The Office of Labor-Management Standards (OLMS) enforces certain provisions of the Labor-Management Reporting and Disclosure Act (LMRDA), including reporting and disclosure requirements for labor unions, their officers and employees, employers, labor relations consultants, and surety companies. The LMRDA also requires that unions meet basic standards of fiscal responsibility. In particular, the LMRDA requires unions to file annual financial reports, such as the Form LM-3, filed by labor organizations with less than $250,000 in total annual receipts. The Form LM-3 includes payments to officers (Item 24 of Form LM-3). This Compliance Tip deals with two frequently-occurring problems experienced by many Form LM-3 filers and how they can be avoided with proper reporting practices. The first section discusses the requirement that all office-holders must be listed in the appropriate items and schedules, regardless of how long they held office during the reporting year and regardless of whether or not they received any payments. The second section deals with what direct and indirect reimbursements must be reported and where they must be reported on Form LM-3.
List all individuals who held office during the reporting year, regardless of how long they held office and whether or not they received any payments
A frequent reporting deficiency is the failure to report all officers in Item 24 of the LM-3, regardless of how long they held office or whether they received any payments at all. The requirement from the Instructions reads:
“Enter in (A) the last name, first name, and middle initial of each person who held office in the labor organization at any time during the reporting period. Include all the labor organization's officers whether or not any salary or other disbursements were made to them or on their behalf by the labor organization.”
(emphasis added). For example, assume a union’s reporting year begins January 1 and elections are held in December, but new officers are not sworn in until mid-January. Assume also the president did not run in the December election and a new president was elected; also, that the vice president ran without opposition. In this case, the past president must be listed with the “past” or “P” designation and the new president must be listed with the “new” or “N” designation. The Vice President must be listed in Schedule 11 with the “continuing” or “C” designation. In this example, officers who are “past” but no longer serve for the remainder of the reporting year are labeled “P.” Those who were re-elected are labeled “C” for “continuing” and those who are newly-elected are labeled “N” for “new.”
An “officer,” according to Section 3(n) of the LMRDA, includes: “any constitutional officer, any person authorized to perform the functions of president, vice president, secretary, treasurer, or other executive functions of a labor organization, and any member of its executive board or similar governing body. ”
Reporting of direct and indirect disbursements
Another frequent reporting violation for Form LM-3 filers is reporting certain disbursements to officers in the wrong place on the form. All salaries and other direct and indirect disbursements to officers during the reporting period must be reported in Item 24. A direct disbursement to an officer is a payment made by your union for goods, services, or other things of value. An indirect disbursement to an officer is a payment made by your union to another party for cash, property, goods, services, or other things of value received by or on behalf of the officer. This includes payments made through a credit arrangement where charges are made to your union’s account and paid for with union funds.
- Direct disbursement example: A union officer pays out of pocket for a lunch meeting and the union writes a check directly to the officer for reimbursement.
- Indirect disbursement example: A union officer charges a lunch meeting expense to a union credit card, and the union pays the credit card company for the charges made by the officer.
On Form LM-3, “Allowances and Other Disbursements” to officers must be reported in Column E of Item 24. This includes “allowances made by direct and indirect disbursements to each officer on a daily, weekly, monthly, or other periodic basis; allowances paid on the basis of mileage or meals; all expenses that were reimbursed directly to an officer; expenses for officers’ meals and entertainment; and various goods and services furnished to officers but charged to your organization.” If an officer is assigned an automobile owned or leased by the union, all associated maintenance and operating costs (including insurance) are reported in Item 24.
While most direct and indirect disbursements to officers are reported in Item 24, there are limited exceptions. The most common exception is for indirect disbursements made on behalf of officers for temporary lodging (room rent only) and transportation by a public carrier (such as an airline) necessary for conducting official business, which are reported in Item 48 (Office and Administrative Expense).
- Direct disbursement example: A union officer uses personal funds to pay $80 room rent for one night of lodging and $150 roundtrip airfare to travel while conducting official union business and the union reimburses the officer for the out-of-pocket payments. These disbursements are reported in Column E of Item 24.
- Indirect disbursement example: A union officer charges the union credit card for $80 room rent for one night of lodging and $150 roundtrip airfare to travel while conducting official union business and the union pays the credit card company for the charges made by the officer. These disbursements are reported in Item 48 (Office and Administrative Expense).
Please refer to the Instructions for a detailed list of the types of expenses that should be reported in Item 24, and those that should be reported in other sections of the form.
If you have any questions, please e-mail us at OLMS-Public@dol.gov or contact your nearest OLMS field office.
Last Updated: 7-11-11