Revised December March 14, 2025
Legal References:
The Paid & Unpaid Employment - Overview section includes:
Employment, or work, means to engage in any legal, income generating activity which is taxable under the United States Tax Code or which would be taxable with or without a treaty between an Indian Nation and the United States. Work provides the best opportunity for families to raise their income and stabilize their family. Helping participants find permanent, unsubsidized employment means additional income for families and is the goal of the WorkFirst program as defined in WAC 388-310-0200.
There are several different ways that WorkFirst staff may learn about new employment. The participant may report the change verbally (during a conversation or a voicemail), or in writing (e.g. turning in a wage stub, employer statement, reporting it on a change of circumstance form or Eligibility Review) or Case Managers may learn of a new job through a WorkFirst partner in an eMessage. In all cases, the income must be budgeted in ACES and staff must verify the hours.
Employment can be part-time (31 hours per week or less) or full-time (32 hours per week or more). It comes in a variety of forms, including:
When a participant has 20 hours of unsubsidized employment (or 30 hours for a two-parent family) this will meet the core activity requirement. For two-parent families or single parents with no children under six years old, discuss with them any benefit of adding additional activities to meet the strengthened participation requirements. See WFHB 1.2.2 What are the WorkFirst participation requirements? for additional information about stacking an additional hours in the participant's Individual Responsibility Plan (IRP) when possible.
Unlike every other type of countable WorkFirst activity, employment hours are counted and verified using the TANF prospective budgeting rules and collected from ACES 3G. This means Case Managers don't need to request actual hours of employment each month, however, they must verify employment when required (see the Employment Hours Coding Desk Aid for additional details).
To determine financial eligibility for TANF, CSD Eligibility staff request wage and hour verification at application, eligibility review, mid-certification review or when hours are decreasing (before increasing benefits). Verification is not required for job starts, so CSD Eligibility staff can update the new reported income using just the client’s statement. See section 8.1.13 Verifying Job Starts - Policy in Practice explaining how employment hours must be verified when a participant starts a job. Rules for financial eligibility budgeting can be found in the EAZ Manual chapters Income – Effect of Income and Deductions on Eligibility and Benefit Level and Income Special Types.
Employment hours and income must be correctly entered onto the ACES 3G Earned Income Screen. Once employment hour data for the ongoing month is entered into ACES 3G and verified:
Career Scope service activities connect participants to the labor market. It provides avenues for participants to move toward economic stability as soon as possible. The initial job, however, may be entry-level, temporary or part-time. This means it is important to connect participants with post-employment services options (reserved for those working 20 hours per week or more) to find or train for better jobs.
WorkFirst staff must verify employment hours for new jobs before the hours can count towards participation. As mentioned in 8.1.2 Where do Employment Hours Come From?, prospective budgeting rules don’t require verification when a participant gets a job. WorkFirst staff are responsible to verify employment hours.
If CSD eligibility staff first learn of a new job, they record wage and hour information, often based on the participant's statement, into ACES 3G. If the participant remains eligible for cash assistance, Case Managers will learn about changes in employment hours, including the start of a new job, via their Caseload Management Report (CLMR) Section #7 “Clients Where Employment Hours Have Changed”. Once WorkFirst staff learn of the change, they contact the participant to update their IRP and confirm that the employment hours have been verified - see more in section 8.1.13 Verifying Job Starts - Policy in Practice.
If the Case Manager determines the participant started a new job, it’s time to update the IRP:
Once employment hours have been verified, the coding in ACES 3G will need to be updated with the correct valid value and to adjust the hours if appropriate. CSD staff can find additional information in the CSD Procedure Manual – Communication to Financial from Social Services for additional information. CSD Eligibility staff entering the employment hours into ACES 3G will adjust wages and hours, as needed, and update the verification valid value on the ACES 3G Earned Income Screen to affect the ongoing benefit month.
Updating historic employment hours
To record the historical employment hours, after employment is verified and the ongoing month is updated, the worker will go back into a minimum of 2 historical months (unless the employment start date was less than 2 months ago). The worker will update the historical ACES 3G Earned Income screens using:
This process allows the employment hours to count for WorkFirst participation in the historical months.
Reminder: Historical hours can only be entered once verification of employment hours are received.
Any source, including verbal, written, and electronic statements, can be used to verify employment hours if it meets the rules for evaluating verification in WAC 388-490-0005, which requires verification to:
The Acceptable Forms of Verification Chart in the EAZ Manual has a suggested list of reliable sources of verification for income.
When using a verbal employer statement, WorkFirst staff must document in eJAS the participant's employment hour information, as well as the contact's name, title, phone number and the date of contact.
Temporary employment is a paid, unsubsidized job lasting 30 days or less. Examples include temporary employment agencies (such as Manpower, Labor Ready, etc) and casual labor (such as odd jobs for landlord, friends and relatives) or other employers offering temporary employment.
