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Expensive Littler: We’re a multi-state employer with operations in a number of expertise hubs, together with Silicon Valley and Austin. Over the previous a number of months we now have heard from a number of candidates and workers about whether or not the corporate presents cryptocurrency as an possibility for compensation. Whereas I’m usually conscious of what cryptocurrency is, I shouldn’t have sufficient understanding to make an knowledgeable determination. Is paying cryptocurrency as a part of compensation an possibility?
—Confused on Crypto
Expensive Confused on Crypto,
Whereas cryptocurrency has been round since not less than 2009, it has change into extra mainstream lately and you’re seeing that widespread recognition along with your candidates and workers. For the uninitiated, cryptocurrency is a digital peer-to-peer fee system secured and verified by way of personal codes housed on an encrypted public ledger referred to as blockchain, with out using banks or every other monetary institute. We’re seeing an uptick in questions from employers about utilizing cryptocurrency as a signifier in a aggressive labor market. Whereas there are mayors,1 skilled athletes,2 and not less than one nation3 which are embracing cryptocurrency, we advocate a cautious strategy to utilizing cryptocurrency as wages in your workers.
The paramount query is whether or not it’s authorized to pay wages to workers within the type of cryptocurrency. Beneath federal regulation (Honest Labor Requirements Act), wages should be paid “in money or negotiable instrument payable at par.” 29 C.F.R. §531.27. A number of states, together with California, require that wages be paid in money or negotiable type of U.S. forex. Cal. Lab. Code §212 (prohibiting fee in “scrip, coupon, playing cards, or different factor redeemable, in merchandise or purporting to be payable or redeemable in any other case than in cash”). Cryptocurrency is neither money nor a negotiable instrument in america, and isn’t backed by the federal government or different authorized entity. Due to this fact, use of cryptocurrency for base wages (hourly or wage) is just not advisable. Whereas there could also be an argument that some types of cryptocurrency are readily exchangeable for U.S. forex, the authorized system remains to be catching as much as using cryptocurrency and has not issued any binding precedent to permit for the apply of fee of wages in cryptocurrency. Due to this fact, we advocate using conventional U.S. forex for fee of all wages to make sure compliance with federal, state, and native minimal wage necessities, additional time statutes, and wage thresholds for exemption classifications.
A separate difficulty associated to paying any type of wages in cryptocurrency is the related transaction charges for promoting cryptocurrency, exchanging cryptocurrency to U.S. {dollars}, or utilizing a cryptocurrency trade card. Many states, together with California, expressly require that wages be paid with out low cost. Even with out an categorical statute prohibiting the apply, offering wages in a way that can’t be utilized with out incurring a payment successfully lowers the workers’ take-home pay and will compound any worker frustrations if the worth of the cryptocurrency decreases. Actually, a variety of retailers are accepting some cryptocurrencies, however till workers pays their hire, mortgage, utilities, and different necessities in cryptocurrency, there are dangers related to paying wages handcuffed with transaction charges.
Concerns for non-exempt workers additional complicate issues. Given the inherent nature of worth fluctuations with cryptocurrency, the suitable common price of pay for additional time, paid sick time, meal and relaxation break premiums, or reporting time pay could be a consistently shifting goal and could also be tough to find out. Any unpaid time or historic time/pay changes would require not solely a recalculation based mostly on the worth of the cryptocurrency on the precise time of the adjustment, but additionally a recalculation of all different common price of pay funds in that point interval. Assuming the calculations might be carried out accurately, there could be a major administrative burden and value in your payroll division and/or exterior payroll supplier.
Along with wage and hour dangers, there are accounting and tax reporting difficulties that you must focus on with a tax skilled or tax legal professional.
Sensible Suggestions
We perceive that utilizing cryptocurrency could also be considered as a differentiator in attracting or retaining expertise, so in case you are contemplating utilizing cryptocurrency, we now have the next suggestions:
- Restrict using cryptocurrency to exempt workers. Calculating the proper common price of pay for non-exempt workers shall be tough and poses potential minimal wage and additional time issues in case you are utilizing cryptocurrency for normal wages.
- Restrict using cryptocurrency to bonuses. Given the variability and potential lower within the worth of a cryptocurrency, utilizing cryptocurrency as a part of a wage places at jeopardy the wage stage and wage foundation necessities for exemption classification functions.
- Draft clear bonus plan documentation discussing the potential variation within the worth of the cryptocurrency bonus, the date the cryptocurrency bonus shall be issued/earned so a valuation could be positioned for tax and accounting functions, the cryptocurrency trade the place the cryptocurrency is being issued, and that the bonus has no strings connected and is issued/cashed out on the day it’s earned.
- Take into account together with an acknowledgment within the bonus plan doc the place the worker acknowledges and accepts the chance of receiving compensation in cryptocurrency, the authorized dangers of receiving any type of compensation in cryptocurrency, and the potential drop in worth.
The underside line, Confused on Crypto, is that till our wage and hour legal guidelines meet up with the expertise, conventional types of wage fee, significantly for non-exempt workers and for base pay, ought to proceed to be the norm in most situations. As with most points, please run any proposed modifications to your strategies of fee by wage and hour counsel earlier than implementing them.
Footnotes
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