Acosta Confirmed as Secretary of Labor

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On Thursday, April 27, 2017, Alexander Acosta was confirmed by the United States Senate to serve as the Secretary of Labor in the Trump Administration.  In this role, Acosta will oversee the federal department that develops and interprets labor regulations and investigates alleged violations of minimum wage, overtime, and workplace safety laws.  The Senate approved Acosta by a vote of 60-38, meaning there was some cross-party support, despite the party-line vote on Acosta’s nomination by the Senate Health, Education, Labor and Pensions Committee.  This marks the fourth time Acosta has been confirmed by the Senate, including his prior positions in the Bush Administration.

During the Bush Administration, Acosta served as a member of the National Labor Relations Board for approximately 8 months.  In 2003, President Bush appointed him to the head of the United States Department of Justice’s Civil Rights Division, a position which he maintained for about 2 years.  Thereafter, Acosta served as the United States Attorney for the Southern District of Florida.  Most recently, Acosta filled the role of Dean for Florida International University School of Law, a role from which Acosta has said he would resign if he was confirmed as Secretary of Labor. 

At this point, it is still uncertain how Acosta will fill the role of Secretary of Labor.  The Trump Administration and its former Secretary of Labor nominee, Andrew Puzder, who withdrew from consideration back in February, have taken an aggressive stance on deregulation.  However, Acosta’s positions on regulation and enforcement have not been as clearly defined, and his prior experience may dictate a more measured approach in managing the opposing priorities he will surely encounter.  Additionally, he may not shy away from enforcement due to his background as a prosecutor.  We will likely have a better idea of Acosta’s approach soon, however, because there are a number of time sensitive issues that will need his prompt attention.

In particular, we expect that one immediate priority for Acosta will be evaluating the Department of Labor’s position as to the Fiduciary Rule.  This Rule expands the definition of fiduciary to a much broader group of financial professionals who work with retirement plans or provide retirement planning under ERISA, including subjecting them to all the requirements that come with that status.  In February, President Trump issued a Presidential Memorandum directing the Department of Labor to examine this Rule for its adverse impacts on investors and access to retirement services, and potentially to rescind or revise the rule if those adverse impacts are found.

Another priority for Acosta will be addressing the DOL’s promulgated overtime regulations that were set to more than double the threshold salary level required to classify as an exempt employee, expanding overtime eligibility to millions of employees nationwide.  These regulations have been challenged in court and a Texas federal judge enjoined the rule back in November.  The DOL appealed that decision to the Fifth Circuit at the tail end of the Obama Administration, but no determination has yet been made as the proceeding has been delayed until the new Secretary of Labor has been confirmed and given time to assess the rule and the DOL’s position.  During his confirmation hearing, Acosta expressed a belief that the current threshold salary level of $23,660 is no longer sufficient and should reflect the increased cost of living, but that the new level of $47,476 is too high.  Indeed, in the hearing, Acosta expressed preference for a threshold amount somewhere in the middle.

In sum, Acosta will be stepping into a position facing multiple issues that will require his immediate attention, scrutiny, and evaluation.  Beyond addressing the regulatory issues, Acosta will also be faced with managing a budget that, under Trump’s proposed plan, reflects a 21% cut to DOL funding.  While, this is only a proposed budget, cuts to individual agency budgets are likely and managing a smaller budget, in and of itself, will likely be a significant challenge for the new Secretary of Labor.

Although Acosta’s exact approach exact approach to running the DOL is uncertain, there is little doubt it will be more employer-friendly and influenced by the posture of the current administration.

DISCLAIMER: Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations.

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