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Crucial BOI Reporting Reminder

In a prior communication dated February 19, 2025, it was announced that the federal district court has lifted the final nationwide injunction affecting beneficial ownership information (BOI) filing mandates. Consequently, FinCEN has reinitiated BOI reporting obligations.

For organizations established prior to 2024, the newly mandated reporting deadline is now March 21, 2025. It is important to note that this revised deadline does not apply to companies established post-2023. For entities formed on or after January 1, 2024, the deadline remains 90 days from the date of formation, while entities formed on or after January 1, 2025, have a 30-day timeframe from the date of formation to submit their reports.

Failure to comply with these reporting requirements may result in stringent penalties, including a civil penalty which was recently inflation adjusted to $606 per day and a criminal penalty of up to two years imprisonment and/or a fine of $10,000. Despite existing pending legislation in Congress aimed at extending the filing due date, there is no guarantee of its enactment. Furthermore, although FinCEN has indicated its intention to consider extended deadlines or amended reporting requirements for low-risk entities, including many U.S. small businesses, there is no certainty regarding implementation.

For those yet to fulfill BOI reporting obligations, the March deadline is approaching swiftly. Please reach out to our office for a consultation to address your specific circumstances.

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