Massachusetts Paid Family and Medical Leave: Final Regulations, Updated Notices, and Educational Sessions


On June 18, 2019, the Massachusetts Department of Family and Medical Leave (DFML) issued final regulations regarding the Massachusetts Paid Family and Medical Leave Law (PFML). This follows months of revisions, public hearings, and comments. The DFML has published an unofficial version of the regulations on its website and has stated that the official version will be available on or before Monday, July 1, 2019, from the Office of the Secretary of the Commonwealth.

The DFML has also issued new template notices on its website following the announcement of a three-month delay to the contributions that will fund the state’s leave program. The DFML has also stated that employers that already provided written notice to their workforces prior to the delay announcement must provide those individuals with a rate sheet explaining the changes.

Finally, the DFML has scheduled three “educational sessions” in late June promising to provide an opportunity to ask questions of representatives from the DFML.

Final Regulations

The final regulations maintain most of the language of the draft version but also incorporate significant changes (likely in response to information received during the public comment period). Several significant updates are highlighted below:

New Template Notices and Addendum

As a result of the three-month delay to contributions, the DFML has issued guidance on its website regarding new notices. The DFML has also issued a revised workplace poster with updated deadlines, which must be displayed and placed in locations where it can be easily read. The DFML has indicated that translated versions of the revised workplace poster will be available soon.

Subject to the delay, employers and covered business entities are now required to provide written notice to covered individuals of their rights and obligations under the law by September 30, 2019. The newly issued template notices not only reflect the extended deadlines, they now include separate notices based on the number of covered individuals.

There is one form for notice to W-2 employees for employers with 25 or more covered individuals and one for employers with fewer than 25 covered individuals. Similarly, there is one form for notice to 1099-MISC contractors for covered business entities with 25 or more covered individuals and a separate form for notice to 1099-MISC contractors for covered business entities with fewer than 25 covered individuals.

The updated notices with regard to 1099-MISC contractors are significant in that they clarify inaccuracies in the old template 1099-MISC notice. These updated notices confirm that only covered entities need to notify 1099-MISC contractors of their rights under the law. However, covered entities and employers are both required to report the earnings of all 1099-MISC contractors to the DFML.

The DFML’s website further states that entities that already provided written notices to their workforces before the recently announced three-month delay will need to provide their workforces with a rate update sheet explaining the updated program dates and contribution rates. There is one sheet for entities with 25 or more covered individuals and another sheet for entities with fewer than 25 covered individuals. Covered individuals do not need to sign these sheets, but entities must keep a record of the sheets’ distribution. Further, the DFML states that forms that have already been collected from W-2 employees or 1099-MISC contractors acknowledging or refusing to acknowledge receipt of the notice should be retained according to that entity’s internal document retention policy, but those outdated forms should not be sent to the DFML.

Educational Sessions and Continuing Guidance

The DFML is continuing to host public sessions to provide clarification on the PFML and recently announced three public question-and-answer sessions with DFML representatives. The three sessions will be held on the following dates:


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National Law Review, Volume IX, Number 175