AHLA. Angelo Spinola Littler Mendelson PC Atlanta, GA



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AHLA K. An Ounce of Prevention is Worth a Pound of Cure: Wage and Hour Compliance Strategies that Will Reduce the Risk of the Bet the Company Class Action Angelo Spinola Littler Mendelson PC Atlanta, GA Long Term Care and the Law February 19-21, 2014

An Ounce of Prevention Is Worth a Pound of Cure: Wage & Hour Compliance Strategies that Will Reduce the Risk of the Bet-the-Company Class Action Presented by: Angelo Spinola Littler Mendelson, P.C. February 20,2014 AHLA Long Term Care and the Law Program The Cosmopolitan of Las Vegas Hotel Las Vegas, NV WAGE AND HOUR LITIGATION TRENDS AND STATISTICS 1

Recent Trends Wage & Hour Class/Collective Actions 91% of employment class actions = wage & hour claims $467 million in total wage and hour settlements in 2012 $4.8 million = average wage& hour case settlement in 2012. * Data from Trends in Wage and Hour Settlements: 2012 Update. NERA Economic Consulting (March 2013) 3 Healthcare Employers Wage and Hour Practices Are Under Attacks The Problem 2

D.C. Healthcare Industry is a Major Target In 2011 and 2012, more than 690 wage and hour lawsuits were filed against healthcare organizations Wage and hour class/collective actions against healthcare organizations increased by almost 10% from 2011 to 2012, and have even more significantly increased since 2008. Home care employers specifically are being targeted: Gentiva Health Services, Inc. Amedisys, Inc. Maxim Healthcare Services Resurrection Home Health Services At Home Neighborly Nurse Bienvenidos Home Health Care LLC Nurse On Call, Inc. Consolidated Home Health Pyramid Home Health Services Res-Care, Inc. Care Response Home Health Agency Corp. CareStar, Inc. LifeCare Home Nursing, LLC Friends Health Care Services, Inc. Ann s Choice, Inc. AccentCare Caring People Inc. Epic Health Services Healthcare Class Actions Are All Over the Map Wage Hour Class/Collective Action Complaints Against Healthcare Organizations AK WA OR CA NV ID MT WY UT CO ND SD NE KS MN IA MO WI IL MI IN OH WV KY NY PA VA NJ MD DE VT NH MA CT RI ME HI AZ NM OK TX AR LA MS TN AL GA NC SC Highest # of lawsuits Second Highest # of lawsuits FL Other States where lawsuits have been filed 3

The New DOL Enforcement and Legislative Initiatives Fight on Two Fronts U.S. Department of Labor David Weil was recently nominated to serve as Administrator of the DOL s Wage and Hour Division In 2010, Weil published a report for the DOL titled: Improving Workplace Conditions Through Strategic Enforcement Report provides insight on Weil s priorities as well as his approach to enforcement. Focuses on fissured industries "known for employing vulnerable workers" David Weil WHD 4

DOL Enforcement: Targeting Home Health Care Employers Fissured employment relationships : large businesses contracting, outsourcing and subcontracting employees from smaller businesses Results in highly competitive markets with interest of keeping costs (including employee wages) down. Home Health Care specifically referenced as a priority industry that should be a focus of WHD attention over the next few years. : Hotel/Motel Moving Companies/ Logistics Residential Construction Home Health Care Janitorial Services Landscaping Health Care Agricultural Products Grocery & Retail Legislation: Elimination of the Companionship Exemption for Home Care Employees On September 17, 2013, the DOL s Wage and Hour Division announced a final rule eliminating the FLSA minimum wage and overtime exemption for home care workers employed by home care agencies and other companies. Effective January 1, 2015, agencies must pay home care workers overtime at one-and-a-half times their regular rate of pay for all hours worked over 40. 5

Economic Impact of Eliminating the Companionship Exemption Would your business be negatively affected if the proposed Department of Labor rules are adopted? 12% 5% 5% 78% Moderate Impact Small Impact No Impact Significant Impact Considerations & Planning for Reclassifying Employees from Exempt to Non-Exempt Status Review current compensation structures Consider pay restructuring: piece rate or salary under fluctuating workweek method Consider workforce restructuring: hire additional workers, hire more part-time workers Implement new timekeeping systems Reprogram payroll systems Adopt new pay policies Train the newly non-exempt employees and their managers on the new policies and procedures 6

STRIKE ZONES: OFF-THE-CLOCK WORK AND EXEMPTION PROBLEMS Strike Zones: Off-The-Clock Work Remote use of electronic devices Missed/interrupted meal and rest periods Travel time Waiting/On-call time Timekeeping rules: rounding, auto-deductions, regular rate Training time Volunteer activities Non-exempts paid on piece rate 7

