 7,000 contractors. After receipt of the pilot EO Survey responses, OFCCP commissioned a study to determine whether the pilot EO Survey results could be used to predict whether a contractor would have findings of non-compliance. Bendick & Egan Economic Consultants, Inc., The Equal Opportunity Survey: Analysis of a First Wave of Survey Responses (Sept. 2000)(Bendick Report). The report concluded that the potential increases in OFCCP efficiency and effectiveness through use of the EO Survey could be substantial and recommended that use of the survey be expanded and refined. Bendick Report at 31.
OFCCP mailed 53,000 EO Surveys between December 2000 and March 2001, and 10,000 per year from 2001-2004. OFCCP commissioned another study to determine whether the EO Survey could be used to develop a model that more effectively targets contractors who engage in systemic discrimination. The report, issued in 2005, concluded that the EO Survey had little predictive value as a tool for indicating discrimination or non-compliance. All of these studies have data limitations that undermine drawing firm conclusions about the true predictive power of the EO Survey. However, based primarily on this 2005 report, OFCCP rescinded the EO Survey in 2006.
The purpose of the proposed new tool is to provide insight into potential problems of pay discrimination by contractors that warrant further review or evaluation by OFCCP or contractor self-audit. Accordingly, it is envisioned primarily as a screening tool, although it may also have research value. The tool would allow OFCCP to effectively and efficiently identify supply and service contractors whose compensation data indicates that further investigation is necessary to ensure compliance with the non-discrimination requirements of the Executive Order and would provide contractors with a self-assessment tool that may be used periodically to evaluate the effects of their employee compensation decisions. The data collected through this tool may be used to identify contractors for compensation focused reviews as well as full compliance reviews. Women still earn only 77 cents for each dollar earned by a man. The wage gap is even greater for Start Printed Page 49400women of color: non-Hispanic white women make 75 cents for every dollar earned by a non-Hispanic white man, while African-American women make 62 cents and Latinas make 53 cents for every dollar earned by a non-Hispanic white man. Potentially non-discriminatory factors can explain some of these differences. Even so, after controlling for differences in skills and job characteristics, women still earn less than men. Some scholars find that these differences can be explained, to some extent, by differences in education and prior labor market experience. Others identify job segregation as an important cause of the pay gap. Ultimately, the research literature still finds that an unexplained gap exists even after accounting for potential explanations. Moreover, research literature finds that the narrowing of the pay gap has slowed since the 1980's. To the extent that these factors, such as type of job or amount of continuous labor market experience, are also influenced by discrimination, the “unexplained” difference may understate the true effect of discrimination. In addition to the gender pay gap, scholars have found race and ethnicity-based pay gaps that put workers of color at a disadvantage. As a result, eliminating compensation discrimination by Federal contractors has been, and continues to be, a priority issue for OFCCP.
Before developing a proposed regulation, OFCCP seeks comments from members of the public on issues relating to the scope, content and format of the data collection tool, as well as suggestions for ensuring that the tool will be an effective and efficient means of identifying contractors for review. In addition, OFCCP will conduct web-based and Town Hall listening sessions to provide an opportunity for stakeholders to offer suggestions and recommendations related to the scope, content and format of the data collection tool in the months ahead. Notices will be placed on OFCCP's Web site and email alerts sent out in advance. In developing a Notice of Proposed Rulemaking and the data collection tool itself, OFCCP will take into consideration comments provided in response to this Advance Notice of Proposed Rulemaking (“ANPRM”) and during the various listening sessions.
The purpose of this ANPRM, which is the first step toward publishing a Notice of Proposed Rulemaking, is to request comments and data from the public on the following issues.
Request for Comments
OFCCP is seeking comments on a series of specific questions about the possible design of its new data collection tool, as well as comments on other aspects of the tool that would assist the agency in carrying out its mission. OFCCP could use the data collected by the tool to conduct analysis at the establishment level, as well as identify and analyze industry trends, Federal contractors' compensation practices and potential equal employment-related issues. The data collected could be instrumental to developing indicators for identifying potential noncompliance by contractors and executing OFCCP's authority related to compensation discrimination.
