Background of the Remote Form I-9 Verification
In the midst of COVID-19 precautions implemented by employers and employees, the DHS introduced Remote Form I-9 Verification in March 2020. In brief, the agency exercised discretion to defer physical presence requirements associated with any Form I-9 inspections after that date. Therefore, when employers received and reviewed Form I-9 documents, the items would not need to be physically present. This temporary policy change only applied to employers and workplaces operating remotely. In contrast, employees who were physically available were not eligible under the extension.Performing In-Person Form I-9 and Document Inspections
As remote Form I-9 verification flexibilities end, employers have until August 30th, 2023, to perform physical verifications of identity and employment eligibility documents for individuals that only received these inspections remotely on or after March 20th, 2020. To meet the August 30 deadline, employers should do the following:- Identify which Forms I-9 were inspected remotely and require updates.
- Notify your employees about upcoming physical inspections, what documentation is required, the timeline of compliance, and the consequences of not cooperating.
- Plan a location for physical inspections or use an authorized representative. An authorized representative can be any person an employer designates to complete and sign Form I-9 on their behalf. However, the employer is still liable for any violations in connection with the form or the verification process.
- Train authorized representatives conducting physical inspections so that they understand the Form I-9 process and refer to the U.S. Citizenship and Immigration Services’ (USCIS’) List of Acceptable Documents.
- Perform in-person inspections and physically update Forms I-9.
- Update any expired List B documents.
- Track when updates to Forms I-9 are completed.
- Verify that all records are in order and assess company-wide Form I-9 compliance.