compliance hr webinar: working on overtime
TRANSCRIPT
© 2 0 1 6 C o m p l i a n c e H R . A l l R i g h t s R e s e r v e d .
WORKING ON OVERTIMEPrepar ing for DOL’s Changes to the FLSA Overt ime Regulat ions
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FAIR LABOR STANDARDS ACT
Requires payment of the minimum wage for all hours worked and overtime at 1 ½ times an employee’s regular rate for hours worked over 40 in a week
Since it was passed in 1938, Section 13(a)(1) of the FLSA has exempted certain “white collar” employees
The Secretary of Labor has broad authority to “define and delimit” the exemptions
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29 C.F.R. PART 541
DOL has defined the “white collar” (or “EAP”) exemptions in regulations at 29 C.F.R. Part 541 • Executive• Administrative• Learned Professional• Creative Professional• Computer• Outside Sales
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FEATURED SPEAKER
Tammy McCutchen• P r i n c i p a l , L i t t l e r M e n d e l s o n
• V P S t r a t e g y , C o m p l i a n c e H R
• F o r m e r A d m i n i s t r a t o r , U S - D O L , W a g e & H o u r D i v i s i o n
A u t h o r , 2 0 0 4 R e v i s i o n s t o W h i t e C o l l a r E x e m p t i o n s
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PROPOSED CHANGES
Working on Overtime: Preparing for DOL's Changes to the FLSA Overtime Regulations
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THREE TESTS FOR EXEMPTION
Salary LevelSalary Basis
• Salary level and basis tests do not apply to lawyers, doctors, teachers or outside sales
• Computer employees can be paid by the hour ($27.63)
DutiesX
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MINIMUM SALARY LEVEL
Set the minimum salary at the 40th percentile of weekly earnings for full-time “non-hourly paid” employees• Currently, $921/week or $47,892/year
• Expected to increase to $970/week or $50,400/year by the time a Final Rule is issued in 2016
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AUTOMATIC, ANNUAL INCREASES
DOL proposed to establish a mechanism for automatically increasing the salary levels annually based either on the percentile (40%) or inflation (CPI-U)
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INCLUDING BONUSES
DOL sought comments on allowing nondiscretionary bonuses paid monthly or more frequently to satisfy up to 10% of the minimum salary level
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CHANGES TO THE DUTIES TESTS?
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REDEFINING “PRIMARY DUTY”
Current definition: • The “principal, main, major or
most important duty that the employee performs”
Possible changes:• Requiring employees to spend
a certain amount of time perform work that is their exempt primary duty
• Adopting the “California rule” requiring that 50% of an employee’s time be spent exclusively on work that is the employee’s primary duty
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ELIMINATION OF “CONCURRENT DUTIES”
Current definition: • Nonexempt work “does not
disqualify” an employee from the executive exemption when the employee decides when to perform such non-exempt work and remains responsible for success/failure of the business.
Possible changes:• Eliminated entirely
• Modifying the rule “to avoid sweeping nonexempt employees into the exemption”
• Limitation on the amount of nonexempt work that an exempt employee can perform
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RETURNING TO THE “LONG” AND “SHORT” TESTS
Current: • In 2004, DOL eliminated
the “long” and “short” duties test structure and adopted a single standard duties test for each exemption.
Possible changes:• Return to a two-tier structure
with additional duties requirements for employees at a lower salary level;
• Pre-2004 “long” tests included a 20% restriction on non-exempt work (40% in retail).
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EMPLOYER COMMENTS
Working on Overtime: Preparing for DOL's Changes to the FLSA Overtime Regulations
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PUBLIC COMMENTS
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PUBLIC COMMENTS
Employers said $50,000 is to high• Some employers suggested a 3 to 5 year phase-in period
Employers objected to annual increases in salary levelEmployers supported counting bonuses towards salary level, but also stated:
• Commissions should also count• Bonuses paid quarterly or annually should also count• Should not be limited to just 10%
Employers objected to any changes in the duties tests because of DOL’s failure to provide sufficient notice
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PREPARING FOR CHANGE
Working on Overtime: Preparing for DOL's Changes to the FLSA Overtime Regulations
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T H E R U L E M A K I N G P R O C E S S T H U S FA R
January 2014, State of the Union Address: President Obama indicates dealing with “stagnant wages” is a top priority
March 2014, Memorandum: President Obama directs Secretary of Labor Perez to revise the overtime regulations
Summer 2014, Listening Sessions: Secretary Perez meets with stakeholders including (business associations, non-profit organizations, employee advocates, unions, state/local governments)
July 2015, NPRM: Wage & Hour Administrator Weil issues proposed changes to the Part 541 regulations. The comment period closed September 4, 2015
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W H E N W I L L D O L P U B L I S H T H E F I N A L R U L E ?
