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If you’re a business hiring an independent contractor from abroad to temporarily work for your company in the Netherlands, they must register at the reporting desk for posted workers. This reporting requirement is part of the Terms of Employment Posted Workers in the European Union Act (WagwEU) As the client, you must verify whether the independent contractor has registered (correctly).
What does the WagwEU reporting requirement entail?
Many businesses are familiar with the reporting requirement for posted workers. However, certain categories of independent contractors also have a (limited) reporting obligation. The purpose of this requirement is to ensure that independent contractors work under safe, healthy, and fair conditions in the Netherlands. This ensures compliance with the correct Dutch employment conditions and combats unfair competition.
If an independent contractor comes from one of the EU countries, Norway, Iceland, Liechtenstein, or Switzerland to carry out a temporary assignment for a Dutch client, with or without an intermediary, they must, in principle, report before starting the assignment. This obligation only applies to independent contractors working in certain sectors: construction, cleaning, food industry, metal, healthcare, window cleaning, or agriculture and horticulture. If an independent contractor hires another foreign company to carry out the assignment in the Netherlands, then the independent contractor is the client and is responsible for checking the required registration, not the Dutch company.
In some cases, an annual report may be sufficient. The independent contractor can opt for this if they:
- Work in a sector subject to the reporting requirement;
- Are located within 100 km of the Dutch border;
- Have carried out at least three assignments in the Netherlands in the previous calendar year or made a valid report in the year before; and
- Are registered in the trade register, or a comparable register in a neighboring country.
Failure to comply with the mandatory registration can result in a fine from the Labour Inspection for both the independent contractor and the Dutch client. The client must ensure the report is correctly made.
When hiring independent contractors from abroad, Dutch clients should be aware of the reporting requirement. Should you have any questions regarding this matter, please do not hesitate to reach out to us!
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