The American Rescue Plan Act (ARPA) represents unprecedented federal investment in early care and education, with new and broader allowances for workforce compensation (H.R. 1319, 2021). The early care and education (ECE) workforce deserve economic dignity, including the resources to care for their own families and children (Sperling, 2019). Yet, wages remain low and poverty rates high among this essential workforce as workers in nearly all other occupations are paid more (McLean, et al., 2021). There is an urgent need to utilize ARPA funding to get much-needed relief in the form of direct cash assistance to ECE workers in recognition of their historic underpayment, their key contribution to the nation’s infrastructure before and during the pandemic, and the financial and psychological toll the pandemic has imposed on these critical workers.
But ARPA funding alone is not enough to make the long-term investments or radical reforms that our ECE system so desperately needs. Since few resources have reached individual early educators over the course of the pandemic, ARPA funding for the ECE workforce could be framed as rapid relief, possible only because of public investment. This acknowledgement can motivate lead agencies to create streamlined channels to provide easy-to-access relief funding to all individual ECE workers now. However, ARPA funding is time-limited, which is leading some decision-makers to exhibit excessive caution when it comes to direct payments to the workforce. Yet, creating barriers to payment and/or leaving workforce support totally at the discretion of individual programs exacerbates structural inequities and disparities within the ECE workforce.
The COVID-19 pandemic has not only revealed child care as a pillar of the national infrastructure, but has also underscored the gross deficiencies and inequities that were pre-existing conditions before the pandemic. Some programs and early educators will weather this crisis, but many others will not, further aggravating unequal access for children and families. Emergency provisions and processes can lay the foundation for the establishment of universal access to early care and education, fair wage standards for this workforce, and certification and data systems that enable assessment of immediate and long-term impacts on the essential ECE workforce.
The child care relief fund should be designed in such a way that it becomes a foundation for public policies and investments to address the underlying systemic deficiencies that have made this sector and its workforce especially vulnerable in this crisis. Ensuring a portion of ARPA funds get directly into the hands of individual workers sets the stage for compensation investments to become a cornerstone of public investment, not an optional use. This precedent could help embed dedicated resources for sustained levels of appropriate wages and benefits in broader ECE reform, fundamentally shifting the paradigm for the way we prioritize and recognize the ECE workforce. The ARPA provides multiple opportunities for lead agencies to address compensation and benefits, while building out mechanisms for getting cash directly to the early education workforce in amounts that go beyond current levels of compensation. In addition to the specific ARPA provisions in the table that follows, the Biden-Harris administration has stated clearly that increasing pay is an appropriate use of funds (The White House, 2021).
We recommend that lead agencies, in partnership with other state agencies, implement the following provisions in support of the early care and education workforce.
Recommendation 1: Ensure federal child care relief funds reach individual early care and education staff in the form of direct cash payments.
States such as New Mexico, North Carolina, and Washington have already used various strategies with previous rounds of federal relief to make sure a portion of funding supplements base levels of compensation (New Mexico Early Childhood Education & Care Department, 2020; The Hunt Institute, 2021; North Carolina Department of Health & Human Services, 2021; ESSB 5092, 2021).
Require a portion of program grants be applied to employee compensation. For example, require that 30 to 50 percent of each grant be applied to compensation increases, including wages and benefits such as retirement contributions. A combination of the following types of strategies to increase wages are recommended uses of ARPA funds:
- Premium pay: Payment for all staff members (including teaching staff, directors, cooks, janitors, and family child care assistants) above their base pay for the duration of the grant or until funds are exhausted. Premium pay is sometimes referred to as hazard or hero pay. We recommend that at a minimum, the size of the increase be the gap between the median state child care worker wage and the living wage for a single adult or at least $3 per hour, whichever is greater.
- Retention and recruitment allowances: A flat rate to be paid one time for current staff or one time at the time of hire for new staff in recognition of service and hardships resulting from the COVID-19 crisis. Ideally, allowance amounts would be no less than $2,400 per person.
- Family child care providers should explicitly be eligible to utilize the above compensation supports for themselves, in addition to providing them for their staff.
Recommendation 2: Ensure health coverage and guaranteed paid leave of at least two weeks for all staff working in regulated early care and education programs.
Provide resources to assist with health insurance premiums, as Washington has determined to do, or guarantee that any COVID-19-related health costs will be covered, as New Mexico has guaranteed (ESSB 5092, 2021; New Mexico Children, Youth & Families Department, 2020a).
Cover at least 14 days of absence per employee due to COVID-19-related needs, which may include vaccination-related leave, quarantine due to exposure or contracting COVID-19, leave to care for a family member affected by COVID-19, or other related reason. Allow programs to submit for reimbursement to cover staff leave taken up until the date the ARPA funds must be obligated, if not covered by any other source of federal funding. California, for example, recently agreed to cover COVID-19-related closure days for home-based providers (Child Care Providers United, 2021).