Strike Zones: Exemptions Professional Exemption Advanced knowledge in specialized field (e.g., LPNs v. RNs) Paid salary or fee Administrative Exemption Discretion and Independence Paid salary or fee Executive Exemption Two or more FTEs Paid salary Elimination of Companionship Services Exemption Strike Zones: Exemptions (cont.) What Are Your Risks? Duties and Compensation Tests Non-exempt activities must be limited Fee-based employees fees must be for unique activities Salaried employees must be guaranteed at least $455 per week Pay per visit v. salary-plus compensation plans State laws vary (e.g., RNs may not be classified as exempt professionals under CA law) Employees should keep accurate records of all time worked 8

DEVELOPING AN EFFECTIVE PREVENTION & COMPLIANCE PROGRAM An Effective Compliance Program for Non-exempt Employees Wage and Hour Policies Eliminate Assumptions Complaint and Investigation Procedures Training Audits Exemptions: Developing Evidentiary Support 9

An Effective Set of Policies Policies must address all areas of potential wage and hour compliance concerns Policies must be well-publicized and easy to locate All employees should review policies on a regular basis and acknowledge receipt of same All employees should be trained on key policies Important Policies for Home Care Employees Explaining Overtime Eligibility No off-the-clock work Pre- and Post-Shift Work Explaining Meal and Rest Periods Travel, including addressing continuous workday issues (e.g., calling patients before leaving home) Record all working time For employees paid per visit: Ensure policies explain that all visit-related activities are compensated via the visit rates Consider advantages of transitioning to salary-plus compensation system 10

Certification of Time Records Require non-exempt employees to review time records. Daily review is ideal but something less frequent can be used provided employees have the opportunity to review actual records. Provided records are correct, require employee certification as to accuracy. If records are not correct, require employee to identify any inaccuracies to permit immediate correction. Require employees to review accuracy of paycheck and, if systems permit, certify secondary review. On-line tools make this level of review more available. Certification should cover off-the-clock work and meal periods. Implement a Complaint Mechanism An effective and confidential complaint mechanism allows the employer to uncover and correct issues before litigation. Give employees a choice: Ethics or compliance hotline (1-800 #) Designated HR professional A senior manager Revise existing complaint mechanism to ensure it specifically addresses wage and hour issues. Must be well publicized: Publicize complaint mechanism in handbooks, open door policies, collective bargaining agreements, ethics handbooks, and other employee communication channels. 11

Follow Through: Investigate & Resolve Your organization must follow through on complaints Written investigation procedures Assign accountability so issues do not fall through the cracks Ensure confidentiality where possible Investigate promptly and thoroughly Provide closure to complaining employee Fix problems promptly Impose Appropriate Discipline for Policy Violations by Employees and Managers In some reported cases, employers have been criticized for quickly disciplining employees for timekeeping violations but not doing so for manager violations. Manager misconduct is increasingly being characterized as wage theft. Manager misconduct should be promptly addressed and, where confirmed, considered serious violation of the company's most important policies. 12

Train, Train, Train Most employees and managers don t know the basic rules or understand why they are important. Rules are complex Laws not common sense Often ideas that seem great can violate policy or the law The best policies are useless if employees don t understand them and you don t enforce them. How Training Helps Defeat Off-the-Clock Work Claims Prevent inadvertent federal and state law violations. Prevent claims: Policies are clear and irrefutable. Plaintiff credibility? More difficult to certify a class. Reduce damage awards and potentially build a good faith defense. Build a culture of compliance. 13

Who Should Be Trained Training should be targeted to suit the needs of different employee audiences Managers Employees (non-exempt) Payroll/compensation specialists Employee training should focus on the basics, such as: What is working time/what is not Rules relating to overtime Prohibition against off-clock-work How do I report errors and misconduct? Periodic Reminders Timekeeping policies and procedures should be reinforced through available communication means Annual letter to all employees Newsletters Postings Refresher trainings 14

Compliance Areas to Audit Exempt classifications Off-the-Clock Regular rate calculations and other pay practice issues (including state law) Before Starting an Audit Goals and Scope Audit Protocol Privilege Issues Remedial Measures Your company must be prepared to fix uncovered errors 15

Questions? An Ounce of Prevention Is Worth a Pound of Cure: Wage & Hour Compliance Strategies that Will Reduce the Risk of the Bet-the-Company Class Action Angelo Spinola Littler Mendelson, P.C. Atlanta Office (404) 760-3921 ASpinola@littler.com 16