Important BOI Update!
The requirements for filing Beneficial Ownership Information (BOI) reports under the Corporate Transparency Act (CTA) have shifted yet again. As of December 26, 2024, BOI filing is not currently required, following an order from the Fifth Circuit Court of Appeals that restored an injunction against enforcing the CTA. However, this situation remains fluid and could change on short notice.
The requirements for filing Beneficial Ownership Information (BOI) reports under the Corporate Transparency Act (CTA) have shifted yet again. As of December 26, 2024, BOI filing is not currently required, following an order from the Fifth Circuit Court of Appeals that restored an injunction against enforcing the CTA. However, this situation remains fluid and could change on short notice.
Here’s a quick summary of recent developments:
- December 3, 2024: A Texas federal court issued a nationwide injunction, halting enforcement of the CTA.
- December 23, 2024: The Fifth Circuit temporarily stayed the injunction, effectively reinstating BOI filing requirements with an extended deadline.
- December 26, 2024: The Fifth Circuit reversed its temporary stay, restoring the original injunction. BOI reporting is no longer required for now.
While filing is not currently mandated, reporting entities are encouraged to keep the necessary information ready in case requirements are reinstated. FinCEN has also stated that companies may voluntarily submit BOI reports through their online portal.
The BOI filing landscape continues to evolve rapidly, and further guidance or updates may be issued soon. We will keep you informed as the situation develops. For now, it’s essential to stay prepared and monitor updates closely.
