Starting this July (2024), a significant change in U.S. labor regulations will impact millions of salaried workers.
The U.S. Department of Labor (DOL) is implementing a new overtime rule. This rule will require employers to adjust how they compensate certain employees under the federal Fair Labor Standards Act (FLSA).
Effective July 1, 2024, and again on January 1, 2025, the DOL will raise the minimum salary threshold for exempt employees — those typically classified under executive, administrative, or professional roles. This adjustment means employers must either raise salaries substantially to meet new thresholds or start paying affected employees overtime for hours worked beyond 40 per week.
The new rule introduces compliance challenges as employers will need to accurately track salaried employees' hours, compute overtime rates correctly, and maintain meticulous records to ensure adherence during audits.
In this post, we’ll share a breakdown of what businesses need to know about the DOL's new overtime rule so your organization can be prepared.
The DOL's revised overtime rule introduces several key adjustments:
The new FLSA overtime rule affects employees often referred to as “white collar” exempt workers. This includes salaried executive, administrative, professional, and highly compensated employees.
Although employers need to make a case-by-case assessment of whether their employees qualify for one of the white collar exemptions or not (based on their primary job duties and salary amount), some common jobs that can fall under these categories include:
To get more technical, white collar exempt employees must meet the following criteria:
Each white collar exemption has its own requirements relating to the specific duties the employee must perform to qualify. For more details on the different exemptions, be sure to consult the resources provided by the DOL.
Employers must evaluate their workforce to determine which employees will fall below the new salary thresholds. For those affected:
To streamline compliance with the new regulations:
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This information is not intended as legal advice. You should seek specific legal advice before acting with regard to the subjects mentioned herein.