Title: Introduction to the Method of Administration
1Introduction to the Method of Administration
- Elba Colón, Jessica Larkin
- U.S. Department of Labor
- Civil Rights Center
- Office of Compliance Assistance Planning
2What is the Methods of Administration?
- Written document addressing each element with
supporting documentation - Signed by the Governor
- Gives a reasonable guarantee of compliance with
Section 188 and 29 CFR Part 37.54
3MOA Format
- Narrative and
- Supporting Documentation.
4What are the MOA Elements?
- 1. Designation of Equal Opportunity Officers
- 2. Equal Opportunity Notice Communication
- 3. Assurances
- 4. Universal Access
- 5. Compliance with Disability Laws
- 6. Data Collection Recordkeeping
- 7. Monitoring
- 8. Complaint Processing Procedures
- 9. Corrective Actions/Sanctions Procedures
5Methods of AdministrationMOA Element 1
- Equal Opportunity Officers
6Equal Opportunity Officers
- Serve as individuals responsible for
coordinating equal opportunity activities to
fulfill Recipients obligations under the
nondiscrimination and equal opportunity
requirements of WIA (29 CFR 37.25)
7Equal Opportunity Officer Responsibilities
- Serves as liaison with Civil Rights Center
-
- Conducts EO compliance monitoring and
investigations (Analyses by race/ ethnicity, sex,
age, and disability status to determine cause of
significant differences) - Reviews written policies
- Develops and publishes procedures for
discrimination complaint processes - Develops and implements Methods of
- Administration
- Reporting on EO matters directly to the top
official -
8Methods of AdministrationMOA Element 2
9Key Requirements ForNotice and Communication
- The recipient must provide initial and continuing
Notice that it does not discriminate on any
prohibited ground (29 CFR 37.29-37.34). - The recipient must provide information that
describes an individuals right to file a
discrimination complaint (29 CFR 37.30 and
37.36). - The recipient must effectively communicate the
Equal Opportunity Is The Law Notice to
individuals with disabilities and to other
populations with special needs (29 CFR 37.31,
37.34 and 37.35).
10Provide Initial Continuing Notice
- Identify EO Officer and Provide Contact
Information - Provide EO Is the Law notice to All Appropriate
Parties - Communicate the Notice Sufficiently
11Provide Information on an Individuals Right to
File Complaint
- EO is the Law
- What to Do If You Believe You Have Experienced
Discrimination - You may file a complaint with either
- Recipient
- Person whom the recipient has designated for this
purpose - Civil Rights Center (CRC)
12Provide Effective Notice to Persons with Special
Needs
- Effectively communicate the EO Is the Law
Notice to persons with disabilities or special
needs
- Provide notices in formats appropriate to persons
with visual impairment - Provide appropriate auxiliary aid or service
where necessary - Mention the recipients TDD/TYY or relay service
whenever it is said that the recipient can be
reached by phone - Ensure that persons with disabilities and other
special needs can, if they so desire, obtain
information on the availability and location of
accessible services, activities, and facilities - Communicate, in the appropriate language, where a
significant percentage of the recipients
eligible population is made up of persons with
limited English
13Methods of AdministrationMOA Element 3
14Assurance Requirementsfor Recipients
- Description of procedures established to ensure
that their procurement contracting officers
incorporate the Assurances into all appropriate
documentation, including grants, cooperative
agreements, and contracts to carry out the
programs and activities funded under WIA - Description of procedures they have established
to ensure programmatic and architectural
accessibility for individuals with disabilities
15Supporting Documentation
- Copy of Assurance pages of plans, contracts, and
other agreements - Copy of memos or directives to contract managers
advising them to include the required Assurances
in the appropriate documents - Copy of checklists or other guidelines used by
contract specialists, attorneys, or others who
review contracts and agreements that indicate
that nondiscrimination and equal opportunity are
considered in the evaluation of such documents - Copy of procedures to review the ability of grant
applicants and training providers seeking
eligibility to comply with the nondiscrimination
and equal opportunity provisions of WIA - Copy of WIA EO issuance (e.g., the general EO
policy statement, the policy statement on sexual
harassment, and the policy statement on religious
accommodation)
16Methods of AdministrationMOA Element 4
17Key Requirement forUniversal Access
- WIA recipients are required to provide universal
access to all WIA funded programs and activities
(29 CFR 37.42).