Recommendation 3: Adjust eligibility requirements for public safety net programs utilized by early childhood personnel until the period when all state ARPA funds related to child care are liquidated.
This strategy would ensure that early educators do not lose valuable assistance as a result of receiving premium pay or retention and recruitment allowances. Wisconsin offers an innovative example: up to $10,000 of direct care workers’ earnings are disregarded when they apply for public assistance programs (Governor’s Task Force on Caregiving, 2020).
Recommendation 4: Prioritize equitable distribution of funding to programs located in communities with the most need, which have been impacted most acutely by this pandemic.
This approach could entail, for example, prioritizing programs in under-resourced areas that do not typically receive public contracts, or states could rely on existing COVID-19 community equity indicators such as risk, impact, and recovery needs. While not specific to ECE, the RACE COUNTS Project in California provides a model for prioritizing an equitable recovery (RACE COUNTS, 2020).
Recommendation 5: Improve systems administration and technical assistance to facilitate accessible, simple application processes.
Too often, access to public programs is designed to screen people out by establishing complex eligibility requirements and application processes and failing to provide information in terms and languages that are easily accessible. Small business owners in communities of color, which describes a large segment of ECE providers, had unequal access to federal COVID-19-related loans and the loan process (Liu & Parilla, 2020). Anecdotally, state advocates and providers have reported that child care providers in need stopped applying for relief because the process was so burdensome.
To the extent possible, lead agencies should draw on existing administrative sources by first auditing data they already have on providers, employees, licensing capacity, etc., before requiring redundant information from individuals.
- Invest in systems that make applying for and reporting on funds streamlined for applicants. For example, create application and reporting forms that auto-fill key information from existing licensing and/or registry systems.
Take the necessary steps to reach all programs and members of the workforce with accessible information regarding eligibility.
- Keep application guidance and procedures brief. In the first weeks of the pandemic, Vermont established a stabilization program in which the guidance was just two pages and the application was streamlined (Vermont Department for Children & Families Child Development Division, 2020).
- Work with local community-based organizations that may be best positioned to reach early education programs and staff in multiple languages.
- Establish multiple channels of engagement with the early education workforce to disseminate information and receive feedback in order to make adjustments if processes are ineffective or challenges arise. New Mexico provides an example of how a lead agency can establish channels for technical assistance and support (New Mexico Children, Youth & Families Department, 2020b). While issuing monthly checks directly to ECE workers through CARES Act funding, New Mexico facilitated workforce engagement by holding phone conference calls with providers and utilized a broad-reaching communications strategy that included regular meetings with community-based organizations to reach home-based provider networks and providers whose primary spoken language is not English.
Increase capacity to audit funding that goes to provider sites, with respect to requirements for workforce compensation and payments. This approach could include channels for ECE workers to report whether they are receiving the compensation and benefit allotments.
Recommendation 6: Establish essential, yet simple data collection protocols to examine the utilization and impact of ARPA funding in order to inform future policies and resource allocation.
Data collection is essential for assessing equitable allocation of resources and correcting future efforts as necessary. As with the application processes above, we urge lead agencies to draw on existing data before requiring redundant information of programs or individuals and to invest in systems to streamline reporting for applicants.
Lead agencies should know how many ECE workers received compensation increases, in what form, what amount, the size of the increase based on pre-grant wages, and what other benefits were received (i.e., health insurance, paid leave, retirement contributions). They should be able to analyze this information by job role, program auspices, zip code, and staff demographics. Key elements for data collection include:
- Current (pre-grant) expenditures on wages and benefits of teaching and non-teaching staff;
- Budgeted and actual expenditures on compensation increases by type, per staff member (e.g., pay premium, retention and recruitment, or retirement contribution);
- Demographics of owners, teaching staff, and non-teaching staff;
- Program auspices; and
- Typical program funding sources (e.g., parent fees, subsidies, public contracts, private philanthropy).
Recommendation 7: Prohibit the use of quality ratings as a determining factor for eligibility to receive ARPA funds or to condition levels of payment.
As programs have not had equitable resources and opportunity to have their foundational program and staffing conditions met, such criteria will only drive existing inequities in which the most under-resourced programs are systematically penalized for having less income and serving families who are also under-resourced.
Child Care Providers United (2021, April 21). Child Care Providers Reach Historic Second Agreement With State On Covid-19 Relief For Providers And Families. Child Care Providers United. Retrieved from https://childcareprovidersunited.org/news/child-care-providers-reach-historic-second-agreement- with-state-on-covid-19-relief-for-providers-and-families/.
ESSB 5092, 2021 Fiscal Biennium, 2021 Reg. Sess. pages 298-302 (Washington 2021). Retrieved from http://lawfilesext.leg.wa.gov/biennium/2021-22/Pdf/Amendments/Senate/5092- S.E%20AMC%20CONF%20H1633.3.pdf.
