
FDNS will randomly select such employers for multiple site visits. Each compliance review focuses on one petition and beneficiary. Why some employers receive repeated site visitsĮmployers might receive more than one site visit if they petition for more than one beneficiary. The immigration officer may also may ask for more information relevant to the petition.ĭuring the site visit: Employers should immediately provide all readily available documents and information that the immigration officer requests.Īfter the site visit: Employers should provide all additional information that USCIS requests in any follow-up communication. How employers should prepare for a potential site visitīefore a site visit: Employers should be prepared to present any information originally submitted with the petition.

Interview personnel to confirm the beneficiary’s work location, physical workspace, hours, salary and duties and Review public records and information on the petitioning organization Ĭonduct unannounced site visits to where the beneficiary works Verify that the petitioning organization exists Verify the information, including supporting documents, submitted with the petition Officers occasionally conduct multiple site visits if they need more information to complete a compliance review. Officers record their observations on a Compliance Review Report. FDNS also conducts site visits for all religious worker petitioners before adjudication. L-1 nonimmigrant intracompany transferee executive or manager visas (after adjudication) andĮB-5 immigrant investor program visas (before adjudication)įDNS randomly selects petitioners for site visits after USCIS adjudicates their petitions. H-1B nonimmigrant temporary visas (after adjudication) Special immigrant religious workers petitions (before and after adjudication) Types of petitions subject to site visitsĪs of fiscal year 2019, FDNS conducts compliance-review site visits on petitions for: When this happens, the FDNS immigration officer will complete the compliance review by using all available information and will document the circumstances of around ending the site visit. FDNS immigration officers will end a site visit if a petitioner or beneficiary expresses an unwillingness to participate. Participation in the compliance review process is voluntary. Participating in a site visit is voluntary, but strongly encouraged

This process includes reviewing the petition and supporting documents, researching information in public records and government systems, and, where possible, interviewing the petitioner and beneficiary through unannounced site visits.

Immigration officers conduct compliance reviews to ensure that petitioners (employers) and beneficiaries (job applicant or other potential employee) follow the terms and conditions of their petitions. Under this program, immigration officers in the Fraud Detection and National Security Directorate (FDNS) make unannounced site visits to collect information as part of a compliance review.
#Site visits verification#
USCIS started the Administrative Site Visit and Verification Program in July 2009 as an additional way to verify information in certain visa petitions.
