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    How To Get Easy Grants for Small Businesses from the Government
    Several states have small business government grants. These are not offered by the federal government but a number of state-run development agencies provide free government grants. The states that offer these are Kansas, Nebraska, New Hampshire, New Mexico, and Utah. Other states provide financing through loans with incentives to those who want to start a small business rather than free government grants.Instead of money the government will give free advice and training to those who want to make their business grow. The United States Government's Small Business Administration (SBA) is where the free government grants originate from. Since fifty percent of the labor force comes from the twenty five million small businesses in the United States and that contributes more than half contributes t
    ed for at least three years from the date of hire or one year after termination, whichever is later. You may discard outdated I-9 forms. If there is a question, refer to an expert such as an employment law or Immigration attorney. If you re-hire an employee within three years of the date the form was first completed, you can complete Block B and the signature block on Section 3 of the original form.

    If you have decided to conduct an audit of your company’s I-9 forms here are a few suggestions:

    1. Generate a list of all employees hired since November 6, 1986. The list should contain the employees name, social security number, date of hire, and termination date. Identify the former employees whose termination date is outside the required retention period. Those I-9 forms can be discarded. Have a separate person check your math before discarding any I-9s.

    2. Verify that you have an I-9 for every person on your list.

    3. On each I-9 check for missing signatures, unchecked status boxes, information recorded in the wrong space, missing or incorrect dates.

    4. Make the necessary corrections or require the employee to produce the missing information.

    Conducting an audit of your I-9 files and making required correction

    The Marketing Power of Social Proof - Testimonials Sell
    Offer proof to your prospects. Testimonials are one of the most powerful and cost effective selling tools you can implement in your arsenal of marketing. Why? Because you are offering social proof to your prospects from their peers attesting that your services/products actually work. If you say you are good at what you do, it's self serving. But, if others say you are good...it's credible.Providing testimonials from current and prior customers of their actual problem and the specific results from your company enhances your company's credibility. It's not enough to say that you solve problems - you have to show your prospects the direct results of other people. Testimonials offer proof that you are the real deal.People receive a lot of information and they are often skeptical. But, the
    On April 20, 2006 The Department of Homeland Security announced its Comprehensive Immigration Enforcement Strategy for the Nation’s Interior. The second goal of this initiative is to build strong worksite enforcement and compliance programs to deter illegal employment in the United States. Immigration and Customs Enforcement (ICE) has undergone a strategic shift from imposing administrative sanctions and fines to seeking out and punishing knowing and reckless employers of illegal aliens by bringing criminal charges against the employers and the administrators completing employment eligibility forms.

    In the past employers had little fear of being arrested and the administrative fines were nominal and considered a cost of doing business. In 2003 there were only 124 fines issued. Last year, in a single ICE worksite enforcement investigation, a settlement and forfeiture of $15 million was negotiated. Just last week an investigation which began over a year ago resulted in the arrest of 1,187 people on administrative immigration charges, and seven criminal complaints were brought against managers or former managers for alleged criminal violations in connection with the hiring of illegal, undocumented aliens. The charges in the criminal complaints allege harboring aliens for illegal advantage, and, in two instances, document fraud. The Administration’s Fiscal Year 2007 budget requests an additional 171 agents and $41.7 million in new funds to enhance worksite enforcement efforts.

    You may ask yourself, what does that have to do with my business? I don’t hire illegal aliens. Most employers do not knowingly hire illegal aliens and will be in compliance with the Immigration Reform and Control Act of 1986 (IRCA) and don’t need to worry about criminal charges like money laundering or harboring an alien for illegal advantage. However, if you are in the hospitality, construction, landscaping or agriculture business you may be targeted for a worksite enforcement inspection. Charges of recklessness have been brought for employers who are careless or lax in their employment practices. Missing or incomplete I-9 forms can result in fines between $600 and $800 per form and missing forms can result in an additional fine of about $1500 per form(can be as high as $10,000) for knowingly employing an ineligible person. (ICE assumes that persons without forms are illegal.)

    All employers should perform regular audits of their I-9 forms and regularly review the practices of those responsible for hiring and completing paperwork for new employees. Employers are not expected to be document experts, but an individual presenting a social security card with the number 000-00-0000 should be suspect. As an employer, you may not use photocopies of identity or employment eligibility documents, with the exception of a certified photocopy of a birth certificate. You can make a copy of the documentation provided and retain with the completed I-9. This can be helpful later as you complete your audit, in the event you completed information incorrectly on the I-9. Be aware, if you retain copies for one individual, you must do it for all employees.

