Posts in FLSA
Big Things Happened at the DOL Last Week – The Release of the Final 541 Rule Including a Significantly Lower Dollar Threshold for Highly Compensated Employees

Most notably, the final FLSA rule dispenses with the proposed rule’s significant increase in the salary requirement for the Highly Compensated Employee (“HCE”) test, and instead substitues a modest increase from $100,000 to a new salary basis of $107,432, effective January 2020.

Read More
DOL Investigations: Check their Math!

Responding to Department of Labor investigations is not a simple exercise. While you are required to cooperate, provide documents and access to employees, you are not obligated to accept an investigator’s findings and you can question them. But, before you push back, be thoughtful. And,don’t forget to check the math.

Read More
Is This the Beginning of a Fair Reading Era?

Last fall, the Supreme Court held in Encino Motorcars LLC v. Navarro that statutes should not be construed so as to achieve perceived legislative goals where there is no “textual reason” why they should be given anything other than a “fair reading.” My colleagues and I wondered whether the “fair reading” concept might show up again. Well, it did. Enter Food Marketing Institute v. Argus Leader Media.

Read More
Highly Compensated and Thus More Easily Exempted

Employees who are highly compensated at the rate of $100,000 a year just need to have one exempt duty so long as the worker’s primary duty is the performance of office or nonmanual activities. This makes for a much more relaxed test of exempt status from minimum wage, overtime and prevailing wage requirements.

Read More
FLSA Arbitral Award Is Final Triggering Contractor Right to Seek Recovery of Cost From Government

After final arbitral award, a cost reimbursement contractor should have an opportunity to argue at the Board for the recovery the overtime backpay and other costs from the Federal government. There is no U.S. Department of Labor (“DOL”) procedures it has to exhaust first. 

Read More