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Abstract

In Integrity Staffing Solutions, Inc. v. Busk, the Supreme Court held that post-work security screenings were noncompensable under the FLSA because they were neither the primary activity that the employees were hired to perform nor integral and indispensable to that activity. Following a discussion of the Court's decision, this Comment calls for a reconsideration of what constitutes work in light of modern-day constraints on employee autonomy and issues of workplace fairness.

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