Temporary employment can be part-time (31 hours or less per week) or full-time (32 hours per week or more). In either case, there is an estimated employment end date of 30 days or less and the employer does not consider the participant a permanent full-time or part-time employee.
Employment Security Department (ESD) releases participants from job search to engage in temporary employment. In the past these have been counted as excused absences. However, as long as the temporary employment hours are verified and documented, they will count as employment. Temporary employment hours for federal reporting purposes are recorded from the verified employment hours entered onto the ACES 3G Earned Income screen.
At the beginning of each month, ESD will send to DMS Temporary Employment Tracking Logs listing the verified temporary employment hours for each participant who reported temporary employment for the previous month.
WorkFirst staff will enter these verified temporary employment hours on the ACES 3G Earned Income screen for the historical month in which the employment occurred using the historical entry of hours method. For more information on the historical entry of employment hours, please refer to WFHB section 8.1.4 How do I verify employment for job starts.
For more information on ESD's temporary employment process, please refer to WFHB section 4.1.8 What is Temporary Employment and how is it recorded?
As shown in the chart below, these are some of the legal conditions under which a job is not appropriate, depending on whether the job is paid, unpaid, and/or subsidized.
A participant cannot be required to accept a job which ... | |
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Is paid or unpaid and |
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Is paid and |
Same as above, plus:
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Is On the Job Training (OJT) or subsidized and |
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When thinking about WorkFirst, remember to keep the importance of work in mind.
Employment provides the best opportunity for families to raise their income and leave poverty.
Those who work always have more income than if they receive only a TANF cash grant.
Parents have the primary responsibility for supporting their children. Participant and the state share responsibility for helping families leave welfare. Participants are responsible for moving quickly into jobs. The state is responsible for helping participants find and keep a job, and for collecting child support.
Support is available to help participants become and stay employed, for example health care insurance and child care that participants can access and afford.
The contracted partner agencies that share responsibility for WorkFirst will work with employers and other local partners to move families into self-supporting work.
Washington State welfare reform is based on a "work first" model, and on the conviction that everyone who can work should work, by immediately participating in Career Scope activities or employment. However, many of the families served through WorkFirst have barriers to employment and are best served through other referral pathways.
Participants will often start with low-wage, temporary or part-time jobs and may continue to qualify for WorkFirst cash assistance. Others are in college work-study or in subsidized employment - temporary jobs that won't last. Any job is a start that can give participants the work history and references they need to obtain better employment. Still, there are things to keep in mind for participants who are employed, but in jobs that won't last long enough or pay well enough for a successful WorkFirst exit.
There are two basics to review with these participants while building their IRPs:
Individual circumstances will vary and affect participation options. A person in subsidized employment may be focusing on resolving issues as his or her additional activity, and moving to Career Scope activities as the situation improves. A person in college work study or who is limited-English proficient may be concentrating on their studies.
Paid college work study is considered employment. The number of hours a participant is working in a federal or state work study count toward meeting the core activity requirement. Work study less than 19 hours per week must be stacked with other core activities (see stacking activities section).
The colleges are able to approve between 1 and 19 hours per week of work study. This will assist participants in meeting their core activity requirements. For example, a participant may be completing vocational education training that is 26 hours per week. The college can add 6 or more hours of work study to help the participant meet the goal of 32 - 40 hours per week of participation. The strengthened participation requirements in WFHB 1.2.3 don’t apply to work study students as long as they meet these requirements.
AmeriCorps national service programs, such as VISTA or AmeriCorps, provide a stipend living allowance to program participants (more commonly referred to as members). For the purposes of WorkFirst, the stipend is treated as salaried employment (not self-employment) and you code it as PT or FT depending on the number of hours the person works each week.
AmeriCorps/VISTA employment typically lasts for nine to 12 months, is normally full-time and result in educational award for teens or parents who successfully complete the program. Members will obtain marketable soft skills, job skills, a good source of income, and work experience. AmeriCorps and Vista programs can be an effective way for parents and teens to achieve self-sufficiency. See EAZ 388-450-0045 for information about how to budget AmeriCorps/VISTA earnings.
ESD may authorize paid work experience for participants in many areas of the state, funded by Title 1 of the Workforce Innovation and Opportunity Act (WIOA). Participants’ WIOA work experience payments will impact financial eligibility for CSD benefits and count for WorkFirst participation.
WIOA paid work experience is considered employment for the purposes of the WorkFirst program and therefore must also be added in ACES 3G. WorkFirst staff will code WIA paid work experience participation under the PT or FT eJAS component code. As employment, there is no FLSA maximum hours for WIA paid work experience and staff will not need to enter actual hours of participation each month.