License Exam Services, LLC.

  • LOGIN
  • SIGN-UP
  • MY CART
    No products in cart.
  • WELCOME
  • OUR PRODUCTS
  • SERVICES
    • Application Processing
    • Credit Reports
    • License Activation Packages
    • Exam Prep Classes
    • Pre & Post License Consultation
  • EXAM BOOKSTORE
    • Books by Category
    • Exam Book Sets
    • Single Books
  • ABOUT US
    • Our Team
    • Customer Testimonials
    • FAQs
  • RESOURCES
  • BLOG
  • CONTACT
  • Home
  • Blog
  • All
  • BOI is Officially Dead

BOI is Officially Dead

by Robin / Thursday, 27 March 2025 / Published in All

https://fincen.gov/boi

The Beneficial Ownership Information (BOI) requirement is officially dead. Posted from the FINCEN website, here is the press release.

Immediate Release

March 21, 2025

WASHINGTON––Consistent with the U.S. Department of the Treasury’s March 2, 2025 announcement, the Financial Crimes Enforcement Network (FinCEN) is issuing an interim final rule that removes the requirement for U.S. companies and U.S. persons to report beneficial ownership information (BOI) to FinCEN under the Corporate Transparency Act.

In that interim final rule, FinCEN revises the definition of “reporting company” in its implementing regulations to mean only those entities that are formed under the law of a foreign country and that have registered to do business in any U.S. State or Tribal jurisdiction by the filing of a document with a secretary of state or similar office (formerly known as “foreign reporting companies”). FinCEN also exempts entities previously known as “domestic reporting companies” from BOI reporting requirements.

Thus, through this interim final rule, all entities created in the United States — including those previously known as “domestic reporting companies” — and their beneficial owners will be exempt from the requirement to report BOI to FinCEN. Foreign entities that meet the new definition of a “reporting company” and do not qualify for an exemption from the reporting requirements must report their BOI to FinCEN under new deadlines, detailed below. These foreign entities, however, will not be required to report any U.S. persons as beneficial owners, and U.S. persons will not be required to report BOI with respect to any such entity for which they are a beneficial owner.

Upon the publication of the interim final rule, the following deadlines apply for foreign entities that are reporting companies:

  • Reporting companies registered to do business in the United States before the date of publication of the IFR must file BOI reports no later than 30 days from that date.
  • Reporting companies registered to do business in the United States on or after the date of publication of the IFR have 30 calendar days to file an initial BOI report after receiving notice that their registration is effective.

FinCEN is accepting comments on this interim final rule and intends to finalize the rule this year.

For more information, see Interim Final Rule: Questions and Answers.

  • Tweet

About Robin

Owner of License Exam Services, LLC

What you can read next

Construction Applications Can Now Be Submitted Online!
Can you trust who is working with your contractor license application information.
Experience Requirements; Be Careful in Your Application

Recent Posts

  • Florida Construction Exams Trade Exam Waiver: Don’t pay $350 to someone to apply for a waiver for you!

    There is someone out there charging potential a...
  • Florida DBPR Hours (Licensing)

    The Florida Department of Business and Professi...
  • Florida Division of Corporations Holiday Hours (www.sunbiz.org)

    The Florida Division of Corporations will be cl...
  • New Florida Specialty Contractor Licenses

    The new Florida Construction licenses are nearl...
  • 2024 Code Books not used for Florida Construction Exams until July 2024.

    January 1, 2004, the 2024 Codes go into effect ...

Archives

  • March 2025
  • January 2025
  • December 2024
  • June 2024
  • December 2023
  • November 2023
  • May 2023
  • December 2022
  • November 2022
  • October 2022
  • August 2022
  • June 2022
  • April 2022
  • December 2021
  • September 2021
  • February 2021
  • November 2020
  • October 2020
  • August 2020
  • July 2020
  • June 2020
  • March 2020
  • February 2020
  • January 2020
  • October 2019
  • August 2019
  • July 2019
  • May 2019
  • April 2019
  • February 2019
  • November 2018
  • June 2018
  • May 2018
  • April 2018
  • March 2018
  • February 2018
  • December 2017
  • September 2017
  • April 2017
  • November 2016
  • October 2016
  • September 2015
  • July 2015
  • May 2015
  • March 2015
  • January 2015
  • December 2014
  • November 2014
  • August 2014
  • June 2014
  • December 2013
  • September 2013
  • August 2013
  • June 2013
  • February 2013
  • January 2013

NAVIGATION

  • HOME
  • OUR PRODUCTS
  • SERVICES
  • EXAM BOOKSTORE
  • ABOUT US
  • BLOG
  • CONTACT US
  • MY ACCOUNT

MAKE CONTACT

Email: robin@needfloridalicense.com Phone: 941.706.2336
Fax: 866.473.0571
  • GET SOCIAL
License Exam Services, LLC.

© 2014-2022 License Exam Services, LLC. All Rights Reserved. | Sitemap | Privacy Policy
Designed by Blue Sky Research LLC.

TOP