The California Civil Rights Department (CRD) recently released preliminary guidance, FAQs, and reporting templates for the 2025 pay data reporting cycle (reports currently due May 13, 2026). These materials outline significant changes that will impact how covered employers prepare and submit their pay data reports. While the guidance and templates may not ultimately be the final versions for the reporting cycle, employers should review the information for advance planning purposes. This Insight explains what’s new this year and provides a five-step employer action plan.
What’s New for Reporting?
In addition to the traditionally requested information regarding race/ethnicity, sex, job category, and pay band, the preliminary guidance and templates also seek categories of new information. Specifically, the new data fields relate to:
- Exemption Status – classification as either exempt or non-exempt for minimum wage and overtime purposes.
- Employment Type – categorized as full-time, part-time, or intermittent.
- Weeks Worked – total weeks worked during the reporting year, including paid time off (such as vacation or sick leave).
Employers currently not tracking this information should begin planning how to capture this information ahead of May’s reporting deadline. CRD has indicated that the information will be optional for this reporting cycle, but it will likely be required for future reporting cycles.
CRD’s Preliminary Excel Templates and FAQs
CRD also published preliminary Excel templates and FAQs for both Payroll Employee Reports and Labor Contractor Employee Reports, giving filers an early look at the expected data format. According to CRD, these templates are for planning and preparation only and should not be submitted with the actual filing. The official operative templates and related guidance will be released in February 2026, when CRD reopens the reporting portal.
5-Step Employer Action Plan
- Begin updating internal HR/payroll systems to capture exemption status, employment type, and weeks worked.
- Coordinate with labor contractors early to ensure they can deliver required data.
- Review existing data pipelines to ensure accurate aggregation by the expanded reporting categories.
- Continue to review updates from CRD regarding the final templates and guidance, which are set to be released in February 2026.
- Work with your counsel to ensure proper filing and compliance steps.