(back to index)
 

New California Laws Impose Tax Credit Notice Requirement and Allow for Leave for Military Spouses

Two laws recently signed by Governor Schwarzenegger impose new requirements on companies that have employees in California. AB 392 provides for up to 10 days of unpaid leave for an employee whose spouse is on leave from deployment. AB 650 requires employers to notify employees that they may be eligible for the federal Earned Income Tax Credit ("EITC").

AB 392: Military Spouse Leave

AB 392 allows spouses of soldiers to take up to 10 days of unpaid leave when their spouses are on leave from deployment. The bill applies to employers with 25 or more employees in the United States. California employees who work an average of at least 20 hours per week and whose spouses are members of the United States Armed Forces, National Guard, or Army Reserves on active duty in an area of military conflict are eligible for the leave.

In order to be entitled to AB 392 leave, the eligible employee must provide the employer with notice that the employee intends to take time off from work during the spouse's leave from deployment. This notice must be provided no later than two business days after the employee receives official notice that his or her spouse will be on leave from deployment. The employee must also provide the employer with written documentation certifying that the spouse will be on leave from deployment during the period of the employee's requested leave. AB 392 takes effect immediately "[i]n order to serve the families of those troops currently serving in military conflicts in Iraq and Afghanistan, and to assure that these families are able to spend time together during the qualified member's leave from deployment."

With the addition of AB 392, California law now provides for more than 15 statutory leave-of-absence rights of various durations with which private employers of various sizes must comply.

AB 650: Earned Income Tax Credit Eligibility Notice

Also notable, AB 650 requires employers to notify employees that they may be eligible for the federal EITC within one week of providing the employees their annual wage summaries. The notice must either be handed directly to the employee or mailed to the employee's last known address. AB 650 provides recommended language for the notice and requires that the notice contain instructions on how to obtain any notices made available from the Internal Revenue Service for the purpose of obtaining the necessary forms to file for the EITC; the notice must clarify that those who received the EITC do not necessarily jeopardize governmental benefits, such as Medicare and Temporary Assistance for Needy Families ("TANF") payments. Finally, the bill requires that every employer process, at the request of the employee and in accordance with federal law, the Form W-5 for the advance payment of the EITC. The requirements of AB 650 apply to all companies that have employees in California.

If you would like further information regarding the legislation discussed above, please contact a member of our Labor and Employment group.


Schiff Hardin Labor and Employment Group
Thurston C. Bailey
312.258.5561
Charlene Q. Kalebic
847.295.4335
Patricia Costello Slovak
312.258.5665
Eric L. Barnum
404.437.7013
Bita A. Karabian
415.901.8765
Drahcir M. Smith
404.437.7038
Howard R. Barron
312.258.5558
Paula M. Ketcham
312.258.5539
Sarah R. Speakman
415.901.8620
Wendi J. Berkowitz
415.901.8752
Matthew D. Lahey
312.258.5674
Kathleen A. Stimeling
415.901.8700
Max G. Brittain Jr.
312.258.5544
Neil Lloyd
312.258.5628
William J. Carroll
415.901.8754
Catherine M. Masters
312.258.5565
Richard L. Verkler
847.295.4300
Katharine Demgen
415.901.8631
Ralph A. Morris
312.258.5553
Bruce A. Wagman
415.901.8762
Nicole Finitzo
847.295.4308
Lee Ann Rabe
312.258.5527 
Nora Kersten Walsh
312.258.5530
Laura B. Friedel
312.258.5673
Dana D. Rice
312.258.5622  
Ronald Wilder
312.258.5610
Julie J. Furer
312.258.5689
Marc L. Silverman
212.745.0872 
Tamera M. Woodard
404.437.7016
Stephen M. Hankins
415.901.8756
Henry W. Sledz Jr.
312.258.5525
Brenna Woodley
312.258.5738


Schiff Hardin LLP

One Atlantic Center,
Suite 2300
1201 West Peachtree Street
Atlanta, GA 30309
  225 Franklin Street,
Suite 2600 
Boston, MA 02110 
  6600 Sears Tower
233 S Wacker Drive
Chicago, IL 60606
         
One Westminster Place
Suite 200
Lake Forest, IL 60045
 
900 Third Avenue
New York, NY 10022
 
One Market, Spear Tower
32nd Floor
San Francisco, CA 94105
 
1666 K Street, NW
Suite 300
Washington, DC 20006
 

© 2007 Schiff Hardin LLP

This publication is for the general information of clients and friends of our firm. It does not provide legal advice for any specific matter. Readers should consult a lawyer directly for such advice. This publication, or parts of it, may be considered advertising material under professional conduct rules applicable to lawyers.

Click here to unsubscribe from this list.