|
DLSE (Again) Revises Wage Theft
Prevention Act FAQs
February 3, 2012
Summary
Last week the California Division of Labor
Standards Enforcement (DLSE) again revised its Frequently
Asked Questions (FAQs) regarding the Wage Theft Prevention
Act’s employee notice requirements. The revised FAQs can
be
downloaded here.
Discussion
The
Wage Theft Prevention Act of
2011 requires private sector employers to provide each newly
hired, non-exempt employee with a written notice that contains
specified information.
Our
December 30, 2011 E-Update summarized the
information that must be included on the notice, and discussed
the template provided by the DLSE to assist employers in
complying with the new notice requirements.
The
template and the previous
versions of the FAQs failed to provide clear guidance on a
number of issues, so the DLSE has now published another
revised set of FAQs. Several of the previous FAQs have been
revised, and ten new FAQs have been added. The
changes/additions include the following:
-
FAQ 12 – It has always been a requirement for employers to put all pay rates on the
notice. This requirement has caused a great deal of
confusion to employers who have employees who may be subject
to several different rates of pay, which could make it
impractical to include all pay rates on the notice. The
DLSE added language to FAQ 12 to allow employers to attach a
separate sheet containing all rates of pay, provided
language is included on the notice itself that clearly
references the attachment(s).
-
FAQ 18 – This new FAQ provides guidance on how to describe
pay rates apart from those calculated by fixed hourly,
commission and piece rates.
-
FAQ 19 – This new FAQ provides that “only
rates known and determinable” in dollar amounts need be
included on the notice. This is an attempt to address
instances where an employee’s regular rate and overtime rate
may fluctuate due to the inclusion of different types of pay
(such as supplementary commissions, bonuses or piece rates)
other than hourly pay. In these instances, an employer may
designate an employee’s “regular rate of pay” on the notice
as a rate which “is subject to upward adjustment when other
specified forms of wages are earned during the applicable
pay period.”
-
FAQ 20 – This new FAQ provides guidance on
when a “hire” occurs, which triggers the employer’s
obligation to provide a notice.
-
FAQ 22 – This new FAQ clarifies that a
notice of changes relating to an employer’s workers’
compensation policy may be accomplished by posting the
workers’ compensation notice already required by Labor Code sections 3550-3551, and
that such changes do not require an employer to issue
a new notice to each employee.
What This Means
The revised
FAQs answer some of the questions employers have been
asking over the past few months. Employers should make sure
that the individuals in their organizations who exercise
responsibility for preparing and issuing notices to new hires
are aware of the revised FAQs and use them. In addition,
employers who have chosen to create their own notice forms (as
opposed to using the template provided by the DLSE) should
review their forms to make sure they are consistent with the
DLSE’s new guidance.
Additionally,
employers are reminded of the continuing obligation to provide
updated notices to their covered employees whenever the
information on previously-issued notices changes. It is
particularly important to be vigilant on this issue because
the time period to provide the updated notification is short
(i.e., within seven days of the information changing or in the
next timely issued wage statement).
This E-Update
was authored by
Aaron
Buckley and
Brenda
Kasper. For more information, or questions, please
contact Mr. Buckley, Ms. Kasper, or any Paul, Plevin attorney
at (619) 237-5200. |
Information
Authors
Aaron Buckley
email
| bio
Brenda Kasper
email
| bio
Reference
Wage Theft Prevention Act FAQs
E-Update
Was this message
forwarded to you by a friend? CLICK HERE
to subscribe to the E-update mailing list.
CLICK HERE
to find out about PPS&C's employer training programs
CLICK HERE
to read other Employment Law E-Updates
Paul,
Plevin is on Twitter. Keep up with the latest news
in Labor and Employment Law by following PPSC at
twitter.com/paulplevin
|