On November 11, the Wall Street Journal quoting Solicitor of Labor Patricia Smith as stating that the Final Rule would not be published until “late 2016”
On November 20, Administrator Weil’s Fall 2015 Regulatory Agenda for the Wage & Hour Division set publication of the Final Rule for July 2016
On December 12, in an interview with BloombergBNA, Secretary Perez stated that the Final Rule “will be issued by Spring 2016”
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WHAT IS LIKELY TO CHANGE?
Salary Level• Although DOL may moderate down a bit, also unlikely to increase
salary level above $50,440• Likely to implement automatic annual increases• Unlikely to allow bonuses to count towards the minimum salary
level
Duties Tests• Likely to move towards the California 50% primary duty rule, but
not likely to bring back 80-20 rule under a long test• Likely to eliminate concurrent duties
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PREPARING FOR CHANGE
Do not wait until DOL publishes its final rule to begin preparing for change
DOL likely will provide employers only two months to comply with the Final Rule
Determining who to reclassify and implementing reclassification can take up to six monthsBusiness partners need to understand the possible budgetary impact of the salary-level increase
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COMPLIANCE, STEP-BY-STEP
1. Identify employees who need to be reclassified
2. Develop new compensation plan for the reclassified employees
3. Review wage-hour policies and processes
4. Communicate the changes
5. Train the reclassified employees and their managers
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IDENTIFY JOBS FOR REVIEW
Jobs paid below $60,000 annual salary
Jobs in the lowest two or three pay grades
Jobs with large numbers of incumbent employees
Class action favorites• Accounting• Assistant managers• Sales and sales support• Help desk functions and other computer employees without programming
duties• Customer service• Technicians
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SALARY INCREASE OR OVERTIME?
Pull salary and incentive pay data
Calculate the cost of increasing salary to $50,440• Consider lowering incentive pay to offset salary
increase
Calculate the cost of overtime• How many hours are exempt employees working?• (Weekly salary / 40) * 1.5 * expected overtime
hours
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COST-NEUTRAL SOLUTION
Weekly Salary / (40 + (OT Hours x 1.5))With a good estimate of expected weekly work hours, applying this formula will provide an hourly rate which will result in the same weekly and annual compensationYes, its legal – DOL gave us this formula in the preamble to the 2003 Notice of Proposed Rulemaking (68 F.R. 15576)
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JOB DUTY REVIEW
Do you have employees who do not meet the duties requirements for exemption?
Rare opportunity to correct classification issues with reduced risk of triggering litigation
ComplianceHR’s new Navigator OT application• First ever intelligent, online solution providing
expert level guidance at internet speed and scale
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A F T E R T H E R E C L A S S I F I C AT I O N D E C I S I O N
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COMPENSATION PLAN REDESIGN
Should we continue to pay reclassified employees on a salary or convert them to a hourly rate?
Should we adjust the salary level downward or adopt an hourly rate that will minimize additional costs?
How will we calculate overtime for salaried non-exempt employees?• Divide salary by 40• Divide salary by actual hours worked• Fluctuating workweek
Will we continue to provide incentive compensation?
Do we need to make changes to any benefits?
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REVIEW POLICIES AND PROCESSES
Processes• Timekeeping • Payroll changes• Controlling overtime hours
Policies• Off-the-clock work• Meal and rest break• Travel time• Mobile device
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Need to communicate with senior management, managers of reclassified employees and the employees themselves
Key decisions• Who will communicate the changes?• What will be communicated?• How will changes be communicated?• When will the changes be communicated
Prepare talking points and FAQs
COMMUNICATE THE CHANGES
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TRAINING
Train the reclassified employees and their managers
• Wage & hour policies• Timekeeping procedures• Activities that are compensable
work
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WELCOME TO COMPLIANCEHR
The award-winning joint venture that combines the subject matter expertise of Littler with the revolutionary software of Neota Logic.
The result? The first of its kind suite of intelligent applications delivering guidance at Internet speed and scale.
Navigator OT DashboardYou have 3 Reviews, encompassing 7 individual Evaluations
100%
100%
Executive Exemption
Administrative Exemption
Outside Sales Exemption
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COST OF NON-COMPLIANCE
Since 2007, employers have spent $4 billion to settle wage-hour lawsuits• The average settlement in
2014 was $5.3 million
In that same time period, DOL has collected another $1.9 billion• 79% of investigations
resulted in payment of back wages2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015
0
1,000
2,000
3,000
4,000
5,000
6,000
7,000
8,000
9,000
10,000
4,0553,4263,464
4,398
6,786
5,3025,6446,081
7,0087,0647,7648,126
8,781
FLSA Lawsuits on the Rise
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Q U E S T I O N S ?
© 2 0 1 6 C o m p l i a n c e H R . A l l R i g h t s R e s e r v e d .
L o r i B r o w [email protected]
305.213.5419
Ta m m y M c C u t c h e [email protected]
202.414.6857