In a move that, if allowed to go into effect, could force companies across the United States to tear up existing contracts, the U.S. Federal Trade Commission (“FTC”) approved a Final Rule April 23, 2024, effectively barring any person from entering into a non-compete agreement or clause with most U.S. workers, subject to certain limited exceptions. The FTC intends the Final Rule to go into effect 120 days after it is published in the Federal Register (the “Effective Date”), but a number of legal challenges have been filed against the Final Rule, and thus, effectiveness may be delayed.
Currently laws and regulations on non-compete agreements vary from state to state, and are largely banned in California. This Final Rule, if enacted, would create a baseline federal policy for all U.S. companies. While our team continues to analyze the language and potential effect of the 570-page Final Rule, below are some of our initial observations.
The Final Rule provides that it is an unfair method of competition for persons to, among other things, enter into non-compete clauses with workers, and doing so is a violation of Section 5 of the Federal Trade Commission Act. More particularly:
Given the potential sweeping effects that the Final Rule may have, all businesses should begin reviewing their existing agreements with their workers to assess whether such agreements and/or provisions will be deemed unenforceable non-competes under the Final Rule after the Effective Date and whether they are required to provide notice to such workers by that Effective Date. Some employers may consider entering into a non-compete agreement with “senior executives” prior to the Effective Date, but these should work with counsel to craft them appropriately; the Final Rule does not invalidate California (or any other state’s) laws to the extent they are more restrictive than the Final Rule.
The takeaways in this article are intended to cover only a portion of the Final Rule. Our team will continue to monitor the Final Rule and any legal challenges that may follow, and will provide further information as released that may help our clients understand and navigate the nuances of the Final Rule.
For more information, please contact our team at Procopio to learn more about how the Final Rule may impact you or your business. For additional information, please review the Final Rule Fact Sheet.
Patrick Ross, Senior Manager of Marketing & Communications
EmailP: 619.906.5740
Suzie Jayyusi, Events Planner
EmailP: 619.525.3818