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Corporate Transparency Act Beneficial Owner Information (BOI) Reporting 

“No matter how laudable its goals, Congress’s actions must abide by our Constitution. This is in the public’s best interest….Indeed, “it is always in the public interest to prevent a violation of a party’s constitutional rights.”….The Court has determined that the CTA and Reporting Rule are likely unconstitutional for purposes of a preliminary injunction.”

Texas Top Cop Shop, Inc. et al. v Garland et al., Dec. 3, 2024, E. Dist. Texas, Sherman Div., citing  Jackson Women’s Health Org. v. Currier (5th Cir. 2014)

 

Client Update and Forms Request:

Warning:  The only official website is the FinCEN Beneficial Owner Information website: https://fincen.gov/boi.

There is no government fee for filing a BOI report. For single-owner small businesses, filing may be relatively simple.

Beware of websites with official-sounding domain names, incorporating “USA”, “BOIR” or “FinCEN” in their name, and using seals or emblems that are deceptively official-looking. Those websites are not government websites, and are offering BOI report filing services for a fee, often with little added value. Websites that are not law firms are not subject to the same confidentiality and privacy obligations that apply to New York law firms. Some of

CTA BOI Client Alerts:

“No matter how laudable its goals, Congress’s actions must abide by our Constitution. This is in the public’s best interest….Indeed, “it is always in the public interest to prevent a violation of a party’s constitutional rights.”…The Court has determined that the CTA and Reporting Rule are likely unconstitutional for purposes of a preliminary injunction.” 

 – Texas Top Cop Shop, Inc. et al. v Garland et al., Dec. 3, 2024, E. Dist. Texas, Sherman Div. No. 4:24-cv-00478, citing  Jackson Women’s Health Org. v. Currier (5th Cir. 2014)

Read Judge Mazzant’s opinion and injunction order here: Opinion and Order (Injunction) in Texas Top Cop Shop, Inc., et al. v. Garland, et al., Dec. 3, 2024, E. Dist. Texas, Sherman Div. No. 4:24-cv-00478

Read Judge Burke’s opinion and injunction here: Memorandum Opinion, NSBU v. Yellen, 721 F. Supp. 3d 1260, 1271 (N.D. Ala. 2024).

Additional Resources:

FinCEN Beneficial Owner Reporting Small Entity Compliance Guide

Corporate Transparency Act

31 U.S.C. 5336 (Beneficial ownership information reporting requirements)

Regulations:

PDF: 31 CFR 1010.380 (excerpt from Beneficial Ownership information Reporting Requirements Final Rule)

Official Codification of Regulations (eCFR)

FinCEN website to obtain a FinCEN ID Application for Individuals

If you have an entity formed by Schwartz LLC, you should receive a message from our team shortly. You may also contact our Corporate Transparency Act team by emailing: CTA@schwartzglobal.com.

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