Employers must pay employees for travel time between job sites
On October 6, 2025, the U.S. Supreme Court (SCOTUS) decided not to take up a case involving an employer that didn’t pay an employee for time spent driving between job sites. The circuit court ruling, therefore, stands and serves as a good reminder that the federal Fair Labor Standards Act (FLSA) requires employers to pay employees for travel time between job sites, even if those job sites are personal residences.
In this case, a home health care service provider didn’t pay its employees for time spent traveling between clients’ homes.
The SCOTUS points to the FLSA’s requirement that employers must pay for work-related travel time during the workday. Pay is required when:
• The employee is on duty and when entering or exiting a period of off-duty rest.
• The travel is necessary and constitutes “part of” the employee’s “principal activity.”
In other words, although employers don’t have to pay for off-duty time, the travel time necessary to go between job sites is integral to a principal work activity and must be paid.
What is “work”?
The FLSA doesn’t define “work.” The SCOTUS has explained that an employee “works” within the meaning of the FLSA when the employee is engaged in some kind of activity that is “controlled or required by the employer and pursued necessarily and primarily for the benefit of the employer and his business.”
In the case, the employer argued that the Portal-to-Portal Act (PPA) says that employers don’t have to pay employees for time spent “walking, riding, or traveling to and from the actual place of performance of the [employee’s] principal activity or activities” and doing “activities which are preliminary to or postliminary to said principal activity or activities.”
But the PPA covers only travel to the job site that occurs either before the time the work begins or after the principal work activities end. The PPA doesn’t apply to the time between the workday’s start and end
Start and end of the workday
Once the workday has begun, employees are entitled to be paid even if they’re not working at every moment of the day.
For example, a messenger who works on a crossword puzzle while awaiting assignments and a factory worker who talks to his fellow employees while waiting for machinery to be repaired are working during their periods of inactivity.
Employers must pay employees for travel time when employees lack the time to go off duty. Employers can’t claim that the travel period between job sites is part of an employee’s break. They must pay employees for time spent traveling before or after an off-duty period/break.
Employees go off duty when they’re completely relieved from duty long enough to enable them to use the time effectively for their own purposes.
Challenges
This employer said the situation was a challenge because off-duty employees could go wherever they wanted and begin their travel to a client’s home from wherever they wanted, so it was harder to say when they would return to on-duty status.
The employer argued that this theory of compensation was “unworkable” and “would require estimation of the compensable portion of travel” in a manner that would violate the FLSA.
The court said that the employer simply had to make a record so that it and employees had “the most probative facts concerning the nature and amount of work performed.”
The employer also tried to argue that travel wasn’t closely related to the productive work, such as feeding, bathing, providing medication, and dressing their clients. The court disagreed.
An activity doesn’t need to be predominant in some way over all other activities to qualify as principal. The employees were hired to travel and provide care to clients where they reside, rather than meeting them in hospitals or clinics. So, travel was part of their principal activities.
U.S. Department of Labor v. Nursing Home Care Management Inc., Third Circuit Court of Appeals, No. 23-2284, March 5, 2025.
Key to remember: As the SCOTUS makes clear, employers must pay employees for time spent travelling during the workday.














































