For many contractors, the self-identification requirements for protected veterans have been confusing since the revision of VEVRAA in September 2013, and especially since the VETS reporting requirements changed in September 2014. Let’s recap what brought us to this point:
Since our previous blog, we have received informal clarification from VETS that contractors will not be expected to collect information about a discharge date (or status as “Recently Separated”), even though that may mean over-reporting counts in the annual VETS report.
The bottom line is that contractors have options when developing the post-offer invitation to self-identify. There is no requirement to make changes at this time; however, the form can be altered at the discretion of the contractor. The table below outlines the basic options for the post-offer form.
Thoroughness of Form |
Example Descriptions |
Minimal Information to Request |
1. Yes, I identify as one or more of the categories of protected veteran listed above |
Minimal Information to Request + Recently Separated date |
1. Yes, I identify as one or more of the categories of protected veteran listed above |
Specific Categories + Recently Separated date | 1. Disabled Veteran 2. Recently Separated Veteran - Discharge date: ____ 3. Active Wartime Or Campaign Badge Veteran 4. Armed Forces Service Medal Veteran 5. I am a protected veteran, but I choose not to self-identify the classifications to which I belong. 6. I am NOT a protected veteran. 7. I choose to not self-identify as a protected veteran. |
As a reminder, the regulations do require certain information be included in the text of the form, regardless of the self-id categories, as follows:
By Kristen Pryor, Associate Consultant and Amanda Shapiro, Senior Consultant at DCI Consulting Group