    You are not permitted to tell an employee which documents to provide for employment eligibility verification. A good practice is to include a copy of the “List of Acceptable Documents” with your offer letter. Instruct the employee that they must provide either one document from List A or one document from List B PLUS one document from List C on the first day of employment. An employee must prove eligibility for work within three business days of hire or risk termination. If an employee has lost one of their documents, you can accept a receipt for a replacement document, (lost, stolen or destroyed), within the first three business days. An employee then has up to 90 days from the first date of employment to produce the actual documents. Set up a tickler file for 30, 60 and 90 day follow-ups with the employee.

    Make sure that you have completed the Employer Review and Verification section of the I-9 form within three days of the first day of employment. Your signature and date must be within three days of the employees start date or you could be subject to an administrative fine. Fines vary from $100 to $1,100 per paperwork violation. It is best if you complete all hiring paperwork on the same day as the employee. It will save time, money and questions later.

    After completing I-9 forms you must store them in a location which will allow you to produce them within three days of an official request for production of the documents for inspection. If you have a significant number of employees or multiple sites you may want to consider storing I-9s in a central location alphabetically. You are not required to do this and you may, if you choose to, store them in the employee’s personnel file. This makes it more difficult to conduct an internal self-audit of I-9s or pull documents quickly, but is permissible.

    I-9s must be retained for at least three years from the date of hire or one year after termination, whichever is later. You may discard outdated I-9 forms. If there is a question, refer to an expert such as an employment law or Immigration attorney. If you re-hire an employee within three years of the date the form was first completed, you can complete Block B and the signature block on Section 3 of the original form.

    If you have decided to conduct an audit of your company’s I-9 forms here are a few suggestions:

    1. Generate a list of all employees hired since November 6, 1986. The list should contain the employees name, social security number, date of hire, and termination date. Identify the former employees whose termination date is outside the required retention period. Those I-9 forms can be discarded. Have a separate person check your math before discarding any I-9s.

    2. Verify that you have an I-9 for every person on your list.

    3. On each I-9 check for missing signatures, unchecked status boxes, information recorded in the wrong space, missing or incorrect dates.

    4. Make the necessary corrections or require the employee to produce the missing information.

    Conducting an audit of your I-9 files and making required corrections

    The Business Of Global Asset Management
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    nts allege harboring aliens for illegal advantage, and, in two instances, document fraud. The Administration’s Fiscal Year 2007 budget requests an additional 171 agents and $41.7 million in new funds to enhance worksite enforcement efforts.

    You may ask yourself, what does that have to do with my business? I don’t hire illegal aliens. Most employers do not knowingly hire illegal aliens and will be in compliance with the Immigration Reform and Control Act of 1986 (IRCA) and don’t need to worry about criminal charges like money laundering or harboring an alien for illegal advantage. However, if you are in the hospitality, construction, landscaping or agriculture business you may be targeted for a worksite enforcement inspection. Charges of recklessness have been brought for employers who are careless or lax in their employment practices. Missing or incomplete I-9 forms can result in fines between $600 and $800 per form and missing forms can result in an additional fine of about $1500 per form(can be as high as $10,000) for knowingly employing an ineligible person. (ICE assumes that persons without forms are illegal.)

    All employers should perform regular audits of their I-9 forms and regularly review the practices of those responsible for hiring and completing paperwork for new employees. Employers are not expected to be document experts, but an individual presenting a social security card with the number 000-00-0000 should be suspect. As an employer, you may not use photocopies of identity or employment eligibility documents, with the exception of a certified photocopy of a birth certificate. You can make a copy of the documentation provided and retain with the completed I-9. This can be helpful later as you complete your audit, in the event you completed information incorrectly on the I-9. Be aware, if you retain copies for one individual, you must do it for all employees.

    You are not permitted to tell an employee which documents to provide for employment eligibility verification. A good practice is to include a copy of the “List of Acceptable Documents” with your offer letter. Instruct the employee that they must provide either one document from List A or one document from List B PLUS one document from List C on the first day of employment. An employee must prove eligibility for work within three business days of hire or risk termination. If an employee has lost one of their documents, you can accept a receipt for a replacement document, (lost, stolen or destroyed), within the first three business days. An employee then has up to 90 days from the first date of employment to produce the actual documents. Set up a tickler file for 30, 60 and 90 day follow-ups with the employee.

