Updated with FinCEN Response to Dec. 26 Fifth Circuit Decision
Chaos is officially the perfect word to describe the situation around the Corporate Transparency Act (“CTA”).
On Thursday, a U.S. Court of Appeals for the Fifth Circuit panel issued an order to vacate Monday’s order made by a different panel in the same court. Thursday’s order blocks CTA enforcement, which now means that CTA reporting to FinCEN is once again voluntary. Required reporting of Beneficial Ownership Information (BOI) has been suspended until the matter continues its way through the court system.
The order says: "The merits panel now has the appeal, which remains expedited, and a briefing schedule will issue forthwith. However, in order to preserve the
constitutional status quo while the merits panel considers the parties’
weighty substantive arguments, that part of the motions-panel order granting
the Government’s motion to stay the district court’s preliminary injunction
enjoining enforcement of the CTA and the Reporting Rule is VACATED."
Click here to read the Dec. 26 order in Texas Top Cop Shop vs. Garland, 5th Cir., No. 24-40792, order 12/26/24.
FinCEN has published updated guidance, responding to the decision:
"In light of a recent federal court order, reporting companies are not currently required to file beneficial ownership information with FinCEN and are not subject to liability if they fail to do so while the order remains in force. However, reporting companies may continue to voluntarily submit beneficial ownership information reports."
CTA Background
The CTA is a federal law that requires businesses to disclose and report information about their owners and controllers to FinCEN. It was enacted by Congress in 2021 as an expansion of the anti-money laundering laws, intended to prevent terrorist financing, corruption, tax fraud, and other illicit activity.
It went into effect on Jan. 1, 2024, but courts have gone back and forth all year on the constitutionality of the act.
On March 1, 2024, the Northern District of Alabama Northeastern Division, in National Small Business United v. Yellen, No. 5:22-cv-1448 (N.D. Ala.), ruled the CTA unconstitutional. However, the holding only applied to the plaintiffs in the Alabama federal case.
On December 3, 2024, Judge Amos L. Mazzant III, of the U.S. District Court for the Eastern District of Texas, granted a nationwide preliminary injunction to temporarily block the enforcement of the CTA, ruling the act unconstitutional. The opinion was published in Texas Top Cop Shop, Inc. v. Garland (E.D. Tex., No. 4:24-cv-00478).
On December 23, 2024, the Fifth Circuit overturned the Texas District Court’s nationwide injunction regarding the Corporate Transparency Act (“CTA”), requiring companies to report.
But now the December 26, 2024, order has vacated the requirement.
About Our Authors
Sean Buckley is a corporate services attorney in the Adams and Reese Houston office. Sean advises clients on a wide array of corporate matters, including the purchase and sale of equity and assets, and in a diverse array of industries, including real estate transactions, entity selection and formation, corporate governance, and franchise opportunity matters.
Brian Smithweck is a corporate services attorney in the Adams and Reese Mobile office. Brian practices in the areas of corporate, partnership and limited liability company planning, estate planning, probate, trusts and estates, M&A, tax planning and tax controversies. He represents businesses, individuals and families. He has a Master of Laws in Taxation.
Additional Adams and Reese CTA Client Alerts:
- “Christmas Chaos – CTA Filing Requirements Reinstated Following Fifth Circuit Decision,” December 2024
- “Christmas Curveball – CTA Temporarily Blocked Nationwide by Texas Court Injunction,” December 2024
- “CTA Breaking News: FinCEN Announces Six-Month BOI Reporting Extension in Hurricane Areas,” November 2024
- “CTA Deadline is Fast Approaching: Is Your Business Ready to Report Ownership Information by Jan. 1, 2025?” October 2024
- “CTA Update – FinCEN Says Dissolved Companies Must Report Beneficial Ownership Information,” July 2024
- “CTA Update - Where Do We Stand After Alabama District Court Ruling?” March 2024
- “FinCEN Issues Alert of Scam E-Mail to Fraudulently Solicit BOI Reporting,” November 2023
- “FinCEN Publishes Compliance Guide to Help Small Businesses Understand Corporate Transparency Act,” October 2023
- “FinCEN Publishes Reporting Requirements, Definitions of Corporate Transparency Act,” May 2023
- “It’s Time to Think About New Reporting Requirements Under the Corporate Transparency Act,” April 2021