EEOC — Posting penalties increase
The Equal Employment Opportunity Commission (EEOC) has increased the penalty for failing to post the “Know Your Rights: Workplace Discrimination is Illegal” posting to $659 for each separate offense.
Employers with 15 or more employees must display the poster, which describes employee rights under anti-discrimination laws such as:
- Title VII of the Civil Rights Act of 1964,
- The Genetic Information Non-Discrimination Act (GINA), and
- The Americans with Disabilities Act (ADA).
EEOC posting updated in October
The EEOC released the “Know Your Rights” posting in October 2022 as a replacement for the “Equal Employment Opportunity is the Law” posting.
Covered employers are currently required to display the version of the poster with an October 2022 revision date.
Mandatory posting change expected in June
An updated version of the “Know Your Rights” poster is expected to be released by June 27, 2023, when the Pregnant Workers’ Fairness Act takes effect.
The Act was signed in December as part of a spending bill and will provide employee protections relating to pregnancy, childbirth, or related medical conditions. Information about these protections will be added to the poster, and employers will be required to display the updated version.
Annual increase required under law
Each year, the penalty for failing to post the EEOC’s mandatory poster increases. The adjustment for inflation is required under the Federal Civil Penalties Inflation Adjustment Act Improvements Act of 2015.
Other federal agencies are required to increase penalties under the law as well, and the Department of Labor (DOL) announced its posting penalty increases in January. The DOL’s maximum penalties posting violations are as follows:
- Occupational Safety and Health Act: $15,625 for each violation
- Family and Medical Leave Act: $204 for each separate offense
- Employee Polygraph Protection Act: $24,793
The EEOC’s updated penalty applies to violations assessed after March 23, 2023, and the DOL’s updated penalties apply to penalties assessed after January 15, 2023.
To avoid penalties, post as required Employers can avoid posting penalties by properly displaying all required labor law posters. To do this:
- Display all postings required under federal, state, and local laws.
- Prominently place posters in an area that is easily accessible to employees.
- Keep posters up to date; make sure the October 2022 version of the “Know Your Rights” poster is on the wall.
- Make sure posters are readable and not defaced.
If employees work remotely, it is a best practice to make the posters electronically available.
Key to remember: Employers face greater penalties for failing to properly display labor law posters.
Where in my place of business am I required to post posters?
Generally, federal workplace posters must be displayed or posted in a conspicuous place where they are easily visible to all employees — the intended audience. The FMLA, EEO, and EPPA posters are also required to be placed where they can be seen by applicants for employment. Note: Not all posters must be posted by all employers. To determine which federal posters an employer is required to post, please visit www.dol.gov/elaws/posters.htm.
The specific location requirements for each federal workplace poster are:
The Uniformed Services Employment and Reemployment Rights Act (USERRA) Notice/Poster ("Your Rights under USERRA") is to be posted where notices to employees are customarily placed. However, employers are free to provide the notice in other ways that will minimize costs while ensuring that the full text of the notice is provided, e.g., by distributing the notice to employees by direct handling, mailing, or via electronic mail.
The Service Contract Act/Walsh-Healey Public Contracts Act (Employee Rights on Government Contracts Poster) must be posted in a prominent and accessible place where it may be easily seen by employees.
The Davis-Bacon Act Poster must be posted "at the site of the work in a prominent and accessible place where it may be easily seen by employees."
The Migrant and Seasonal Agricultural Worker Protection Act (MSPA) Poster must be posted at the place of employment in a conspicuous place readily accessible to the workers.
The Fair Labor Standards Act (FLSA) Poster (Minimum Wage Poster) must be displayed/posted by employers "in a conspicuous place in all of their establishments so as to permit employees to readily read it."
The Employee Rights for Workers with Disabilities/Special Minimum Wage Poster (Fair Labor Standards Act, McNamara-O'Hara Service Contract Act and Walsh-Healey Public Contracts Act) shall be posted in a conspicuous place on the employer's premises where employees and the parents or guardians of workers with disabilities can readily see it.
The Employee Polygraph Protection Act (EPPA) Poster must be posted in a prominent and conspicuous place in every establishment of the employer where it can readily be observed by employees and applicants for employment.
The Family and Medical Leave Act (FMLA) Poster must be displayed in a conspicuous place where employees and applicants for employment can see it. If an employer is covered by the FMLA, a poster must be displayed at all locations, even those where there are no FMLA eligible employees.
The Equal Employment Opportunity (EEO) Poster ("Equal Employment Opportunity is the Law") must be posted in conspicuous places available to employees and applicants for employment. Federal contractors and subcontractors covered by Executive Order 11246 must also post the notice where it can be readily seen by representatives of each labor union with which the covered contractor or subcontractor has a collective bargaining agreement.
The Occupational Safety and Health Act (OSHA) Poster (Job Safety & Health Protection Poster) must be displayed in a conspicuous place where employees can see it. (Note: Employers in states operating OSHA-approved state plans should obtain and post the state's equivalent safety and health poster.)
The Notice of Employee Rights Under the National Labor Relations Act (Executive Order 13496) must be posted by federal contractors in conspicuous places in and about their plants and offices, including all places where notices to employees are customarily posted.
Do I have to post the federal workplace posters in languages other than English?
With a few exceptions (FMLA and MSPA), the Department of Labor's regulations do not require posting of notices in Spanish or other languages. However, the Agency encourages you to post the posters that are available in other languages if employees in your workforce speak other languages.
Family and Medical Leave Act (FMLA) Poster — Where an employer's workforce is comprised of a significant portion of workers who are not literate in English, the employer shall be responsible for providing the notice in a language in which the employees are literate.
Migrant and Seasonal Agricultural Worker Protection Act (MSPA)—This poster “shall be provided, as necessary and reasonable, in Spanish or other language common to migrant agricultural workers who are not fluent or literate in English.”
Which posters have to be posted where applicants as well as employees can see them?
Generally, federal workplace posters must be displayed or posted in a conspicuous place where they are easily visible to all employees—the intended audience. The FMLA, EEO, and EPPA posters are also required to be placed where they can be seen by applicants for employment.
The Family and Medical Leave Act (FMLA) Poster must be displayed in a conspicuous place where employees and applicants for employment can see it. If an employer is covered by the FMLA, a poster must be displayed at all locations, even those where there are no FMLA eligible employees.
The Equal Employment Opportunity (EEO) Poster (“Equal Employment Opportunity is the Law”) must be posted in conspicuous places available to employees and applicants for employment. Federal contractors and subcontractors covered by Executive Order 11246 must also post the notice where it can be readily seen by representatives of each labor union with which the covered contractor or subcontractor has a collective bargaining agreement.
The Employee Polygraph Protection Act (EPPA) Poster must be posted in a prominent and conspicuous place in every establishment of the employer where it can readily be observed by employees and applicants for employment.