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TOP 10 BEST PRACTICES FOR I-9 COMPLIANCE POLICIES(Article originally published in the New Hampshire Business Review, September 12, 2008. http://nhbr.com/apps/pbcs.dll/article?AID=/20080912/INDUSTRY04/809119975) WebDev, LLC, is a privately-owned, 25 person internet applications development firm in New Hampshire's Upper Valley. WebDev's HR manager has worked in several high tech settings, and is comfortable managing the one H-1B worker on WebDev's payroll. Of course, she routinely completes an I-9 form with all new hires, as part of the standard battery of documents and forms for new employees. Like most HR managers in New England (not to mention the general public), WebDev's HR manager took notice of the highly publicized raid last year by Immigrations and Customs Enforcement (ICE) of Michael Bianco, Inc., in Fall River, Massachusetts, a US DOD contract manufacturer of military back packs and survival vests. The raid landed the owners of the firm in jail, and put scores of undocumented workers into removal proceedings. WebDev's HR manager assumed that she had nothing to learn from the Bianco raid because it occurred in Massachusetts, where there is a much higher percentage of foreign population than New Hampshire But that was only the beginning. On May 12, 2008, ICE conducted a similar exercise at Agriprocessors, Inc., in Postville, Iowa, the largest US kosher slaughterhouse and meat packing plant. Nearly 900 ICE agents detained some 400 employees suspected of being undocumented workers. Although Iowa's percentage of foreign workers may be closer to New Hampshire's, WebDev's HR manager assumed that she had nothing to learn from the Agriprocessor raid because it involved an old, low skilled, labor-intensive industry - nothing like WebDev's operations. Then came the raid last month, on August 25, 2008, of Howard Industries, in Laurel, Mississippi. Howard is a high tech manufacturer of electrical and medical equipment. WebDev's HR manager was struck by Howard's press release following the raid: "Today, Howard Industries was visited by the U. S. Immigration and Customs Enforcement Agency to ascertain if all employees are U. S. citizens or otherwise legally authorized to work in the United States. Howard Industries runs every check allowed to ascertain the immigration status of all applicants for jobs. It is company policy that it hires only U. S. citizens and legal immigrants." That is exactly the kind of thing that WebDev's HR manager would say about WebDev. Should WebDev be worried? What lessons should WebDev (and others) be learning from these examples? WebDev Should Take Heed The I-9 is a deceptively simple looking one-page form. Yet, when we audit I-9s for our clients, error rates in excess of 50% are not uncommon; they are, however, unnecessary. For employers, the best defense is a good offense. With a little bit of effort you can have an I-9 program that will keep you out of the headlines. Here is our list of the Top 10 Best Practices for an I-9 compliance program. 1. Have a written policy; Employers have been completing I-9s for more than 20 years. In many cases, however, they are completed with little thought and insufficient attention to detail, leaving employers unnecessarily vulnerable to sanctions and penalties for document violations. Following these simple and straight-forward Top Ten Best Practices will not necessarily give you a perfect program or make you immune from audit or penalty, but it will impress a government auditor with the good faith effort you are making to comply - and that goes a long way toward reducing your risk. Tom Hildreth is Chairman of the Corporate Department of McLane, Graf, Raulerson & Middleton, Professional Association. Tom can be reached at (603) 628-1177 or at Thomas.hildreth@mclane.com. The McLane Law Firm is the largest full-service law firm in the State of New Hampshire, with offices in Concord, Manchester and Portsmouth, as well as Woburn, Massachusetts. www.mclane.com |
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