On March 3, 2025 we posted BOI Was Back But Treasury Now Says That It's Off Again - Is This Any Way to Run a Country? where we discussed that the Department declared that it would suspend enforcement of the CTA and the associated Beneficial Ownership Information (BOI) reporting requirements for domestic companies and U.S. citizens. This shift represents a major departure from the original intent of the law, which was designed to combat illicit financial activities through increased transparency of both domestic and foreign entities.
Key Developments
- Enforcement
Pause: The Treasury Department will not enforce CTA
reporting requirements against U.S. citizens, domestic entities, and their
beneficial owners.
- Scope
Reduction: Treasury intends to issue a
proposed rule limiting the CTA's application to foreign reporting
companies only.
- Deadline
Extension: FinCEN previously announced a
revision of beneficial ownership information reporting deadlines, with a
new deadline to be set in an upcoming interim final rule.
Support for the Change:
- Treasury
Secretary Scott Bessent views this as a "victory for common
sense" aligning with efforts to reduce regulatory burdens on small
businesses.
- The
Cato Institute's Brent Skorup suggests Treasury may rely on statutory
discretion to exempt most small businesses and nonprofits.
Criticism and Concerns:
- Limiting the CTA to foreign entities registered to do business in the U.S. creates a potential loophole, as non-U.S. parties could not register their entities in the U.S.
- Transparency advocates argue this change could make the U.S. a haven for illicit financial activity and may violate global anti-money laundering standards.
- Some
legal experts, like Chye-Ching Huang of the Tax Law Center, contend that
Treasury lacks the authority to not enforce a law enacted by Congress.
- Critics,
including Senator Ron Wyden, view this as potentially benefiting entities
seeking to hide illicit activities.
Ongoing Uncertainties
- Legal
Status: The CTA remains in effect, despite
Treasury's non-enforcement stance, creating potential risks for
non-compliant entities.
- Information
Clarity: There are concerns about the
consistency and accessibility of information regarding these changes, with
announcements coming from different sources within Treasury.
- Future
Developments: The situation remains fluid, with
potential for further legal challenges, congressional action, or
additional regulatory changes.
This shift in CTA enforcement represents a significant
policy change with wide-ranging implications for corporate transparency and
anti-money laundering efforts in the United States.
Need Help Filing Your BOI Report?
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