November 2024
Author: ADP Admin/Tuesday, August 1, 2023/Categories: Compliance Corner , State Compliance Update, Oregon
The state of Oregon has enacted legislation (Senate Bill 184) that extends new hire reporting requirements to independent contractors. Senate Bill 184 takes effect on Jan. 1, 2024, and is not retroactive.
Senate Bill 184 clarifies the following definitions for new hire reporting requirements:
Senate Bill 184 extends the following New Hire Reporting Requirements:
Employers in Oregon must report to the Division of Child Support of the Department of Justice (the Division) the hiring or rehiring of an employee that:
Senate Bill 184 requires employers in Oregon to also report to the Division of Child Support of the Department of Justice when an independent contractor is engaged or re-engaged.
Bullet “A” is amended to: “Has employees or independent contractors that only work in Oregon.”
The required report may be submitted on:
Employers with independent contractors may use Form W-9 as a reporting option.
The required report must contain the employer’s name, address and federal tax identification number and the employee’s name, address and Social Security number.
The required report must contain the employer’s name, address and federal tax identification number and the employee or independent contractor’s name, address and Social Security number.
An employer must submit the report by mail or other means in accordance with rules adopted by the Department of Justice.
No change.
An employer may submit a cumulative report for all individuals hired or rehired during the previous reporting period.
The law adds those that are engaged or re-engaged in the cumulative report requirement.
The report must be made:
The timing also applies to the engagement or re-engagement of an independent contractor.
Oregon employers should review their hiring policies and procedures and train HR personnel to ensure compliance with Senate Bill 184 by Jan. 1, 2024.
Please contact your HR Business Partner with any questions.
Thank you,
ADP
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