March 24, 2026

An Overview of the PERM Process for Employment-Based Green Cards

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Employers sponsoring a foreign national for permanent residence through the PERM labor certification process must comply with strict recruitment requirements set by the U.S. Department of Labor (DOL). The purpose of PERM recruitment is to confirm that there are no qualified, willing, and available U.S. workers for the offered position. Careful planning and documentation are essential, as errors can lead to audits, delays, or denial.

The process begins with defining the job duties, minimum education and experience requirements, skills required, and work location. Employers then obtain a Prevailing Wage Determination (PWD) from the DOL, confirming the minimum wage that must be offered for the position. Once the wage is issued, recruitment must be conducted, and a PERM must be filed (ETA Form 9089).

For professional positions, required recruitment steps generally include posting a job order with the State Workforce Agency for at least 30 days, placing two Sunday newspaper advertisements, and posting a Notice of Filing at the worksite for at least 10 consecutive business days. In addition, employers must complete at least three alternative recruitment methods from a prescribed list. Additional recruitment methods include advertising on job search websites, radio advertisements, trade shows, on-campus recruitment, and more.

All recruitment efforts must be documented and retained for at least five years in case of a DOL audit. Employers must keep copies of advertisements, proof of posting, resumes received, and lawful, job-related reasons for rejecting any U.S. applicants. U.S. workers may only be rejected if they do not meet the minimum stated requirements, and those requirements must be consistent with normal industry standards.

Once recruitment is complete and the required waiting period has passed, the employer may file ETA Form 9089. Because PERM filings are commonly audited, maintaining a complete and well-organized audit file is critical. Employers considering sponsorship should consult experienced immigration counsel early to reduce risk and ensure compliance.

For guidance on PERM recruitment requirements and employer-sponsored green cards, contact Agarwal Law Group at 703-348-1663 to schedule a consultation.

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