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Posted: 21/09/2018
The Migration Advisory Committee (MAC) has now published its final report on EEA migration in the UK.
When commissioning the report back in July 2017, the Government asked the MAC to align migration policy with the Government’s industrial strategy. The broad aim of the industrial strategy is to deliver a highly productive, innovative economy providing a higher quality of life for all residents of the UK.
The MAC’s report, whilst making some welcome recommendations, falls short of meeting the needs of all UK businesses in the post-Brexit era. It proposes a number of restrictions that will almost certainly have a negative impact on the ability of key sectors to address staff shortages. According to the Institute for Public Policy Research, 75 per cent of EU nationals currently in the UK would be ineligible under the proposals.
It is important to note two points regarding the MAC’s recommendations:
If the UK’s future migration policy does not form part of the exit negotiations then it is expected that the MAC’s recommendations will most likely form part of the government’s white paper which sets out the post-Brexit immigration system, due to be published shortly.
Penningtons Manches’ immigration team submitted a response to the MAC’s call for evidence. The response was based on the results of a survey, which was completed by a range of businesses. The findings concluded that simply bringing EEA nationals under the current Points Based System (PBS) would not provide an immediate solution to businesses. Minimum salary levels, skill level and the administrative burden of Tier 2 were amongst some of the issues cited.
The MAC report, whilst proposing the extension of the PBS to EEA nationals, also warns that the criticisms of the administrative burden should not be ignored.
The main recommendations made by the MAC are as follows:
The MAC states that currently most self-employed workers from within the EEA are in low-skilled roles. The main routes for self-employed migrants under the PBS are Tier 1 (Exceptional Talent) and (Entrepreneur). The MAC states that they do not feel able to make recommendations on how this scheme should be changed if self-employed workers from the EEA were to be brought within it. The lack of any proposed route for self-employed EEA nationals coupled with the end of free movement could have disastrous impact if no provision is made for them in the government’s white Paper.
The MAC makes the following recommendations on Tier 2 which is the main work permit route:
The MAC does not suggest a route for lower skilled workers. Instead it states that there is likely to be a continued flow of low skilled migrants through the family route. However, it suggests that if the government want to “provide a safety valve for the employers of low skilled workers” then they suggest the following routes:
It is clear from the MAC’s report that its recommendations are designed to favour the highly skilled over those with lower skills. In addition, while the report highlights the impact of EEA workers as being largely positive, it does not recommend EEA nationals be treated more favourably than non-EEA nationals. This is something that has also been repeated by the Prime Minister and is disappointing for many employers who feel that they still need time to prepare for the loss of free movement.
What businesses need is clarity. It remains to be seen what the government’s response to the MAC’s recommendations will be and what additional information is published in the white paper. However, some preferential access for EU workers may well be offered by the government in exchange for post-Brexit participation for the UK in the single market.
For further information, please contact Pat Saini, Hazar El-Chamaa or Penny Evans.
Email Pat
+44 (0)20 7457 3117
Email Hazar
+44 (0)20 7457 3194
Email Penny
+44 (0)20 7753 7716