- Universal Access - Ensuring that an equivalent
level of information regarding aid, benefits,
services, and training is provided to all
populations of eligible participants
18Key Requirement forUniversal Access (cont.)
- Recipients must demonstrate a reasonable effort
to include varying demographic groups in their
WIA programs and activities, including
- Both sexes
- Various racial and ethnic groups
- Individuals with disabilities
- Different age groups
19Outreach Recruitment PlansWhat Reasonable
Plans Include
- Establishing procedures for listing job openings
and available programs or service opportunities
that reach the greatest number of the local
service area population - Developing relationships with community
organizations - Assigning staff and resources to carry out the
outreach plan - Ensuring staff awareness of the outreach plan
through training and orientation
20Supporting DocumentationUniversal Access
- Copies of plans for targeting, outreach, and
recruitment (state or local level) - Copies of criteria for determining priority of
services - Copies of One-Stop operators universal access
plans - Samples of brochures, posters, or Public Service
Announcements
21Methods of AdministrationMOA Element 5
- Compliance with Federal Disability Laws
22Compliance with Federal Disability Laws
- What Federal Laws Protect Applicants/Customers
and Employees with Disabilities? - Three relevant laws
- Section 504 of the Rehabilitation Act of 1973
(29 CFR Part 32) - WIA Section 188 ( 29 CFR Part 37)
- Americans with Disabilities Act Amendments Act of
2008 (ADAAA) (no implementing regulations
published yet)
23 MOA Narrative Requirements
- Describe how the State ensures that recipients
- Conform to the regulatory requirements not to
discriminate on the basis of disability (29 CFR
32.12 (a), 32.26, and 37.7.) - Provide reasonable accommodation for individuals
with disabilities (29 CFR 32.13 and 29 CFR 37.8) - Provide reasonable modification of policies,
practices and procedures, as required (29 CFR
37.8)
24The MOA should document how recipients
- Dont discriminate based on disability
- Provide reasonable accommodations / modifications
- Provide services in integrated settings
- Communicate effectively with people with
disabilities - Provide architectural and programmatic
accessibility - Regularly review selection criteria
- Deal appropriately with medical and
disability-related information (various
regulatory requirements)
25Methods of AdministrationMOA Element 6
- Data and Information Collection and Maintenance
26Key Requirement Ensure a Properly Functioning
Data Collection System
- About whom must data be collected?
- Applicants
- Registrants
- Eligible applicants/registrants
- Participants
- Terminees
- Employees
- Applicants for employment
27Key Requirement Ensure a Properly Functioning
Data Collection System
- What data must be collected?
- Demographic information including
- Race/ethnicity
- Sex
- Age
- Disability status, where known
28Key Requirement Provide Information to CRC
Director
- Recipients must collect the required data and
provide them to the Director of the CRC upon
request. (29 CFR 37.37).
29Key Requirement Maintain Data in a Confidential
Manner
- Implementing regulation 29 CFR 37.37 requires
that data collected be maintained in a
confidential manner.