    Make sure that you have completed the Employer Review and Verification section of the I-9 form within three days of the first day of employment. Your signature and date must be within three days of the employees start date or you could be subject to an administrative fine. Fines vary from $100 to $1,100 per paperwork violation. It is best if you complete all hiring paperwork on the same day as the employee. It will save time, money and questions later.

    After completing I-9 forms you must store them in a location which will allow you to produce them within three days of an official request for production of the documents for inspection. If you have a significant number of employees or multiple sites you may want to consider storing I-9s in a central location alphabetically. You are not required to do this and you may, if you choose to, store them in the employee’s personnel file. This makes it more difficult to conduct an internal self-audit of I-9s or pull documents quickly, but is permissible.

    I-9s must be retained for at least three years from the date of hire or one year after termination, whichever is later. You may discard outdated I-9 forms. If there is a question, refer to an expert such as an employment law or Immigration attorney. If you re-hire an employee within three years of the date the form was first completed, you can complete Block B and the signature block on Section 3 of the original form.

    If you have decided to conduct an audit of your company’s I-9 forms here are a few suggestions:

    1. Generate a list of all employees hired since November 6, 1986. The list should contain the employees name, social security number, date of hire, and termination date. Identify the former employees whose termination date is outside the required retention period. Those I-9 forms can be discarded. Have a separate person check your math before discarding any I-9s.

    2. Verify that you have an I-9 for every person on your list.

    3. On each I-9 check for missing signatures, unchecked status boxes, information recorded in the wrong space, missing or incorrect dates.

    4. Make the necessary corrections or require the employee to produce the missing information.

    Conducting an audit of your I-9 files and making required correction

    Resume Writing for a Specific Job Listing
    In today’s competitive job market, it is impossible to stress enough the importance of writing not just a good, but a terrific resume. With job recruiters and human resources managers getting as many as 400 resumes per job listing, it’s vital to write a resume that stops them in their tracks.This means that your resume must be written to fit a particular job listing if you want to even have a chance of being considered for the job you’re applying for. This means you need to do certain things such as:• Read the listing closely and make sure you’re the right applicant for the job before applying. Nothing will get your application dumped in the trash more quickly than applying for the wrong position to start with.• When writing your resume, use as many of the same words and phr
    hiring and completing paperwork for new employees. Employers are not expected to be document experts, but an individual presenting a social security card with the number 000-00-0000 should be suspect. As an employer, you may not use photocopies of identity or employment eligibility documents, with the exception of a certified photocopy of a birth certificate. You can make a copy of the documentation provided and retain with the completed I-9. This can be helpful later as you complete your audit, in the event you completed information incorrectly on the I-9. Be aware, if you retain copies for one individual, you must do it for all employees.

    You are not permitted to tell an employee which documents to provide for employment eligibility verification. A good practice is to include a copy of the “List of Acceptable Documents” with your offer letter. Instruct the employee that they must provide either one document from List A or one document from List B PLUS one document from List C on the first day of employment. An employee must prove eligibility for work within three business days of hire or risk termination. If an employee has lost one of their documents, you can accept a receipt for a replacement document, (lost, stolen or destroyed), within the first three business days. An employee then has up to 90 days from the first date of employment to produce the actual documents. Set up a tickler file for 30, 60 and 90 day follow-ups with the employee.

    Make sure that you have completed the Employer Review and Verification section of the I-9 form within three days of the first day of employment. Your signature and date must be within three days of the employees start date or you could be subject to an administrative fine. Fines vary from $100 to $1,100 per paperwork violation. It is best if you complete all hiring paperwork on the same day as the employee. It will save time, money and questions later.

    After completing I-9 forms you must store them in a location which will allow you to produce them within three days of an official request for production of the documents for inspection. If you have a significant number of employees or multiple sites you may want to consider storing I-9s in a central location alphabetically. You are not required to do this and you may, if you choose to, store them in the employee’s personnel file. This makes it more difficult to conduct an internal self-audit of I-9s or pull documents quickly, but is permissible.

    I-9s must be retained for at least three years from the date of hire or one year after termination, whichever is later. You may discard outdated I-9 forms. If there is a question, refer to an expert such as an employment law or Immigration attorney. If you re-hire an employee within three years of the date the form was first completed, you can complete Block B and the signature block on Section 3 of the original form.

