DOL Now Fully Enforcing FFCRA Paid Leave Rules for Coronavirus

Posted by Edward McNamara on April 29, 2020

After observing a 30-day nonenforcement period to help employers come into compliance with new paid leave rules, the U.S. Department of Labor (DOL) has announced that it is fully enforcing all provisions of the Families First Coronavirus Response Act (FFCRA).

The FFCRA requires private employers with fewer than 500 employees and certain government employers to provide paid leave for their employees, either for the employees’ own health needs or to care for others, for reasons related to the coronavirus (COVID-19) pandemic. These requirements apply for employee leave taken between April 1 and Dec. 31, 2020.

Temporary Nonenforcement Period
The DOL had previously indicated that it would not take enforcement actions against covered employers for violations occurring before April 17, 2020, as long as these employers made reasonable, good faith efforts to comply with the law. However, the nonenforcement policy did not apply if a violation was willful or if an employer failed to provide a written commitment to future FFCRA compliance or remedy a violation after receiving a DOL notice.

Current Enforcement Policy
Now that the temporary policy has expired, the DOL is fully enforcing the FFCRA. Employers may still face retroactive penalties for violations committed during the nonenforcement period under certain circumstances. According to the DOL’s frequently asked questions (FAQs) about the FFCRA, the agency will retroactively enforce violations back to the effective date of April 1, 2020, if employers have not remedied the violations.

Penalties for FFCRA violations include civil lawsuits and criminal charges punishable by imprisonment and fines of up to $10,000.

We have additionally attached a sample DOL Enforcement / Audit letter, and are in the process of developing a FFCRA compliance checklist to add to our annual compliance reviews to ensure you are not exposed.

Download:
DOL Enforcement / Audit letter
FFCRA Appointment Letter

If you have any specific questions or concerns, please feel free to contact your Armada Risk Partners client executive directly.
 

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About the author Edward McNamara