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			IDES Announces Progress in 
			Implementing Continued Assistance ActRevisions Impacting, FPUC, PUA, PUA 
			Overpayments, PEUC, MEUC
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            [February 19, 2021]  
            
            
            The Illinois Department of 
			Employment Security (IDES) today announced programmatic updates and 
			changes to several unemployment programs contained within the 
			Continued Assistance Act (CAA), signed into law on December 27, 
			2020, and the progress the Department is making in implementing the 
			wide-ranging changes to these programs. These updates and changes, 
			outlined below, will impact the Federal Pandemic Unemployment 
			Compensation (FPUC) program, the Pandemic Unemployment Assistance (PUA) 
			program, PUA overpayments waivers, and the Pandemic Emergency 
			Unemployment Compensation (PEUC) program, in addition to the 
			creation of the Mixed-Earner Unemployment Compensation (MEUC) 
			program. | 
        
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			 Federal Pandemic Unemployment Compensation (FPUC):
			The CAA provides an additional $300 per week in supplemental 
			benefits to claimants who receive at least $1 of regular or federal 
			unemployment benefits per week. This additional supplemental benefit 
			applies between the week ending January 2, 2021 and the week ending 
			March 13, 2021. IDES began paying the $300 FPUC benefit for all 
			programs beginning January 4, 2021. 
 Pandemic Unemployment Assistance (PUA)
 
 o Continued Claimants: IDES is instructing all PUA claimants who 
			applied and were approved for PUA benefits prior to the week ending 
			December 26, 2020, and had not exhausted benefit eligibility, to 
			continue to certify to avoid an interruption in benefit payment. The 
			PUA system is undergoing technical updates and testing to add the 
			new 11 weeks of eligibility authorized under the CAA.
 
			
			 
			
 The CAA requires PUA claimants to verify employment or 
			self-employment. During the week of February 1, 2021, notices will 
			be sent to inform claimants of the additional 11 weeks of 
			eligibility, in addition to requests to verify employment or 
			self-employment. The notification will include a deadline to provide 
			information to the Department, along with what information may be 
			submitted to meet the employment or self-employment verification 
			requirement.
 
 o Claimants Who Had Exhausted PUA Benefits: PUA claimants who 
			had exhausted benefit eligibility prior to the week ending December 
			26, 2020 may remain eligible under the extension provided in the CAA 
			and will be notified by IDES of the additional weeks added to their 
			claim based on the method the claimant selected to receive 
			correspondence from the Department.
 
 The CAA requires PUA claimants to verify employment or 
			self-employment. During the week of February 1, 2021, notices will 
			be sent to inform claimants of the additional 11 weeks of 
			eligibility in addition to requests to verify employment or 
			self-employment. The notification will include a deadline to provide 
			information to the Department, along with what information may be 
			submitted to meet the employment or self-employment verification 
			requirement.
 
 o New Claimants: The PUA system is undergoing technical 
			changes to move new PUA claimants to pay status and begin the 
			process of verifying wage and employment or self-employment 
			information supplied by the claimant. The CAA also includes a 
			limitation on backdating new PUA claims. Per the CAA, in most cases 
			claimants filing a new PUA claim after December 27, 2020 can 
			backdate to December 6, 2020.
 
 o Documentation Requirements: The CAA includes a new 
			requirement for individuals to submit documentation verifying their 
			prior employment or self-employment. Individuals filing a new PUA 
			claim on or after January 31, 2021 (regardless whether the claim is 
			backdated), are required to provide this documentation within 21 
			days of application or the date determined by IDES. Individuals who 
			applied for PUA before January 31, 2021 and receive(d) a payment of 
			PUA on or after December 27, 2020, are required to provide 
			employment or self-employment documentation, or documentation 
			demonstrating the beginning of employment or self-employment, within 
			90 days of application or the date determined by IDES. These 
			deadlines may be extended if the individual shows good cause, and 
			deadlines will be communicated on verification requests provided by 
			the Department.
 
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            Documentation can include, but is not limited to, 
			paycheck stubs, earnings and leave statements showing the employer’s 
			name and address, W-2 forms when applicable, state or federal 
			employer identification numbers, business licenses, tax returns, 
			business receipts, signed affidavits from persons verifying the 
			individual’s self-employment, letters offering employment, 
			statements or affidavits by individuals verifying an offer of 
			employment, written business plans, or a lease agreement.
 o Overpayment Waivers: IDES has reached out to the U.S. 
			Department of Labor (USDOL) for additional direction on the process 
			of addressing waivers on a case-by-case basis, as required by 
			federal guidance. The Department is in the process of identifying 
			which PUA overpayments are subject to waiver, creating a notice and 
			questionnaire for PUA claimants with an overpayment to request a 
			waiver and supply the information needed to make determinations, and 
			drafting determination notices regarding waivers.
 
 This is a new process provided for in the CAA. The Department is 
			aware this population is seeking quick resolution on any request 
			made to waive an overpayment, and has a set goal of moving through 
			this process in a manner that provides clarity for claimants and 
			allows the Department to efficiently review requests for waiver, 
			while following the federal requirement that each case be reviewed 
			on an individual basis.
 
 Pandemic Emergency Unemployment Compensation (PEUC): The CAA 
			provides an additional 11 weeks of PEUC benefits. However, claimant 
			transition to PEUC will vary based on how and when claimants exhaust 
			eligibility for benefits within the various regular and federal 
			unemployment programs. Transition will be evaluated and determined 
			on a claimant-by-claimant basis, and claimants will be notified of 
			their transitions.
 
 Transition Language Between Programs or with a New Benefit Year:
			The Department’s subject-matter experts are working through the 
			transition language necessary to maintain eligibility for claimants 
			who may exhaust various programs. This involves programming and 
			testing changes within all programs.
 
             
            Extended Benefits (EB): According to unemployment rate data 
			published by the federal government, the Illinois unemployment rate 
			has fallen below the threshold established by law for the additional 
			7 weeks of EB to be available in Illinois. Illinois remains 
			triggered onto the standard 13 weeks of EB, and is available to 
			claimants who have exhausted the allotted 26 weeks of regular state 
			unemployment benefits, the 13 weeks of Pandemic Emergency 
			Unemployment Compensation (PEUC) benefits, and (in some cases) the 
			additional 11 weeks of PEUC benefits established under the CAA. 
			Claimants who received 13 or more weeks of EB will transition to the 
			maximum 11 additional weeks of PEUC.
 Mixed-Earning Unemployment Compensation (MEUC): States have 
			prioritized managing through CAA changes related to existing 
			programs but intend to move quickly to build the program necessary 
			to implement MEUC. The Department will partner with stakeholders to 
			publicize the program, including eligibility requirements.
 
            [Illinois Office of Communication and 
			Information] |