Guides the drafter in producing an updated multi-state anti-harassment policy and compliance implementation memorandum that addresses mandatory training requirements and prior policy deficiencies.
Scanned 9/11/2026
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---
name: draft-updated-anti-harassment-policy
task_id: employment-labor/draft-updated-anti
description: Guides the drafter in producing an updated multi-state anti-harassment policy and compliance implementation memorandum that addresses mandatory training requirements and prior policy deficiencies.
activates_for: [planner, solver, checker]
---
# Skill: Draft Updated Multi-State Anti-Harassment Policy
## 1. Subject-matter triage (only if applicable)
- Treat the policy as a company-wide baseline that must work across all covered jurisdictions, then layer jurisdiction-specific training obligations only where they materially differ.
- Separate what belongs in the governing policy from what belongs in the implementation memo: the policy should state the rules, reporting paths, and training framework; the memo should translate those rules into an operational rollout plan.
- Identify whether any external compliance obligation, settlement, decree, or similar instrument changes content, timing, reporting, or documentation duties, and incorporate those requirements expressly where applicable.
## 2. Failure modes the skill is correcting
- The drafter narrows the policy to sexual harassment and misses broader prohibited conduct, including other protected-class harassment and any required abusive-conduct concept.
- The drafter collapses distinct training regimes into one generic program and fails to differentiate content, duration, frequency, delivery, or audience by jurisdiction or by supervisory status.
- The drafter ignores new-hire timing requirements and writes only to the recurring annual or periodic cycle.
- The drafter omits reporting channels, investigation steps, confidentiality limits, anti-retaliation language, or version-control language needed for an enforceable updated policy.
- The drafter updates the policy in isolation and fails to harmonize it with external compliance obligations or the company’s implementation realities.
- The drafter writes a policy that describes compliance in general terms but does not give HR and leadership an executable rollout, tracking, and documentation plan.
## 3. Legal frameworks / domain conventions that apply
- Multi-state harassment policy drafting requires a jurisdiction-by-jurisdiction comparison of mandatory training and policy elements, including protected categories, abusive conduct, supervisor/non-supervisor distinctions, frequency, format, trainer qualifications, timing, and recordkeeping.
- Anti-harassment policies commonly cover harassment based on protected characteristics, unwelcome sexual conduct, retaliation, reporting, investigation, and corrective action; where applicable, they also address abusive conduct as a separate category.
- New-hire training rules often require completion within a defined window after hire or assumption of duties, not merely at the next scheduled training cycle.
- Some regimes impose different expectations for managers and supervisors than for non-supervisory employees; the policy and memo should preserve that distinction where required.
- External compliance obligations, if any, control over inconsistent internal drafting and should be integrated using the governing source’s terminology and operational requirements.
- Policy version control is a standard corporate convention: state the superseding status of prior policies, the effective date, and the version number.
## 4. Analytical scaffolds
- Start with a source-document inventory and map each document to its role: current policy, jurisdictional requirements, internal procedures, and any external compliance instrument.
- Compare the current policy against each applicable requirement category one by one: scope of prohibited conduct, reporting pathways, investigation mechanics, retaliation protection, training population, timing, delivery, and records.
- If the source set contains more than one jurisdiction, enumerate each jurisdiction first and then assess its specific rule set separately; do not merge distinct rules into a single composite description.
- For each identified gap, connect the gap to the governing source and explain the operational consequence for the employer, such as missed training deadlines, incomplete coverage, inconsistent manager instruction, or documentation risk.
- Draft the policy in stable, employee-facing language, but preserve enough precision that HR can administer it and audit compliance.
- In the implementation memo, convert the legal requirements into action steps: who must do what, in what order, using what tracking mechanism, and by when.
- Where the source documents create overlapping obligations, harmonize them by adopting the stricter operational requirement or by stating the jurisdiction-specific carveout clearly.
- Use controlling authority and source-document citations for every legal proposition or compliance requirement relied on; do not assert a rule without identifying the authority or source for it.
## 5. Vertical / structural / temporal relationships (only if applicable)
- Distinguish company-wide policy language from jurisdiction-specific addenda or training instructions.
- Distinguish supervisory training from non-supervisory training, and distinguish onboarding timing from recurring refresher timing.
- Distinguish reporting, investigation, and remedial action as separate temporal phases.
- If any source document imposes a sequence, deadline, or escalation path, preserve that sequence in both the policy and the memo.
- If version replacement is required, state that the updated policy supersedes the prior version as of the effective date.
## 6. Output structure conventions
- Produce two deliverables: a revised anti-harassment policy and a compliance implementation memorandum.
- The policy should ordinarily include: purpose and scope; definitions of prohibited conduct; examples if useful; reporting channels; complaint intake and investigation; confidentiality and non-retaliation; corrective action; training and acknowledgment; and version/effective-date language.
- The policy should be written as a clean replacement document, not as commentary about changes.
- The implementation memorandum should be advisory and operational, with a clear summary of jurisdiction-specific training obligations, any external compliance obligations, rollout sequencing, tracking and recordkeeping plan, ownership assignments, and immediate remediation steps for existing gaps.
- Organize any advisory discussion so that the most material compliance issues appear first, followed by jurisdiction-specific details and then implementation mechanics.
- Use a concise, professional corporate tone suited for HR policy adoption and executive review.
- Ensure the final files are complete, internally consistent, and ready for conversion to .docx, with the policy as the primary deliverable and the memo as the secondary deliverable.
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