
As you may have heard, in 2021, Congress passed the Corporate Transparency Act (CTA) on a bipartisan basis. This law creates a new requirement to file a beneficial ownership information report (BOIR) as part of the U.S. government’s efforts to make it more difficult for “bad actors” to hide or benefit from their ill-gotten gains through shell companies or other opaque ownership structures.
On January 1, 2024 the Financial Crimes Enforcement Network (FinCEN), a bureau of the U.S. Department of the Treasury, launched the BOI E-Filing System website for reporting companies to submit their BOIRs online. At a high level, the CTA requires the filing of reports with FinCEN disclosing ultimate beneficial owners, control persons and certain other individuals of in-scope entities. While there are several categories of exemptions (mostly for highly regulated entities) many entities will need to file, including inactive entities formed after January 2, 2020.
IF YOUR COMPANY STRUCTURE ISN’T COMPLICATED, REPORTING IS QUICK AND EASY!
In closing, it’s important to note, as specified in the Corporate Transparency Act, a person who willfully violates the BOI reporting requirements may be subject to civil penalties of up to $500 for each day that the violation continues. That person may also be subject to criminal penalties of up to two years imprisonment and a fine of up to $10,000. Potential violations include willfully failing to file a beneficial ownership information report, willfully filing false beneficial ownership information, or willfully failing to correct or update previously reported beneficial ownership information.
We strongly encourage you to visit the BOI E-Filing System website today and file your report prior to the January 1, 2025 deadline.
YOU ARE NOT ALONE!
If you have questions regarding the applicability of the CTA to your entities, whether any entity is exempt from the CTA, or how to determine who are the beneficial owners of your entity, please contact your usual ISPP attorney or paralegal, or info@irelandstapleton.com to discuss possible engagement with our firm.
Ireland Stapleton WILL NOT make these filings or updates unless you engage us to do so.