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EEOC Strategic Plan & Legally Defensible
          Background Checks



                                          Select speakers or Phone
                                          on Webinar tab


    The Webinar will begin shortly. While you are waiting please
                       register for blog updates:
               http://info.safehiringsolutions.com
Quick Update
   SHS Webinars
       Provide education
       Announce new products
   Upcoming webinars:
       Should Background Screening Be an Ongoing Process? 7/10/12
       How to Conduct Comprehensive Volunteer Background Checks
        7/19/12
   New products:
       iRefCheck ready for testing
       Existing employees setting/report
       ATS “paperless” process
Facilitators

               Mike McCarty
                CEO SHS

                Metro Nashville PD

                Domestic Violence
                  Division
                Breaking the Cycle

                iRefCheck
Background
                EEOC approved 2012-2016
                 strategic plan 4/25/12 by 4-1
                 vote
                Guidance effective
                 immediately
                No public comment
                Game plan for the EEOC
                 field offices
Guidance replaced:
                 1987 EEOC Policy
                  Statement regarding
                  conviction records
                     Zero tolerance policies
                     3 pronged approach
                 1990 Policy Guidance on
                  the Consideration of Arrest
                  Records
Commissioner Constance Smith
Barker Lone Dissenter…
                 “Utter lack of transparency”
                 “Public has been intentionally
                  shut out of this process”
                 Places a burden on business
                  owners
                 Exceeds the authority for a
                  regulatory commission
                     Not congress
                     Not courts
This will not be the end….

             Further restrictions coming:
              Use of credit reports

              Other barriers to employment
Disparate Impact
                  EEOC demonstrates the
                   employer’s facially neutral
                   policy has disparate impact on a
                   protected group
                  Burden is on employer to show
                   policy is:
                      Job related
                      Consistent with business necessity
                  EEOC interested in who is
                   being denied based on
                   background check
Case law…
               Green v. MO Pacific
                Railroad (1977)
                   Zero tolerance convictions
                   3 pronged approach
               El v. SEPTA
                   Murder 40 yrs ago
                   Policy no violence
                   3rd Circuit Ct in favor of
                    SEPTA
Old Guidance…
            Employer could demonstrate Title
               VII compliance by using 3
               factors with background checks:
            1. Nature & gravity of crime;

            2. Time that has passed since
               conviction/completion of
               sentence; and
            3. Nature of job held or sought
New Guidance
               Now employers may satisfy Title VII
                 by using internal policy if it is
                 “narrowly tailored”
                Not clear what this looks like

                Guidance references “targeted
                 screens” based on Green factors (3
                 prongs)
                Allow applicant/employee to
                 explain the circumstances of the
                 conviction
Guidance list several considerations:
                    Facts & circumstances
                     surrounding the offense or
                     conduct
                        Self reporting from candidate?
                        How to verify?
                    Evidence candidate performed
                     same type work, post
                     conviction, with same or
                     different employer with no
                     incidents of criminal conduct
                    Employment or character
                     references
iRefCheck can help comply…
               iRefCheck:
                  Automated reference checks
                  Competency-based surveys
                  Candidate driven
                  Fast. Inexpensive. Reliable
                  Can be used to gather more
                   information from candidates
                   on criminal records
Arrest records require further
investigating….
                   Arrest alone may not be used to
                    deny employment
                   Certain minority groups arrested
                    at disproportionately higher rate
                   FCRA restricts reporting of arrest
                    records to 7 yrs
                   Several states do not allow
                    reporting of non-convictions
                   If arrested & pending
                   Candidate dishonest
Where do we stand?
                  5/9/12 Congress amended
                   Commerce, Justice and
                   Science appropriations bill
                   to prohibit the EEOC from
                   using any funds to enforce
                   guidance
                  Legal challenges- EEOC
                   looking for some test cases
Considerations….
   Review criminal background screening
    policies
       Use of arrest/ non-convictions
       Green 3 pronged test
       Zero tolerance policies
FCRA….
Make sure following required steps:
 Pre-Adverse Action
       Copy of background screening report
       Summary of Your Rights under FCRA
   Adverse Action Letter
FCRA Pre Adverse Action Letter
Change
   “If you believe that there is additional
    information that may help us better evaluate
    your fitness for this position, please contact us
    immediately.”
   Could help satisfy EEOC new Guidance
Questions?
   Use chat box
   Sign up for blog: info.safehiringsolutions.com
   For Sample FCRA Pre-Adverse and Adverse Action Letters
    contact:

