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Access Brief: Insights & Guidance for Digital Accessibility

This is where AOG shares expert guidance, regulatory updates, and practical resources to help public agencies and AEC firms meet federal ADA Title II digital accessibility mandates.

MAY 07 2026

IT is Not the Owner of Your Content.

When a public agency learns that its digital content must conform to WCAG 2.1 AA, the first instinct is almost always the same: assign it to IT. This makes sense on the surface. Digital accessibility sounds like a technology problem. The word digital is right there in the name. IT manages the website, the servers, the content management system. It feels like their domain.

April 28 2026

The DOJ Deadline Moved. The HHS Deadline Did Not. Here Is What That Means.

On May 9, 2024, the Department of Health and Human Services published a final rule updating the regulations implementing Section 504 of the Rehabilitation Act of 1973. Section 504 has prohibited disability-based discrimination in federally funded programs for over 50 years. What the 2024 final rule added was the specific technical standard for digital accessibility: WCAG 2.1 Level AA. The same standard required under ADA Title II.

April 21 2026

What Makes a PDF Accessible (and What Does Not)

If you work at a state DOT or an AEC firm that delivers documents to one, there is a very high probability that your agency’s website hosts PDFs that do not meet WCAG 2.1 AA. This is not a criticism. It is the starting condition for nearly every public agency in the country. 

April 17, 2026

Why Digital Accessibility for Transportation Agencies is a Different Conversation

The Title II deadline moved to April 26, 2027 for large agencies, but the complexity did not. Transportation agencies still face federal funding oversight, mandatory public involvement, contractor-produced content, and document libraries at scale. Here's why the generic accessibility playbook falls short.

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