Blog Post

The Latest Developments on Beneficial Ownership

Michael Christians • September 29, 2023

Under the Corporate Transparency Act, beginning January 1, 2024, corporations, LLCs, and other business entities created by a filing with a Secretary of State will be required to report information about their beneficial owners directly to the Financial Crimes Enforcement Network (FinCEN). 


On September 18th, FinCEN issued a small entity compliance guide and FAQs to help businesses understand and comply with this new reporting requirement. Those resources can be found here:


Under the current rule, existing companies (those created or registered to do business before January 1, 2024) have until January 1, 2025, to file their beneficial owner information with FinCEN. New reporting companies (those created on or after January 1, 2024) must file their information within 30 days. However, on September 28th, FinCEN published a proposed rule that would extend to 90 days the deadline for new reporting companies.


It is important to note that we still do not have a proposed rule from FinCEN as to how this direct reporting requirement for businesses will affect a financial institution’s obligation to collect beneficial ownership information at the time of account opening. Stay tuned to Michael Christians Consulting, LLC for future developments! 

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