The requirement for businesses to publish gender pay gap reports was cancelled in 2020 as a result of Covid-19. Gender pay reporting is, however, back on the agenda for 2021.
There has been a lot of commentary over the last nine months about the impact of Covid-19, and particularly furlough, on gender pay statistics[i]. New guidance[ii] has been released which clarifies how organisations should refer to furloughed employees for the purposes of gender pay gap reporting.
The key points are:
- Furloughed employees will need to be taken into consideration when businesses are determining whether or not they have 250 employees.
For example, a company which has 300 employees in total would need to report, even if 250 of those employees were not actively working on the snapshot date (as a result of being placed on furlough leave).
- The gender pay gap and salary quartile bands are based on ‘full pay’ relevant employees. This means that furloughed employees should be excluded from the calculation if their salary wasn’t topped up by their employer. For example:
- Sally was furloughed between 1 April 2020 and 31 May 2020. During that period, she received 80% of her salary, subject to the statutory cap. Sally will not be a ‘full pay’ employee for the purposes of pay gap reporting and therefore her salary does not need to be included in the average pay gap calculations or salary quartile bands.
- Sam was also furloughed between 1 April 2020 and 31 May 2020. During that period, she received 100% of her normal pay as her employer ‘topped up’ her wages to make up the shortfall between the amount it could claim back under the Coronavirus Job Retention Scheme and Sam’s normal monthly salary. Sam will be a ‘full pay’ employee for the purposes of pay gap reporting and therefore her salary will need to be included in the average pay gap calculations and the salary quartile bands.
- All furloughed employees will need to be included in gender bonus gap calculations.
On 23 February 2021 it was also announced that the Equality and Human Rights Commission would delay enforcement action until 5 October 2021. In effect, employers now have until 4 October 2021 to report their gender pay gap information.
Comment:
The inclusion of furloughed employees within the scope of gender pay reporting would impact on the data. How it would be affected depends on the business/sector but it may have:
- Increased the gap if a larger proportion of women were furloughed in a particular business;
or
- Artificially reduced the gap if higher paid male employees were furloughed, and adversely impacted by the application of the cap on grants under the Coronavirus Job Retention Scheme.
However, given the statistics released over the past year concerning the impact of Covid-19 on women at work, removing furloughed employees from the scope of gender pay reporting doesn’t give the full picture on the position of women in an organisation’s workforce. It may simply render this year’s reporting meaningless.
It is possible that, businesses may choose to publish a supplementary update on their website to look at the statistics through the ‘if Covid-19 hadn’t happened’ lens. This would provide a helpful additional level of analysis when comparing previous and future years’ pay gaps and perhaps give a better indicator of the effectiveness of steps being taken to reduce the gender pay gap within an organisation.
Whilst ethnicity pay gap reporting is not currently mandated by the government, many would prefer such reporting to take place. Some businesses may voluntarily publish such figures on their website in addition to their gender pay gap report.
About the author
Amy Anderson
Senior Associate
03700 86 5508
07595 096 584
amy.anderson@shoosmiths.co.uk
Amy is a Senior Associate at Shoosmiths . Amy’s particular area of expertise is managing employment tribunal litigation for businesses in the retail and logistics sectors. In addition to defending employment tribunal litigation, Amy enjoys working alongside clients to manage people-related risks, whether that be by ensuring that businesses have the right contractual and policy documentation in place, to negotiating settlement agreements, to providing strategic advice during periods of organisational change.
This information is for educational purposes only and does not constitute legal advice. It is recommended that specific professional advice is sought before acting on any of the information given.
[i] https://www.shoosmiths.co.uk/insights/articles/covid19/covid-19-and-its-impact-on-women-at-work)
[ii] https://www.gov.uk/government/collections/gender-pay-gap-reporting
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