Hogan Lovells 2024 Election Impact and Congressional Outlook Report
Late last year, President Biden signed bipartisan legislation reinforcing the federal government’s zero-tolerance policy against human trafficking. The new law increases scrutiny of contractor compliance with anti-trafficking requirements. We discuss the federal government’s anti-human trafficking framework, highlight the law’s key points, and provide considerations for federal contractors.
The federal government’s zero-tolerance policy against human trafficking dates back to the Trafficking Victims Protection Act (TVPA) of 2000. The TVPA created a comprehensive government strategy to combat severe forms of human trafficking. In 2006, the federal government introduced Federal Acquisition Regulation (FAR) subpart 22.17 and FAR 52.222-50, Combating Trafficking in Persons, which included a general prohibition on human trafficking for all federal service contractors and required the creation of policies and procedures to ensure employee compliance. See 71 Fed. Reg. 20301 (Apr. 19, 2006). The original clause was expanded in 2007 to cover all solicitations and contracts, including commercial items contracts. See 72 Fed. Reg. 46335 (Aug. 17, 2007). The federal government further built upon this framework with amendments in 2015. These amendments introduced a new compliance plan and annual certification requirement, as well as a list of prohibited conduct not previously included in the clause. See 80 Fed. Reg. 4,967 (Jan. 29, 2015).
FAR 52.222-50 plays an integral part in the federal government’s efforts to prevent trafficking within the contractor community. Specifically, the clause features the following provisions:
The Government Accountability Office (GAO) released a report in 2021, titled DoD Should Address Weaknesses in Oversight of Contractors and Reporting of Investigations Related to Contracts. The report found that many DoD contracting officers were unaware of their anti-trafficking oversight responsibilities and did not prioritize the monitoring, evaluation, or active oversight of contractors in this area. The report also revealed that DoD components had not met the combating trafficking in persons training requirements for contracting officers. This report appears to have directly prompted lawmakers to take legislative action, as described below.
The End Human Trafficking in Government Contracts Act of 2022 (the “Act”) is the federal government’s latest reaffirmation of its zero-tolerance policy1 and expands upon the existing anti-human trafficking policies found in FAR subpart 22.17 and clause 52.222-50.
Specifically, the Act requires agencies to refer reports of possible human trafficking violations directly to their agency’s suspension and debarment official (SDO). FAR 52.222-50 already required contractors to notify their contracting officer and the agency inspector general if they received “[a]ny credible information” that a human trafficking abuse occurred, but now agencies must elevate these reports to the SDO for their consideration. Prior to this legislation, the agency had discretion about whether to refer an allegation to the SDO; such discretion has been eliminated, thereby raising the stakes for any contractor that encounters suspected instances of human trafficking.
Congress passed the Act unanimously. In today’s political climate, such bipartisan action demonstrates a rare policy alignment among lawmakers. Although nothing in the Act requires mandatory debarment for allegations (or even substantiated allegations) of human trafficking, now is a good opportunity for federal contractors – as well as recipients of grants and cooperative agreements2– to evaluate their anti-human trafficking program, including policies and protocols to address such activity.
Our team is guiding many organizations as they develop and implement human trafficking compliance strategies, policies, and plans. If you have questions about how these updates will affect your organization, please contact one of the authors of this alert or the Hogan Lovells lawyer with whom you work.
Authored by Will Crawford, William Ferreira, and Stacy Hadeka.