Proactive Compliance in the Post-EO 14173 Era: A Practical Guide to Self-Auditing

Eight months after the issuance of Executive Order 14173, the federal contracting community has entered a new compliance era, one defined not by the creation of Affirmative Action Plans, but by the ability to prove nondiscrimination through certification. The transition from Executive Order 11246 to EO 14173 may have simplified paperwork, but it also raised…
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Eight Months After EO 14173 — What Changed and What it Means for Federal Contractors

When Executive Order 14173 was issued in January 2025, revoking Executive Order 11246, many federal contractors took a sigh of relief. To some, it appeared that decades of affirmative action planning and federal oversight had come to an end. Yet eight months later, the reality has become unmistakable: EO 14173 did not eliminate compliance requirements….
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EEOC & DOJ’s Warning on DEI Marks a Turning Point for Federal Contractors Under EO 14173

The U.S. Equal Employment Opportunity Commission (EEOC) and the Department of Justice (DOJ) issued a joint warning that could reshape how employers, including federal contractors, approach Diversity, Equity, and Inclusion (DEI) programs. The message was unmistakable: Title VII of the Civil Rights Act prohibits employment discrimination based on race, sex, or any other protected characteristic,…
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