As the summer months roll on, now is a good opportunity to provide employers with a summary of reminders as well as recent developments and updates with respect to certain state-mandated paid leave and paid family and medical leave (PFML) programs.
For clarity, state-mandated paid leave and PFML laws are separate programs that serve different purposes:
- State and local paid leave laws generally require employers to provide paid time off to employees for certain reasons including, but not limited to:
- When an employee is sick
- When an employee’s family member is sick
- When attending a medical appointment for an employer or their family member
- When an employee seeks assistance if they or their family member is a victim of domestic violence, sexual assault, or stalking
- When an employee’s place of business or school/daycare of employee’s child is closed due to a public health emergency
- State PFML laws generally require the applicable state (or city for Washington, D.C.), rather than the employer, to provide full or partial wage replacement to employees who need time away from work for certain reasons including, but not limited to:
- Caring for an employee’s own, or a family member’s, serious health condition
- Bonding with a new child
- Supporting a family member who is on active military service duty
Let’s start with several reminders outlined below in case you missed them:
Leave Category |
Jurisdiction |
Important Date(s) |
Important Details |
Paid Leave |
New York |
June 19, 2024 |
New York State employers are required to provide paid lactation break time for nursing employees. Click here for a Risk Strategies article with more details. |
PFML |
Oregon |
July 1, 2024 |
Oregon’s Family Leave Act (OFLA) was revised to align with the state’s Paid Leave Oregon (PLO) law and simplify leave administration for employers with Oregon employees. Click here for a Risk Strategies article with more details. |
Paid Leave |
Chicago |
July 1, 2024 |
A new Chicago ordinance in effect on July 1, 2024 requires employers to provide their employees working in Chicago up to 40 hours of paid sick leave and an additional 40 hours of paid leave (for any reason) per year. Click here for a Risk Strategies article with more details. |
Now let’s focus on the updates for the remainder of 2024:
Category |
Jurisdiction |
Important Date(s) |
Important Details |
PFML |
Delaware |
September 1, 2024 to December 1, 2024 |
The Delaware PFML online portal opens on September 1, 2024 to submit private plan applications and for small employers to opt into the state public plan. Click here for a Risk Strategies article with more details. |
PFML |
Minnesota |
October 31, 2024 |
The first wage detail reports will be due to the state on October 31, 2024, and will be based on wages paid between July 1, 2024, and September 30, 2024. Click here for the Minnesota Paid Leave employer FAQs webpage for more information. |
PFML |
Delaware |
December 15, 2024 |
Deadline to notify state and employees if the employer will contribute more than 50% of the total contribution amount. Click here for a Risk Strategies article with more details. |
Finally, let’s outline the developments on the horizon for 2025 and 2026:
Category |
Jurisdiction |
Important Date(s) |
Important Details |
PFML |
Rhode Island |
January 1, 2025 |
The maximum amount of Rhode Island Temporary Caregiver Insurance (TCI)* that an employee can take will increase from six weeks to seven weeks on January 1, 2025. On January 1, 2026, the maximum amount of TCI will increase from seven weeks to eight weeks. Additionally, recipients with dependent children under 18 may receive a dependents’ allowance, set to increase to $20 per week on January 1, 2025 (currently set at $10 per week). |
PFML |
Delaware |
January 1, 2025 |
The start date for employee contribution payroll deductions is January 1, 2025. Delaware PFML benefit effective date is January 1, 2026. Click here for a Risk Strategies article with more details. |
PFML |
Maine |
January 1, 2025 |
The start date for employer (those with 15 or more employees) and employee contributions is January 1, 2025. Maine PFML benefit effective date is May 1, 2026. Click here for a Risk Strategies article with more details. |
Paid Leave |
New York |
January 1, 2025 |
New York will become the first state in the nation to require employers to provide paid prenatal leave for their employees working in New York, starting January 1, 2025. Click here for a Risk Strategies article with more details. |
Paid Leave |
Connecticut |
January 1, 2025 |
Paid sick leave law requirements will be expanded to include more employers and employees in Connecticut. Click here for a Risk Strategies article with more details. |
Paid Leave |
Washington |
January 1, 2025 |
Paid sick leave law requirements expanded to:
|
PFML |
Maryland |
July 1, 2025 |
The start date for employer (those employers with 15 or more employees) and employee contributions is July 1, 2025. Maryland PFML benefit effective date is July 1, 2026. Click here for a Risk Strategies article with more details. |
Paid Leave (COVID sick leave) |
New York |
July 31, 2025 |
New York’s COVID-19 sick leave requirements will expire on July 31, 2025. Click here for a Risk Strategies article with more details. |
PFML |
Minnesota |
January 1, 2026 |
The start date for employer and employee contributions and benefit effective date is January 1, 2026. Click here for a Risk Strategies article with more details. |
*Rhode Island TCI was signed into law in 2013 and currently provides eligible claimants up to 6 weeks of caregiver benefits to care for a seriously ill child, spouse, domestic partner, parent, parent-in-law or grandparent, or to bond with a newborn child, new adopted child, or new foster-care child. Eligible claimants must apply for TCI benefits during the first 30 days after the first day of leave is taken for reasons of bonding or caregiving.
Employer Action
Employers, particularly multistate employers, are advised to pay close attention to any updates and developments that could impact their employees working in the jurisdictions detailed above. These employers are encouraged to work with their employment and labor counsel to:
- Review and update their leave policies, procedures, and practices, as necessary
- Review and update attendance and payroll systems, as necessary
- Train Human Resources team members and other employees who manage employee leaves
- Communicate any applicable paid leave/PFML updates to employees in a timely manner
Risk Strategies helps employers navigate the ever-changing and complex state paid leave and PFML landscape. Contact us directly at benefits@risk-strategies.com.
The contents of this article are for general informational purposes only and Risk Strategies Company makes no representation or warranty of any kind, express or implied, regarding the accuracy or completeness of any information contained herein. Any recommendations contained herein are intended to provide insight based on currently available information for consideration and should be vetted against applicable legal and business needs before application to a specific client.