Update: What’s the Current Immigration Enforcement Climate?
Sunday, February 5th, 2012It has been recently reported that ICE is launching another round of worksite investigations, but this time, returning to employers that have already been through a federal investigative audit in the last three years. We’ve not seen this before. Approximately 500 employers are being re-visited by ICE Special Agents to confirm that non-compliant activity identified during prior audits has been resolved.
Employers must make sure they are hiring only people who can work legally in the U.S. Businesses that previously have received warning letters or administrative fines may now be the subject of yet more fines if ICE Special Agents determine that the employer continues to make the same mistakes.
Bear in mind, that several Federal agencies have the authority to review your I-9 forms, these agencies consist of ICE, The Office of Special Counsel for Immigration-Related Unfair Employment Practices (OSC) and the DOL, Wage and Hour Division. Each of these agencies investigate violations in the I-9 process, and we strongly advise that employers need to be prepared for a visit from any one of them.
ICE has recently announced their enforcement related statistics in the area of I-9 compliance for 2011, as follows:
- 2,496 I-9 audits were conducted
- 3,291 worksite enforcement cases were initiated
- Criminally arrested 221 employers
- Issued 385 Final Orders for $10.4+ million in fines; and
- Debarred 115 individuals and 97 businesses
These enforcement statistics should indeed be troubling to employers, particularly given that they don’t reflect the number of ICE notices (such as the Notice of Discrepancies or Notice of Suspect Documents) that are sent to employers, who are otherwise compliant, but may have accepted fraudulent documents or whose employees may have purchased the identity of a US citizen for work authorization purposes, despite your best efforts. As a result of this, employers across the country have had to terminate thousands of employees and incur the expense of hiring and training new employees.
ICE expects to audit some 3,000 employers in 2012. We recommend that you hire experts in the field to conduct either a partial or full audit, depending upon your circumstances, train personnel who are charged with the processing of your I-9 forms, and develop a written policy statement that reflects your goals for remaining compliant.