Payroll Reporting
Baseline Payroll Reporting Requirements (Compliance with these baseline requirements will be evaluated during the July 1, 2024 to June 30, 2025 Compliance Review and Evaluation Period)
1. What are the general payroll reporting requirements?
The following are general payroll reporting requirements. See attachments for detailed requirements, description of payroll reporting issues (Attachment A), and payroll file layout field modifications (Attachment B).
- Payroll transactions shall be reported electronically following the ERS approved 600-byte layout, version 2. This applies to reporting of current payroll transactions, as well as prior period transactions, adjustments, and corrections.
- Files shall be submitted on a semi-monthly basis including adjustment and correction files. Additional supplemental files are created when off-cycle payroll is processed.
- Only ERS eligible compensation based on the pay type listings provided to each employer shall be reported.
- Files shall contain the correct semi-monthly earning periods for the compensation reported and associated to the correct ERS pay fields.
- ERS eligible compensation shall be reported with the correct ERS group and class code that pay was earned as and contributions are calculated based on the required contribution rate for that group and class code.
2. What happens if I made an error in a payroll file that has already been sent to the ERS?
Please follow the below guidance when reporting adjusting transactions to the ERS, more detailed information can be found in Attachment A:
3. What are the reporting requirements for Compensatory Time Cash Out Payments?
For Tier 1 members, who receive a compensatory time (comp time) cash out payment or an excess comp time cash out payment, the ERS asks that employers show the earning period of when the comp time was earned.
The ERS statutes require that all eligible compensation to be included in the pay period that it was earned and not when it was paid. Under internal current procedures, if comp time pay is reported as a lump sum payment (and not reported in the actual earning period), ERS will redistribute the pay over the prior 12-month period. This often results in pension spiking, employer liability for costs associated with the spiking, and increased unfunded liability to the ERS.
Example (assumes that actual comp time was earned outside or before AFC periods):
Retired employee receives 240-hour comp time cash out ($10K) at time of retirement.
Average Final Compensation (AFC, aka High 3) with comp time cash out:
Year #1: $110K ($100K base + $10K comp time cash out)
Year #2: $90K
Year #3: $80K
Average Final Compensation (AFC, aka High 3) without comp time cash out:
Year #1: $100K
Year #2: $90K
Year #3: $80K
The difference in the AFC amount (with the comp time cash out included) will result in a higher pension payment to the retiree. The costs associated with the higher payment may be passed on to the employer (pension spiking) and/or will result in increased unfunded liability to the ERS.
Note: The ERS takes no position on the employers using a FIFO (first in, first out) or LIFO (last in, first out) method, as long as the comp time pay is reported in the correct actual earning period.