The Treasury Department announced that there will be no enforcement of penalties or fines associated with the beneficial ownership information reporting rule under the existing regulatory deadlines of the Corporate Transparency Act (“CTA”).
Further, they have stated that there will be no enforcement of any penalties or fines against U.S. citizens, domestic reporting companies, or their beneficial owners after the forthcoming reporting rule changes take effect. The Treasury Department will narrow the scope of the rule to foreign reporting companies only.
For more information on this major update and other relevant legislation click here.
Compliance under the CTA is not required at this time and is voluntary. However, additional Federal and State Legislation using the CTA’s BOI reporting requirements and framework are still coming into effect. Click here for more information on this.
This page does not constitute legal advice or providing legal services. This page is merely a general announcement of a new regulation. Nothing contained within this page constitutes a lawyer client relationship between Kemp Klein Law Firm and the reader. The implementation of the Corporate Transparency Act is still in development. Further, a variety of other federal and state laws and regulations may apply to your particular business activities. You may contact your legal counsel if you have specific questions.
Make sure to check out the Legislative Updates section of kkue.com for Important Information and insight on major new legal developments.
Please contact your Kemp Klein Law Firm Attorney or email us at [email protected] if you have any additional questions regarding your company’s reporting obligations or to discuss the process of compliance. Standard Billing Rates will apply.