Su v. F.W. Webb Company, No. 23-1793 (1st Cir. 2024)
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The Acting Secretary of Labor filed a lawsuit against F.W. Webb Company, alleging that the company misclassified its Inside Sales Representatives (ISRs) as exempt administrative employees, thereby violating the Fair Labor Standards Act (FLSA) overtime and recordkeeping requirements. Webb, a wholesale distributor of engineering and construction products, employed over 600 ISRs who were responsible for selling products to various customers. The ISRs were classified as exempt from FLSA overtime requirements, despite some working over forty hours a week without receiving overtime pay. The ISRs' duties included interacting with customers, providing quotes, and managing orders, but they did not have managerial responsibilities over other employees.
The United States District Court for the District of Massachusetts granted summary judgment in favor of the Secretary, finding that the ISRs' primary duty was to make sales, which is directly related to Webb's core business purpose of selling products. The court concluded that the ISRs did not qualify for the administrative exemption under the FLSA because their primary duty was not related to the management or general business operations of Webb. Consequently, the court found that Webb violated the FLSA by failing to pay overtime and maintain proper records for the ISRs.
The United States Court of Appeals for the First Circuit reviewed the case and affirmed the district court's judgment. The appellate court agreed that the ISRs' primary duty was to sell Webb's products, which is directly related to the company's business purpose. The court held that the ISRs did not perform work directly related to the management or general business operations of Webb, and thus, did not qualify for the administrative exemption under the FLSA. The court emphasized that the ISRs' customer service and advisory roles were part of their sales duties and not separate administrative functions.
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