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Upcoming Deadline for Beneficial Owne... Effective January 1, 2024, the Corporate Transparency Act (the “Act”) requires many U.S. businesses to...Blog
February 28, 2025 • 2 min read
On February 27, 2025, the Financial Crimes Enforcement Network (FinCEN) announced that it will not impose fines, penalties, or other enforcement actions against companies for failing to file or update beneficial ownership information (BOI) reports under the Corporate Transparency Act (CTA) by current deadlines.
This pause will remain in effect until a forthcoming interim final rule is issued and the new relevant due dates have passed.
This announcement reflects the Treasury Department’s commitment to reducing regulatory burdens while ensuring that entities posing significant law enforcement or national security risks continue to be monitored.
Businesses that were preparing to meet upcoming BOI reporting deadlines under the CTA now have additional time to comply. While FinCEN has temporarily halted enforcement, companies should remain aware of their obligations and prepare for the new deadlines once they are established.
If your business has not yet filed a BOI report, this delay provides an opportunity to review compliance requirements, gather necessary information, and ensure readiness for future reporting obligations. If your business has already submitted its BOI report, no further action is required at this time.
Companies should also be aware that FinCEN may make additional modifications to reporting requirements through the upcoming rulemaking process. Those with concerns about the impact of BOI reporting on their operations may consider participating in the public comment process once it opens.
For companies with two or fewer owners, we are offering flat-fee services that include determining your reporting obligations and assisting with filings. For entities with multiple owners or multiple companies, we are happy to discuss customized fee arrangements.
Should you have any questions about your obligations under the Act or need assistance with BOI filings, please contact us at your earliest convenience.
For additional information on the Act, or to proceed with your own filings, please visit the FinCEN website.
Our attorneys will provide a collaborative, thoughtful approach to your legal needs. We look forward to connecting with you.