                             John Hinesley
                   Manager of Compliance & Research
                 John.hinesley@safehiringsolutions.com



           Thank You for Participating

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Eeoc strategic plan & legally defensible background checks

  • 1. EEOC Strategic Plan & Legally Defensible Background Checks Select speakers or Phone on Webinar tab The Webinar will begin shortly. While you are waiting please register for blog updates: http://info.safehiringsolutions.com
  • 2. Quick Update  SHS Webinars  Provide education  Announce new products  Upcoming webinars:  Should Background Screening Be an Ongoing Process? 7/10/12  How to Conduct Comprehensive Volunteer Background Checks 7/19/12  New products:  iRefCheck ready for testing  Existing employees setting/report  ATS “paperless” process
  • 3. Facilitators Mike McCarty  CEO SHS  Metro Nashville PD  Domestic Violence Division  Breaking the Cycle  iRefCheck
  • 4. Background  EEOC approved 2012-2016 strategic plan 4/25/12 by 4-1 vote  Guidance effective immediately  No public comment  Game plan for the EEOC field offices
  • 5. Guidance replaced:  1987 EEOC Policy Statement regarding conviction records  Zero tolerance policies  3 pronged approach  1990 Policy Guidance on the Consideration of Arrest Records
  • 6. Commissioner Constance Smith Barker Lone Dissenter…  “Utter lack of transparency”  “Public has been intentionally shut out of this process”  Places a burden on business owners  Exceeds the authority for a regulatory commission  Not congress  Not courts
  • 7. This will not be the end…. Further restrictions coming:  Use of credit reports  Other barriers to employment
  • 8. Disparate Impact  EEOC demonstrates the employer’s facially neutral policy has disparate impact on a protected group  Burden is on employer to show policy is:  Job related  Consistent with business necessity  EEOC interested in who is being denied based on background check
  • 9. Case law…  Green v. MO Pacific Railroad (1977)  Zero tolerance convictions  3 pronged approach  El v. SEPTA  Murder 40 yrs ago  Policy no violence  3rd Circuit Ct in favor of SEPTA
  • 10. Old Guidance… Employer could demonstrate Title VII compliance by using 3 factors with background checks: 1. Nature & gravity of crime; 2. Time that has passed since conviction/completion of sentence; and 3. Nature of job held or sought
  • 11. New Guidance Now employers may satisfy Title VII by using internal policy if it is “narrowly tailored”  Not clear what this looks like  Guidance references “targeted screens” based on Green factors (3 prongs)  Allow applicant/employee to explain the circumstances of the conviction
  • 12. Guidance list several considerations:  Facts & circumstances surrounding the offense or conduct  Self reporting from candidate?  How to verify?  Evidence candidate performed same type work, post conviction, with same or different employer with no incidents of criminal conduct  Employment or character references
  • 13. iRefCheck can help comply… iRefCheck:  Automated reference checks  Competency-based surveys  Candidate driven  Fast. Inexpensive. Reliable  Can be used to gather more information from candidates on criminal records
  • 14. Arrest records require further investigating….  Arrest alone may not be used to deny employment  Certain minority groups arrested at disproportionately higher rate  FCRA restricts reporting of arrest records to 7 yrs  Several states do not allow reporting of non-convictions  If arrested & pending  Candidate dishonest
  • 15. Where do we stand?  5/9/12 Congress amended Commerce, Justice and Science appropriations bill to prohibit the EEOC from using any funds to enforce guidance  Legal challenges- EEOC looking for some test cases
  • 16. Considerations….  Review criminal background screening policies  Use of arrest/ non-convictions  Green 3 pronged test  Zero tolerance policies
  • 17. FCRA…. Make sure following required steps:  Pre-Adverse Action  Copy of background screening report  Summary of Your Rights under FCRA  Adverse Action Letter
  • 18. FCRA Pre Adverse Action Letter Change  “If you believe that there is additional information that may help us better evaluate your fitness for this position, please contact us immediately.”  Could help satisfy EEOC new Guidance
  • 19. Questions?  Use chat box  Sign up for blog: info.safehiringsolutions.com  For Sample FCRA Pre-Adverse and Adverse Action Letters contact: John Hinesley Manager of Compliance & Research John.hinesley@safehiringsolutions.com Thank You for Participating