PEO Pointers: It’s Reporting Time! Your 3-Step Compliance Plan for Pay Data and EEO-1 Reports

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Fisher Phillips

Welcome to “PEO Pointers,” a regular series of quick-read alerts to keep PEOs and their client companies up to speed on the latest issues affecting the industry and what they can do to ensure compliance. Today’s topic: navigating reporting season in five simple steps.

It is once again that time to help your clients with all of the necessary reporting that needs to happen to federal and state regulatory agencies. Not only do most employers need to submit EEO-1 reports to the EEOC, but certain Illinois employers have additional equal pay registration obligations and California employers need to take care of pay data reporting. 

Deadlines are looming! And remember, your clients will find these processes challenging, so they will be relying on their PEO partners for support. Not to worry – we’re here to help you help your clients with a simple action guide.

  1. Covered employers will need to submit certain demographic data to the EEOC between April 30 and June 4. Here is a five-step plan for employers to get ready for filing last year’s EEO-1 Component 1 data.
  2. Illinois employers with 100 or more employees who are required to file an EEO-1 report must also obtain an equal pay registration certificate from the Illinois Department of Labor by March 23. Here is a how-to guide to comply with this requirement.
  3. The deadline for employers in California to report 2023 pay data is May 8 – and there is no deferral period. The California Civil Rights Division published FAQs for pay data reporting, and here is a quick three-step action plan to help you manage the process. Our firm’s thought leaders have not only provided a great overview of the potential challenges but also created a practical step-by-step checklist to follow, with links to key sources of information to ensure compliance. This can be a helpful guide for both you and your clients, so feel free to forward it along.

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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