• Federal Court of Appeals Signals an End to Project Labor Agreement Requirements Linked to Development Tax Credits
  • November 17, 2016 | Authors: Gregory R. Begg; Aaron C. Schlesinger
  • Law Firms: Peckar & Abramson A Professional Corporation - River Edge Office; Peckar & Abramson A Professional Corporation - New York Office
  • On July 31, 2014, President Barack Obama issued Executive Order 13673. As subsequently amended, the Executive Order purports to “increase efficiency and cost savings in the work performed by parties who contract with the Federal Government by ensuring that they understand and comply with labor laws.” On August 25, 2016 the Federal Acquisition Regulation (“FAR”) Council published the final FAR Rule and the United States Department of Labor (“DOL”) published its Guidance further implementing the Executive Order. The FAR final rule was scheduled to go into effect in stages, starting with solicitations with an estimated value of $50 million or more on October 25, 2016. The potential effect of these new regulations on government contractors has been the subject of prior alerts from this office and much ongoing discussion.