Governor’s Task Force on Caregiving (2020, September 30). Wisconsin Caregivers in Crisis: Investing in our Future. Wisconsin Department of Health Services. Retrieved from https://www.dhs.wisconsin.gov/gtfc/gtfc-report.pdf
H.R. 1319, American Rescue Plan Act of 2021, 117th Congress (2021). Retrieved from https://www.congress.gov/bill/117th-congress/house-bill/1319/text.
The Hunt Institute (2021, April 9). COVID-19 State Child Care Resources list by State. The Hunt Institute. Retrieved from https://hunt-institute.org/covid-19-resources/state-child-care-actions-covid-19/.
Liu, S., & Parilla, J. (2020, September 17). New data shows small businesses in communities of color had unequal access to federal COVID-19 relief. Brookings. Retrieved from https://www.brookings.edu/research/new-data-shows-small-businesses-in-communities-of-color-had-unequal-access-to-federal-covid-19-relief/.
McLean, C., Austin, L.J.E., Whitebook, M., & Olson, K.L. (2021). Early Childhood Workforce Index – 2020. Center for the Study of Child Care Employment, University of California, Berkeley. Retrieved from https://cscce.berkeley.edu/workforce-index-2020/report-pdf/.
New Mexico Children, Youth and Families Department (2020, March 15). New Mexico Expands Child Care Eligibility, Guarantees Payments for Child Care Providers During Public Health Emergency. New Mexico Children, Youth and Families Department. [Press Release] Retrieved from https://cyfd.org/docs/2020.3.16_Press_Release_Child_Care_Changes-b_.pdf.
New Mexico Children, Youth & Families Department (2020a, March 18). Governor orders agencies to develop child care plan for first responders, key personnel; encourages Medicaid enrollment. CYFD. [Press Release] Retrieved from https://cyfd.org/docs/2020-3-18_Child_Care_Changes_Release.pdf.
New Mexico Early Childhood Education & Care Department (2020b, May 2). New Mexico Launches Incentive Pay Program to Support Child Care Professionals. KRWG Public Media. Retrieved from https://www.krwg.org/post/new-mexico-launches-incentive-pay-program-support-child- care-professionals.
North Carolina Department of Health & Human Services (2021, March 26). COVID-19 Child Care Payment Policies. Retrieved from https://ncchildcare.ncdhhs.gov/Portals/0/documents/pdf/C/ COVID-19_Child_Care_Payment_Policies.pdf.
RACE COUNTS (2020, December 16). COVID-19: Prioritizing an Equitable Recovery for Our Highest-Need Communities. RACE COUNTS. Retrieved from https://www.racecounts.org/covid/covid-statewide/.
Sperling, G. (2019). Economic Dignity. Democracy: A Journal of Ideas, 52. Retrieved from https://democracyjournal.org/magazine/52/economic-dignity/.
Vermont Department for Children & Families Child Development Division (2020, March 19). COVID-19 Child Care Stabilization Payments for Private Tuition Guidance. Vermont Agency of Human Services: Department of Children and Families. Retrieved from https://dcf.vermont.gov/sites/dcf/files/ CDD/Docs/COVID/COVID-Private-Tuition-Payments-Stabilization-Guidance.pdf.
The White House (2021, April 15). Biden-Harris Administration Announces American Rescue Plan Funding to Rescue the Child Care Industry so the Economy Can Recover [Fact sheet]. The White House. Retrieved from https://www.whitehouse.gov/briefing-room/statements-releases/2021/04/15/fact-sheet-biden-harris-administration-announces-american-rescue-plan-funding-to-rescue-the-child-care-industry-so-the- economy-can-recover/#:~:text=Today%2C%20the%20Biden%20Administrat.
Center for the Study of Child Care Employment (2021). The American Rescue Plan: Recommendations for Addressing Early Educator Compensation and Supports. Berkeley, CA: Center for the Study of Child Care Employment, University of California, Berkeley. https://cscce.berkeley.edu/arpa-reccomendations-ece-workforce/.
Prepared by Lea J.E. Austin, Marcy Whitebook, Annie Dade, and Ashley Williams.
We wish to extend our gratitude to the state representatives and advocates who gave their time to meet with us, share their challenges and successes, and provide feedback on iterations of these recommendations, especially our colleagues in Minnesota, New Mexico, North Carolina, Oregon, Vermont, Wisconsin, and Rhode Island.
We also extend many thanks to CSCCE staff members Ana Fox-Hodess, Claudia Alvarenga, Elena Montoya, and Hopeton Hess for their contributions reviewing and assisting with the preparation of this document.
The views presented in this report are those of the authors and may not reflect the views of those acknowledged for lending their expertise or providing input.