FLSA: Raising the Bar for Employee Exemptions How Will It Affect Your Organization? Presented by John S. Gannon, Esq.
Agenda Wage/Hour Basics Proposed FLSA Regulations Action Steps for Businesses Questions?
Basic Wage/Hour Principles The Fair Labor Standards Act (FLSA) is the federal statute that regulates wage and hour law Requires payment of the federal minimum wage ($7.25) and guarantees compensation for all time worked, including overtime at time-and-a-half for all hours over 40 in a workweek
Basic Wage/Hour Principles (cont.) Be aware of state and local minimum wage laws setting higher rate Minimum wage increases have taken place across the country in 2015
Common Wage/Hour Mistakes Misclassification of employees as exempt Executive, administrative, professional, outside sales Not paying for all hours worked e.g., meal breaks, restrictive on-call time, travel, training, etc. Not paying/miscalculating overtime
Common Wage/Hour Mistakes (cont.) Treating employees as independent contractors Employee status is presumed under MA law
Lay of the Land
DOL’s proposed revisions to the “white-collar” overtime exemptions and what the proposals, if adopted, will mean for employers
Certain Employees Are “Exempt” from Overtime Rules White Collar Exemptions Executive, administrative, professional, outside sales, computer employees Must (currently!) Be paid on a nonfluctuating salaried basis of at least $455 per week (except outside sales employees and some professionals); AND Perform exempt duties
President Obama’s Directive March 2014: President issues memo directing Secretary of Labor to “modernize and streamline” overtime rules Goal: expand number of employees eligible for overtime
DOL’s Proposed Regulations Announced by DOL June 30, 2015 Major change: more than double the minimum salary threshold for “white collar” exemptions Provide for automatic annual updates of minimum salary threshold
DOL’s Proposed Regulations (cont.) Notice of proposed rulemaking (NPRM) published July 6, 2015 60 days to comment Final rule: Early 2016?
Salary Threshold Doubled Currently $455/week ($23,660 annually) Proposed: Increase to $921/week ($47,892 annually) Expected to be $970/week ($50,440 annually) when final rule issues Bottom line: Almost all employees making less than $50,440/year will need to be paid overtime premium
Why the Increase? Last increase in 2004, before that 1975 According to DOL: “The lapses between rulemakings have resulted in salary levels that are based on outdated salary data and thus ill-equipped to help employers assess which employees are unlikely to meet the duties tests for the exemptions” New minimum salary threshold based on 40 th percentile of weekly earnings for full- time salaried workers
Automatic Annual Increases Proposed regulation calls for automatic, annual increases tied to similar BLS statistics DOL plans to publish a notice with the new salary level at least 60 days before the updated rates would become effective Problems: Regional wages across country Some industries hit harder
Other Exemption Impacted Highly compensated employee (HCE exemption) Currently, paid $100,000/year (including bonus, commissions, etc.) AND At least one duty is satisfied from any test Proposed: increase to $122,148 (90 th percentile of full-time salary workers)
Discussion on Duties Tests Proposed rule does not change any of the duties tests DOL requested comments to determine whether duties tests also need to change Minimum amount of time exempt employees spent on exempt duties (50% test)? Focus is on lower-level executives (working supervisors, assistant managers)
Additional Comment Requests Including nondiscretionary bonuses (commissions) when calculating minimum salary threshold May only be used for 10% of income, must be paid at least monthly
Next Steps for Employers Conduct an audit Identify jobs that will be impacted by salary threshold change Options: Do nothing. Pay overtime (time and a half) to currently exempt employees who are below the 40th percentile of weekly earnings for full-time salaried workers.
Options Reclassify and limit overtime possibilities Give raises Reclassify and cut pay Readjust wages down, taking into account the same number of hours worked per week and the overtime that you’ll have to pay as a result
Opportunity to Make Corrections Good time to update job descriptions and correct classification mistakes Use change in the regulations as “cover”
What to Do When You Find an Employee Has Been Misclassified If misclassified as exempt, employer has obligation to pay overtime or other compensation owed to employee Options: Do nothing, but limit overtime going forward Change to non-exempt and pay back for all overtime (How much? Can employee still sue?)
What to Do When You Find an Employee Has Been Misclassified Options (cont.): Make change prospectively Determine exposure Has the employee worked overtime? How much? How many employees are there in this job classification? What records exist that would show hours of work?
Questions?
Employers Association of the NorthEast 4 Convenient Offices: 67 Hunt Street PO Box 1070 Agawam, MA Interstate Lane Waterbury, CT Midstate Drive Auburn, MA Toll Free – Blackstone Valley Place Suite 402 Lincoln, RI