OFCCP Requests Voluntary Submissions Under EO 14173
On Friday, June 27, 2025, OFCCP Director Catherine Eschbach issued a letter inviting federal contractors to voluntarily share with OFCCP how they have implemented program changes under Executive Order 14173, Ending Illegal Discrimination and Restoring Merit-Based Opportunity.
Participation is entirely at the contractor’s discretion, including the content and format of such information and contractors have 90 days from date of the letter, or until Sept 25, to submit info into contractor portal. Submission instructions are available on OFCCP’s Contractor Portal.
Director Eschbach’s letter further encourages federal contractors to provide:
- Confirmation that they have reviewed their EO 11246 affirmative action efforts;
- An assessment of whether employment or recruitment practices require modification; and
- If so, a description of the changes made and the steps taken to modify those practices.
The letter then provides a list of the type of employment practices federal contractors should consider providing, to include:
- Trainings, sponsorship programs, leadership development programs, educational funding, or other privileges of employment available only to employees of a certain race or sex;
- Placement goals based on race or sex;
- Ratings by diversity organizations that graded employers on factors designed to promote the rise of non-white, non-male employees;
- Using applicants’ or employees’ participation in race- or sex-related (internal or external) groups or organizations as a “plus factor” or proxy for race or sex in employment and hiring decisions;
- Tying executive compensation to meeting race- or sex-based hiring, promotion, retention, representation, or other employee-demographic-related goals;
- Mandating courses, orientation programs, or trainings designed to emphasize and focus on racial stereotypes; and
- Encouraging employees to make recruitment efforts to or employment referrals of certain candidates based on race or sex.
Director Eschbach concludes by recommending federal contractors consult the recent technical guidance by EEOC on what constitutes unlawful discrimination at work.
FortneyScott is reaching out to DOL officials for further information. In the meantime, FortneyScott is actively advising clients on how to respond to this voluntary request.
If you have any questions, please reach out to your FortneyScott attorney.















