November 2024

Federal Updates

 

Minnesota Amends Paid Family and Medical Leave Program

09/05/24

Author: ADP Admin/Thursday, September 5, 2024/Categories: Compliance Corner , State Compliance Update, Minnesota

As we previously reported, Minnesota has enacted legislation that amended the state’s paid family and medical leave program beginning Jan. 1, 2026.   The purpose of this communication is to focus on wage detail reporting requirements of the underlying law and the extent to which ADP can provide support.   Clients with employees not covered by the by the state's unemployment insurance law will need to file wage detail reports directly with the state.

 
Wage Detail Reporting

The first wage detail reports will be due on Oct. 31, 2024, and will be based on wages paid between July 1, 2024, and Sept. 30, 2024.   The state’s Paid Leave division will leverage the existing Unemployment Insurance (UI) online system to collect wage detail reports for the program.  Employers will need to provide the first and last name, social security number, wages paid and hours worked for each employee. This is identical to information provided to the UI division.   The method of reporting depends on whether the employer is covered by the state’s UI program.

All Employees Covered by the UI Program

If all employees are covered by the UI program, then employers will be able to submit a single wage detail file for both UI and Paid Leave programs when they pay their UI taxes. The data used in the UI filing will be used to report wages directly to the Paid Leave program.   An employer’s UI account will be automatically converted into a joint UI/Paid Leave account to allow submission of the wage detail report using the same process that is currently used today.  Review additional information
here.

No Employees Covered by the UI Program

This means if an employer has any employees, even if they are not covered by Unemployment Insurance, they are likely covered by Paid Leave.    Such employers will need to register for a “Paid Leave Only” account through the UI Online system.   Review additional information here.

Some Employees Covered and Some not Covered by the UI Program

This means if an employer has:

  • Already registered with UI – they will need to register for a Paid Leave Only account for employees not covered by UI. 
  • Not already registered with UI – they will need to register twice. They will register for both a Joint UI/Paid Leave account and a Paid Leave Only account.

 Review additional information here.

Review the state’s website for more information on covered vs. noncovered employment under the UI program as well as FAQs.
 
Next Steps 

·      For clients with all employees covered by the UI program no action is required if ADP is currently submitting a wage detail file for the UI program on your behalf.

·      Clients with no employees covered by the UI program should register for a Paid Leave Only account and should also plan to file wage detail reports including the first report due on October 31, 2024.   ADP is continuing to evaluate its system capabilities for future reporting.

·      Clients with some employees covered and some employees not covered by the UI program and currently registered with a UI program account, should register for a Paid Leave Only account.  These clients should also plan to file wage detail reports for the Paid Leave Only account including the first report due on October 31, 2024.   As indicated above, ADP is continuing to evaluate its system capabilities for future reporting.

·      Contact your ADP service professional if you have any questions.

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