New DOL Standards – Salary Considerations

New DOL Standards – Salary Considerations

On December 1, 2016, the Department of Labor (DOL) will implement changes raising the minimum compensation for exempt employees to $47,476 annually. While salary is just half of a two-part equation that includes a duties test of essential job functions, scrutiny is under way to analyze compensation and find solutions to avoid conflict with the new rule.

Why not just have all employees work 40 hours and get approval for overtime?

The statutory definition of "employ" is "to suffer or permit to work." The phrase "suffer or permit" to work does not mean "approve." Hence, any time a nonexempt employee works, the employee must be compensated. A nonexempt employee cannot volunteer to work off the clock, so activities as innocuous as an employee arriving early and just starting their day become problematic. Common advice is to issue progressive discipline for employees who work unapproved overtime, but writing up a good employee for what they reasonably perceive to be initiative can open a new can of worms.

Employers further bear the burden of capturing and recording all time worked. Documenting compensable time is complicated when reviewing the variations of what constitutes work time. The non-exhaustive list includes:

Even with a sophisticated time-keeping system, capturing all hours is a challenge.

So what are some solutions?

Salary increase. If the duties test supports the classification of an employee as exempt, you can simply raise the employee’s salary to meet the minimum $913 weekly threshold.

Because budgets may not support across-the-board increases in salaries, Fair Labor Standards Act (FLSA) minimum salaries can be offset by:

Bonus or incentive. Alternatively, an employer could make use of the new rule that allows up to 10 percent of an employee’s minimum salary to be paid through nondiscretionary bonuses, incentive pay, or commissions.

Example 1: The use of the 10 percent bonus as part of minimum salary.

John Fry is the Shift Manager at the Happy Hamburger Hut. His annual salary is $42,728. This is approximately $4,748 short of the DOL minimum exempt salary of $47,476. As a manager, he is eligible for an incentive bonus of up to $4,000 per quarter, provided that he meets his sales goals. At the end of the quarter, he has met enough of his target to earn a $1,500 bonus, which he receives on his next paycheck. This meets the DOL standard.

The extra $313 will also reduce the annual $4,748 liability and reduce the next quarter’s minimum "must pay bonus" to $874).

Example 2: The use of commission to offset minimum salary.

Jane Dresser manages a women’s clothing store. Her base salary is $833 a week, or $80 a week short of the minimum $913 a week required by the DOL. In addition to her exempt duties managing the business and staff of the store, Jane earns a commission on all garments she personally sells. In January, a slow month for the store, Jane earned only $75 a week in commission. February picked up and she earned $100 a week. March was clearance month so again, her commission dropped to $75 a week. Still, the commission from the three months made up the difference between her salary and the DOL required minimum salary:

In both examples, even though Jane and John made less than the $913 weekly minimum salary, their quarterly bonus and commission made up the difference. If either employee did not earn enough from the nondiscretionary bonus or commission payment in that quarter to meet the standard salary level, their employer may make a "catch-up" payment within one pay period of the end of the quarter. Any such "catch-up" payment would count only toward the prior quarter’s salary amount and not toward the salary amount in the quarter in which it is paid.

What if we want to continue to pay all of our employees on a salary basis, even though they may not be "exempt" under the duties test of the DOL?

One of the most common misconceptions about the FLSA is that "salaried" is the same as "exempt." Paying someone a salary does not make them exempt nor does it make them ineligible for overtime. Employers may continue to pay all employees on a salary basis and nonexempt employees can certainly be paid less than $913 a week. This does not, however, release employers from their obligation to track and record all hours worked by nonexempt staff. Some considerations for paying nonexempt staff on a salary basis:

This Compliance Advisor was provided by the team at Maniaci Insurance Services. Contact them to learn more about our CIOMA Employee Benefits Program.

Maniaci Insurance Services, Inc.

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