This has been a long awaited and needed development by DOL/VETS to
strengthen the inital attempt by ETA, which was weak to say the least. While the
proposed rulemaking talks about 'representation of covered persons in such
programs in proportion to the incidence of representation of covered persons in the
labor market"; the next step should be for DOL/VETS to issue performance
standards to partner agencies operating the six identified DOL programs similar to
how standards are negotiated with States in the LVER/DVOP program. This would
strengthen "Vets Priority" and also demonstrate that programs need to get
serious about enrolling qualified veterans and spouses within DOL programs.
I would further recommend that the "incidence of representation" floor level should
be termed as the "minimum achievement level" and that DOL/VETS would expect
that agencies responsible for achieving "Vets Priority" look at levels that exceed
the threshold level of representation. That is also why standards should be
implemented to better identify what would be reasonable and then to continue to
achieve higher numbers.
The key is not just "point of entry" which will be difficult given the continued staff
reductions across the nation in all DOL programs, especially WP. It also is
complicated given that LVERs and DVOPs are not to be conducting initial
assessments unless the veteran is termed "hard to place". In addition to "point of
entry", language is needed to inform partner program agencies that they will need
to recruit covered persons in order to meet the labor market representation if they
don't meet this from the "point of entry". Something to-date that DOL programs
have not done.
I would also recommend that State LVER/DVOP program veteran
coordinators/supervisors partner with DOL/VETS State Directors to monitor "Vets
Priority" and to work closely with workforce DOL program managers to ensure that
programs are doing all they can to achieve "Ves Priority" and not just given "lip
service" as they have in the past.
While the State Vocational Rehabilitation programs falls under the Department of
Education and is not a DOL Employment and Training program, the Voc Rehab
program works closely with disabled veterans and is a major component of
veterans and spouses to find employment. I would recommend that DOL/VETS
work to add the Vocational Rehabilitation program within the guidelines of "Vets
Priority". This is a major component of an agency that has funds to help disabled
veterans. While the US Veterans Administration has the Chapter 31 program, it
doesn't provided what the Voc Rehabilitation program can and with both
programs working together, it has further impact to helping disabled veterans and
spouses.
Comment on FR Doc # E8-18869
This is comment on Proposed Rule
Priority of Service for Covered Persons
View Comment
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View AllPublic Submission Posted: 09/25/2008 ID: VETS-2008-0008-0002
Oct 14,2008 11:59 PM ET
Public Submission Posted: 09/25/2008 ID: VETS-2008-0008-0005
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Public Submission Posted: 09/25/2008 ID: VETS-2008-0008-0006
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Public Submission Posted: 09/25/2008 ID: VETS-2008-0008-0007
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Public Submission Posted: 09/25/2008 ID: VETS-2008-0008-0009
Oct 14,2008 11:59 PM ET