30Supporting DocumentationData Collection and
Maintenance
- Instructions regarding information collection and
access, and maintenance of records - Samples of policy issuances that discuss
confidentiality of demographic information - Samples of reports regarding demographic
information - Copies of the procedures used to ensure
confidentiality of demographic information - Samples of formats and instructions, in hard copy
and electronic file forms, of the Complaint Log
31Methods of AdministrationMOA Element 7
- Monitoring and Compliance
32Monitoring Responsibilities
- Each Governor must establish monitoring
procedures (29 CFR 37.37) - System to periodically monitor all aspects of the
recipients compliance with WIA - System to monitor compliance with the
nondiscrimination and equal opportunity
requirements under WIA Section 188
33EO Monitoring Review System Must Include
- Review of recipients compliance with
administrative obligations - Notice and Communication
- EO Officers
- Assurances
- Review of recipients compliance with MOA
responsibilities - Review of programs and activities to determine
whether discrimination is occurring
34Periodic Monitoring ReviewMust Include
- Analyzing recipients data and records (29 CFR
37-41) - Evaluating compliance with administrative
obligations under the MOA. - Investigating significant differences across
groups
- EO Officers
- Assurances
- Notice communication
- Universal access
- Data and information
- Complaint processing procedures
- Performance of recipient responsibilities
assigned by state through MOA
35Supporting Documentation Monitoring
- Policy procedural issuances on required
elements of the MOA - Monitoring instruments and instructions
- Evidence of the extent to which nondiscrimination
and EO policies have been developed and
communicated as required - Information on the extent to which EO training
has been carried out or is planned - Reports of monitoring reviews and reports of
follow-up actions taken under those reviews where
violations have been found, including appropriate
sanctions - Notices made under Notice and Communication
36Methods of AdministrationMOA Element 8
- Complaint Processing Procedures
37General Requirements
- Each state must adopt and publish procedures for
processing complaints alleging discrimination
against any WIA recipient (29 CFR 37.77) - The Governor, LWIA, and the EO Officers are
responsible for developing and publishing
complaint procedures - (29 CFR 37.77)
- The EO Officer is responsible for ensuring that
recipients follow procedures for processing
discrimination complaints under 29 CFR 37.76
37.79. (29 CFR 37.25 d) - The procedures must provide the complainant with
the option to file with the recipient or directly
with CRC. (29 CFR 37.71 and 37.76) - All recipients must comply with the complaint
procedures. (29 CFR 37.77)
38Required Elements
- Initial written notice
- Written statement of issues
- Process for fact-finding
- Alternative Dispute Resolution process
- Written Notice of Final Action
39Supporting Documentation
- A copy of the states discrimination complaint
procedures developed pursuant to the regulatory
requirements of the regulations - A copy of directives, memoranda, or any other
instruments used to inform recipients of the
complaint procedures - A copy of the ADR procedures, if not included
with the complaint processing
40Supporting Documentation
- Describe
- How the state will communicate policies,
procedures and systems to all recipients - How the recipients have made, and will continue
making, efforts to ensure proper complaint
processing - How the state will support and evaluate the
success of its recipients complaint processing
efforts
41Methods of AdministrationMOA Element 9
- Corrective Actions and Sanctions
42Key Requirements
- Establish procedures for effecting corrective
actions and applying sanctions, if needed, to
ensure that resolution of any noncompliance can
be enforced - Maintain submit documentation to show that
corrective actions and prospective relief plans
are being implemented and maintained - Impose sanctions for violations that are not
voluntarily corrected
43Key Requirement
- Take corrective action when there is probable
cause to believe a violation has occurred and
violation has been identified as a result of - Monitoring review
- Discrimination complaint
- Both
44Key Requirement
- Take immediate corrective action agree on plan
if immediate corrective action is not possible - Completely correct each violation
- Establish minimum time frame to completely
correct the violation - Institute follow-up monitoring procedures to
ensure commitments to take corrective action and
remedial action are being fulfilled - Provide written agreement or assurance to
document corrective action taken or prospective
relief planned
45Key Requirement
- State must have procedures in place to impose
sanctions when all attempts to provide assistance
to effect voluntary correction of a violation
have failed or when it is apparent that the
recipient fails or refuses to correct the
violation within the timeframe established.
46Supporting DocumentationCorrective Actions and
Sanctions
- Regulations implementing Section 188 of the
Workforce Investment Act require that the
following documentation be available
1. Copies of any policy memorandum or directives
explaining corrective actions and sanctions 2.
Copies of each instrument used to inform
recipients of the states procedures regarding
corrective actions and sanctions
47Supporting Documentation
- Policy communications and directives to LWIAs
instructing recipients on how to comply with the
Corrective Actions and Sanctions requirements - States procedures for penalizing or censuring a
non-complying recipient and a table of sanctions
that may be applied - Additional MOA requirements imposed by the state
to implement the requirements of Corrective
Actions and Sanctions
48 CRC Information
- Web site www.dol.gov/oasam/programs/crc/
- Colon.elba_at_dol.gov
- Larkin.Jessica_at_dol.gov
- 202-693-6560
- TTY (202) 693-6515/16
-
49 CRC Information
- Web site
- www.dol.gov/oasam/programs/crc/
- Office of Compliance Assistance Planning
- (202) 693-6501
- Office of External Enforcement
- (202) 693-6502
- TTY (202) 693-6515/16
-