OFCCP seeks to maximize the potential value of this data collection tool while taking into account the reporting burden created for contractors and the technology and/or analytic burdens placed on the agency. Public comment on these larger questions would be helpful with regard to any of the more specific requests for comments on the categories of data or analyses described below.
1. What data or information should be collected in order for OFCCP to assess whether further investigation into the contractor's compensation decisions and policies is necessary? In developing your response, please consider whether any of the following categories of data, reported by gender and race/ethnic groups, singly or in combination, would effectively identify potential compensation discrimination:
(a) Average starting or initial total compensation (including paid leave, health and retirement benefits, etc.);
(b) Average pay raises;
(c) Average bonuses;
(d) Minimum and maximum salary;
(e) Standard deviation or variance of salary;
(f) The number of workers in each gender and race/ethnicity category;
(g) Average tenure;
(h) Average compensation data by job series (e.g., all engineers within a particular department or all secretaries throughout the establishment); and/or
(i) Any other categories of data?
2. By what set of job categories should the data referred to in question (1) be collected? Some job group options include EEO-1 job categories, OFCCP's Affirmative Action Program job groups, 2 or 3-digit Standard Occupational Classification Codes, O*Net Occupational Classification Codes, salary bands, salary bands within EEO-1 categories, individual job titles or individual job titles within EEO-1 job categories. Are there other options? What are the benefits and drawbacks of the various options?
3. What elements of compensation should be collected? In developing your response consider the following elements:
(a) Total W-2 earnings;
(b) Base salary;
(c) Holiday pay;
(d) Hourly wage;
(e) Shift differential;
(g) Stock options; and/or
(h) Any other elements of compensation (e.g., paid leave, health or retirement benefits)?
4. Is there a set of questions that would capture information that would be helpful in understanding a contractor's compensation system, such as policies relating to promotion decisions, bonuses, shift pay, setting of initial pay, etc.?
5. OFCCP may use the data collected through the tool to conduct industry-wide compensation trend analyses.
(a) What type of compensation trend analyses would be appropriate to conduct on an industry-wide basis?
(b) For each type of analysis identified in subpart (a) above, identify the: (i) Categories of data that should be collected in order to compare compensation data across contractors in a particular industry and (ii) job groupings that should be used.
6. The data collected through the tool may be used to identify contractors in Start Printed Page 49401specific industries for industry-focused compensation reviews. What specific categories of data would be most useful for identifying contractors in specific industries for industry focused compensation reviews?
7. OFCCP is exploring the possibility of using the data collected through the tool to identify opportunities for nationwide multi-establishment compensation reviews.
(a) What specific categories of data would be most useful for conducting compensation analyses across a contractor's various establishments?
(b) What are the benefits and drawbacks of collecting contractor's compensation data on a nationwide basis rather than on an individual establishment basis?
(c) What are the benefits and drawbacks of collecting contractor's compensation data on a nationwide basis in addition to an individual establishment basis?
8. The data collection tool may require contractors to submit data on an establishment basis. Given the possible designs of the tool and its proposed uses, OFCCP is interested in learning of any practical concerns contractors may have regarding responding to the compensation data request and how contractors currently record and maintain compensation data. Specifically:
(a) What general tasks would be required by a contractor in order to provide the compensation data?
(b) What categories of compensation-related data are currently maintained in computer-based personnel or payroll systems?
(c) What specific costs and/or benefits would be associated with collecting this type of data?
9. OFCCP is considering designing the tool so that it may be used by contractors to conduct self-assessments of their compensation decisions. What specific categories of data would be most useful to contractors interested in using the tool in this manner?
10. What were the strengths and weaknesses of the compensation section of the 2000 EO Survey? 
11. OFCCP is considering requiring contractors to submit data electronically. What factors should OFCCP take into consideration when designing this data collection tool? Interested parties should suggest preferred formats—i.e., a web-based form (like the EEO-1), excel spreadsheet, etc. What types of databases are currently used, if any, to maintain personnel and payroll data?
