Common I-9 Documentation Mistakes
Employers and Employees may make certain mistakes while filling the Form I-9. Below is the list of some Common mistakes:
#1 – Tardiness of Completion
An employer must complete Form I-9 each time they hire a person to work or provide services in the United States in exchange for a person to perform labor or services in the U.S. in return for wages or other remuneration. Following these two simple rules can reduce the mistakes in Form I-9:
- Before the end of the first day of work, the employee must fill out Section 1 of Form I-9. The employee may complete Form I-9 earlier than the first date of employment as long as the individual has accepted the job
- Three business days after the employee starts their first day of paid work, the employer must finish Section 2 of Form I-9. For instance, if the employee begins work on Monday, the employer must review documents and complete Section 2 on or before Thursday. If the employer hires someone for less than three business days, Section 2 must be completed no later than the first day of employment
#2 – Delay in Re-Verification of Employment Authorization
- The majority of the time, the employer must-revalidate an employee’s employment authorization in Section 3 of Form I-9 when their employment authorization or employment authorization documentation expires. If someone can’t show their documentation of current work authorization, an employer cannot keep hiring them. Therefore, to avoid late reverification, always remember to:
1. Establish a calendar notification system for employees whose employment authorizations are about to expire and provide them with at least 90 days’ notice before the expiration date
2. Reverify on Form I-9, Section 3, before the expiration date of the employment authorization
#3 – Accepting a Restricted Social Security Card as a “List C” Document
An employee can present a Social Security Card as a “List C” document to demonstrate employment authorization (in combination with a “List B” document to demonstrate identity). Many employers are not aware that a restricted social security card is never acceptable as identification for a job. Remember the following to avoid making errors:
- Only accept an unrestricted Social Security Card if presented as a “List C” document
- A restricted social security card is easily recognizable and will include one of the following restrictions:
(1) Not valid for employment,
(2) Valid for work only with INS authorization, or
(3) Valid for work only with DHS authorization
- If presented with a restricted social security card, the employer must reject the document and ask the employee to choose different documentation from List A or List C.
#4 – Failure to Comply with Company’s Photocopying Policy
During the I-9 verification process, Employees are given a list of acceptable documents (List A or List B and C) to present to their employer as proof of both identity and employment authorization. Some companies prefer to retain copies of the documents provided by employees. Employers must be consistent with the company’s photocopying policy to avoid claims of discrimination. To avoid issues in the future:
- Don’t be selective. If the employer chooses to make copies of employee documentation, they must do so for all employees
- Create an office-wide policy for photocopying employment verification documents and ensure strict compliance
- Ensure key personnel is fully trained on all I-9 rules and the company’s internal I-9 procedures
#5 – Using White-out to Correct Errors on Form I-9
In Form I-9, using white-out is never allowed to correct any mistakes in the Form. Doing so can create suspicion in the event of an official ICE I-9 audit. Instead of using White-out, one should do the following:
- Enter the correct information, such as the initial and date in the margin (employees must make corrections in Section 1, and employers in Sections 2 and 3)
- An employer can use a new Form I-9 for multiple recording errors or omissions and attach it to the original
- Attach a note to the employee’s Form I-9 regarding the changes that were made to an existing Form I-9 or why a new Form I-9 was implemented
- Immigration status missing/blank in section 2
- The date entered is not in mm/dd/yyyy format
Common E-verify mistakes
Errors occur when an employer enters the information or, when a government employee at SSA or, DHS, incorrectly creates a legal worker’s record. Following are the common mistakes made by individuals in E-verify:
1. Failing to include an E -Verify Case number with I-9: An employee’s E-Verify case number must be attached to their I-9 form before the employer files it for safekeeping. The employers are given a case number as soon as they close the employee’s e-verify case.
2. Failing to Use E-Verify for all new hires: If an employer volunteers or is required to use E-Verify as a business, they must use it for all new hires going forward. They cannot go back to using Form I-9 alone. Employers have to commit and use this system going forward in the same way.
3. Data Entry Error From Form I-9: An employer is entering a lot of data from Form I-9 to E-Verify. Some processes can be automated, but the employer needs to always double-check and triple-check information.
The other E-verify mistakes are:
- Immediately terminating employees because they receive a Tentative Non-confirmation (Mismatch)
- Creating duplicate cases for the same employee
- Using incorrect case closure statements
- Failing to close cases
- Failing to create a case by the third business day after the employee started work for pay
- Failing to print a Further Action Notice
- Not reviewing a document containing a photo if the employee provided a List B identity document
- Not having a program administrator listed on their E-Verify account
- Requesting specific documents
Ways to rectify the errors in Form I-9
The employees may make certain errors while filling out Form I-9. Following are some of the ways in which the employer can help in the rectification of the errors.
Section 1 Errors:
If an employee’s Form I-9 contains an inaccuracy in Section 1, the employer should request that the employee amend the form as follows:
- Draw a line through the incorrect information. Do not use correction fluid or black out any information
- Enter the correct information
- Initial and date the correction
If an employee needs help correcting Section 1, they can ask a preparer or translator for assistance. The translator or preparer should:
- Make the correction or help the employee make the correction by drawing a line through the incorrect information and entering the correction information
- Have the employee initial and date the correction
- Initial and date the correction next to the employee’s initials
Section 2 and 3 Errors:
When correcting Section 2 or 3, the employer should:
- Draw a line through the incorrect information. Do not use correction fluid or black out any information
- Enter the correct information
- Initial and date the correction
Important: The employer and the employee should make sure that they have a clear legible scan of Form I-9 and other supporting documents.