On December 23, 2024, a three-judge panel of the Fifth Circuit in Texas Top Shop v. Garland, No. 24-40792, stayed the nationwide preliminary injunction a district court had entered earlier this month halting enforcement of the Corporate Transparency Act (CTA). The CTA and its implementing regulations require reporting companies to disclose information, including about their beneficial owners, to the U.S. Treasury Department’s Financial Crimes Enforcement Network (FinCEN).
The immediate consequence of the stay was to revive the January 1, 2025 reporting deadline for initial reports for many entities within the scope of the CTA. However, FinCEN has issued a statement extending the reporting deadlines under the CTA as follows:
The plaintiffs have filed an emergency petition for rehearing en banc and indicated that they may also seek relief in the U.S. Supreme Court. While this litigation is ongoing, the reporting obligations imposed by the CTA are in place. If you have not already filed, BOI reports must be completed and submitted by the applicable deadline listed above.
Dentons is here to help clients navigate the CTA. If you have any questions about the CTA or this Client Alert, please contact your Dentons attorney or any member of the CTA Team listed below.