12. An option that OFCCP is considering is the possibility of requiring businesses that are bidding on future Federal contracts to submit compensation data as part of the Request for Proposal process. In such a case, the data collected may be used for trend analyses as well as targeting contractors for post-award compliance reviews. What are the benefits and drawbacks of administering the data collection tool in this manner?
13. Should OFCCP decide to expand the scope of the compensation data collection tool beyond supply and service contractors to include construction contractors, what factors or issues particularly relevant to such contractors should OFCCP keep in mind when designing and implementing the tool?
14. Are there other constructive suggestions for the design, content, analysis, and implementation of a compensation data collection tool?
15. Consistent with the Regulatory Flexibility Act, OFCCP must consider the impact of any proposed rule on small entities, including small businesses, small nonprofit organizations and small governmental jurisdictions with populations under 50,000. In response to this ANPRM, OFCCP encourages small entities to provide data on how they may be impacted by the requirement to provide the compensation data requested by the new data collection tool.
(a) The Department seeks public comment on the types of small entities and any estimates of the numbers of small entities that may be impacted by this rule.
(b) The Department seeks public comment on the potential identifiable costs of the data collection on small entities.
(c) The Department seeks public comment on any possible alternatives to the proposed measures that would allow OFCCP to achieve its objectives while minimizing any likely adverse impact to small businesses such as allowing smaller establishments to submit administrative data—for example, quarterly unemployment insurance tax payments that would include wage information—augmented by gender and race/ethnicity identification, but without other compensation details.
OFCCP encourages interested parties to comment on these questions and the related questions of how OFCCP can maximize the potential value of this data collection tool while taking into account the reporting burden created for contractors and the technology and/or analytic burdens placed on the agency.Start Signature
Dated: August 5, 2011
Patricia A. Shiu,
Director, Office of Federal Contract Compliance Programs.
3. Abt Associates Inc., An Evaluation of OFCCP's Equal Opportunity Survey, p. 39, (Feb. 2005).Back to Citation
5. Calculations from U.S. Census Bureau, Current Population Survey, 2010 Annual Social and Economic Supplement, Table PINC-05: Work Experience in 2009—People 15 Years Old and Over by Total Money Earnings in 2009, Age, Race, Hispanic Origin, and Sex, available athttp://www.census.gov/hhes/www/cpstables/032010/perinc/toc.htm (last visited Dec. 7, 2010).Back to Citation
6. Id.Back to Citation
7. Explaining Trends in the Gender Wage Gap, A Report by the Council of Economic Advisers (June 1998).Back to Citation
8. See O'Neill, June E., “The Gender Gap in Wages, Circa 2000,” American Economic Review (May 2003).Back to Citation
9. Jacobsen, Joyce P., The Economics of Gender (2007).Back to Citation
10. Jacobsen, supra; see also, e.g., Blau, Francine D. and Kahn, Lawrence M.,”The U.S. Gender Pay Gap in the 1990s: Slowing Convergence,” 60 Industrial and Labor Relations Review 45 (2006).Back to Citation
11. Id.Back to Citation
12. Altonji, Joseph G. and Blank, Rebecca M., “Race and Gender in the Labor Market,” in Ashenfelter, Orley and Card, David, eds., Handbook of Labor Economics (1999).Back to Citation
13. Employer Information Report EEO-1: EEO-1 Job Classification Guide, available at http://www.eeoc.gov/employers/eeo1survey/upload/jobclassguide.pdf (last visited July 13, 2011).Back to Citation
15. Department of Labor, Bureau of Labor Statistics, Standard Occupational Classification, available at http://www.bls.gov/soc/ (last visited July 13, 2011).Back to Citation
16. Department of Labor, Bureau of Labor Statistics, Occupational Outlook Handbook, 2010-11 Edition, available at http://www.bls.gov/oco/oco2007.htm (last visited July 13, 2011).Back to Citation
[FR Doc. 2011-20299 Filed 8-9-11; 8:45 am]
BILLING CODE 4510-45-P