    If you have decided to conduct an audit of your company’s I-9 forms here are a few suggestions:

    1. Generate a list of all employees hired since November 6, 1986. The list should contain the employees name, social security number, date of hire, and termination date. Identify the former employees whose termination date is outside the required retention period. Those I-9 forms can be discarded. Have a separate person check your math before discarding any I-9s.

    2. Verify that you have an I-9 for every person on your list.

    3. On each I-9 check for missing signatures, unchecked status boxes, information recorded in the wrong space, missing or incorrect dates.

    4. Make the necessary corrections or require the employee to produce the missing information.

    Conducting an audit of your I-9 files and making required correction

    How You Can Earn $200 Everyday by Helping 911
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    within the first three business days. An employee then has up to 90 days from the first date of employment to produce the actual documents. Set up a tickler file for 30, 60 and 90 day follow-ups with the employee.

    Make sure that you have completed the Employer Review and Verification section of the I-9 form within three days of the first day of employment. Your signature and date must be within three days of the employees start date or you could be subject to an administrative fine. Fines vary from $100 to $1,100 per paperwork violation. It is best if you complete all hiring paperwork on the same day as the employee. It will save time, money and questions later.

    After completing I-9 forms you must store them in a location which will allow you to produce them within three days of an official request for production of the documents for inspection. If you have a significant number of employees or multiple sites you may want to consider storing I-9s in a central location alphabetically. You are not required to do this and you may, if you choose to, store them in the employee’s personnel file. This makes it more difficult to conduct an internal self-audit of I-9s or pull documents quickly, but is permissible.

    I-9s must be retained for at least three years from the date of hire or one year after termination, whichever is later. You may discard outdated I-9 forms. If there is a question, refer to an expert such as an employment law or Immigration attorney. If you re-hire an employee within three years of the date the form was first completed, you can complete Block B and the signature block on Section 3 of the original form.

    If you have decided to conduct an audit of your company’s I-9 forms here are a few suggestions:

    1. Generate a list of all employees hired since November 6, 1986. The list should contain the employees name, social security number, date of hire, and termination date. Identify the former employees whose termination date is outside the required retention period. Those I-9 forms can be discarded. Have a separate person check your math before discarding any I-9s.

    2. Verify that you have an I-9 for every person on your list.

    3. On each I-9 check for missing signatures, unchecked status boxes, information recorded in the wrong space, missing or incorrect dates.

    4. Make the necessary corrections or require the employee to produce the missing information.

    Conducting an audit of your I-9 files and making required correction

    Tips for Easier Hotel Contract Review When Planning a Meeting
    The next time a hotel contract lands on your desk, read it twice. First, read what is there and identify the terms that need to be rewritten, changed, or deleted. Then, read it for what is not there and needs to be added. The following checklist will help you determine what to look for and what is missing. (Note: This information is not intended to be “legal advice.” Meeting planners and hotel managers should consult a qualified attorney to review all contract issues.)CONTRACT SECTIONSGeneral Contract Issues• Date of contract initiation.• Accurate and complete legal names of both parties, addresses, and contact information as well as the name of the meeting. Be sure the contracting party is not listed as the name of the meeting; they are often not the same.• Actua
    ed for at least three years from the date of hire or one year after termination, whichever is later. You may discard outdated I-9 forms. If there is a question, refer to an expert such as an employment law or Immigration attorney. If you re-hire an employee within three years of the date the form was first completed, you can complete Block B and the signature block on Section 3 of the original form.

    If you have decided to conduct an audit of your company’s I-9 forms here are a few suggestions:

    1. Generate a list of all employees hired since November 6, 1986. The list should contain the employees name, social security number, date of hire, and termination date. Identify the former employees whose termination date is outside the required retention period. Those I-9 forms can be discarded. Have a separate person check your math before discarding any I-9s.

    2. Verify that you have an I-9 for every person on your list.

    3. On each I-9 check for missing signatures, unchecked status boxes, information recorded in the wrong space, missing or incorrect dates.

    4. Make the necessary corrections or require the employee to produce the missing information.

    Conducting an audit of your I-9 files and making required corrections will go along way towards demonstrating good faith compliance with the IRCA and may reduce the risk of severe penalties.

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