FinCEN will share data from BOI reports with other agencies beginning Jan. 1, 2024
High Contrast
FinCEN will share data from BOI reports with other agencies beginning Jan. 1, 2024
FinCEN published the first set of guidance on these rules including frequently asked questions
Take actions to take to address risk and compliance for BOI reporting
Starting Jan. 1, 2024, new rules under the U.S. Corporate Transparency Act (CTA) will require certain companies formed or authorized to do business in the U.S. to report information on their beneficial owners and the creators of these entities to the U.S. Department of Treasury’s Financial Crimes and Enforcement Network (FinCEN).
FinCEN has announced that it intends to share data from Beneficial Owner Information (BOI) reports with other agencies to protect the U.S. financial system from abuse by money launderers and other criminals and to unmask shell companies and other financial crimes. With less than a year before reporting begins, compliance officers, legal counsel, and tax leaders should be evaluating the impact and relevance of these rules on their respective organizations as well as their readiness to comply.
Below are the top 10 actions that your organization can take now to address risks and challenges for BOI reporting:
Evaluate your structure and document exemptions
Identify entities in your structure that are subject to BOI Reporting, flag entities that qualify for 1 of 23 exemptions, and register reporting entities on FinCEN’s BOI portal.
Capture and review information from existing documentation, such as W-8s, self-certification forms, anti-money laundering and know-your-customer data checks, and subscription agreements, that you may already have on file for beneficial owners and automate processes for collecting, validating, and storing BOI-relevant fields. Modify onboarding systems and processes as needed to collect and validate fields for BOI reportable data.
Review, enhance, and leverage existing documentation
Identify and remediate compliance gaps
Perform readiness assessments to identify and remediate any gaps in your existing systems and processes for complying with BOI reporting requirements.
Review and update agreements with third parties including fund administrators, legal counsel, accountants, and other service providers relied on for CTA related tasks such as assistance with identifying or capturing reportable data, to confirm roles and responsibilities for BOI reporting and to remediate any potential gaps.
Update third party agreements
Identify reportable investors or owners
Perform due diligence on individual and entity investors and customers as required under rules implementing BOI reporting and identify any reportable investors or account holders.
Update policies, procedures, subscription agreements, ISDAs, etc. as needed for compliance with CTA.
Revise policies and procedures
Track notification and reporting deadlines
Update tax and regulatory filing calendars to include BOI reports and develop a process for tracking due dates and submitting any required BOI reports.
Designate individuals or departments as process owners to oversee and monitor global compliance with CTS and develop a comprehensive training program for affected business units and resources.
Develop a governance structure and training program
Inform investors and account holders
Develop a communications plan to raise awareness both internally and externally of CTA’s BOI reporting requirements and its impact on your organization, investors, and account holders.
Develop a process for ongoing monitoring of the rules and any changes in reporting deadlines and for timely dissemination of information.
Monitor changes in local laws
On March 23, 2023, FinCEN published the first set of guidance on these rules including frequently asked questions, key filing dates, and an informational video. This information is helpful, but key operational challenges for onboarding and reporting functions were not addressed. Leading questions or challenges for your organization to consider are:
Timely updates and analysis of changing federal, state and international tax policy and regulation.
Stay updated on tax planning and regulatory topics that affect you and your business.
Experienced tax professionals track regulations, policies and legislation to help translate changes.