Corporate Transparency Act (CTA): Action Required for Community Associations

Stark & Stark

As the end of the year approaches, there has been no determination that community associations will be relieved of the requirement to comply with the Corporate Transparency Act (CTA).  While we remain hopeful of a legislative or legal solution, you must be prepared to file the required information no later than January 1, 2025.

Who must comply with the CTA?

All of our community association clients and each of their board members must comply.

What is required for compliance?

The association must report to FinCEN its full legal name, any trade names, street address of its principal place of business, the state in which it was formed, and its EIN.  It must also report the following about each board member: a FinCEN identifier OR name, birthdate, residential address, and an identifying number from a non-expired driver’s license or passport, along with an image of the referenced document. There is no annual reporting requirement, however, all changes to this information must be reported to FinCEN within 30 day.

When must the initial reporting be made?

For associations which were formed before January 1, 2024, the initial report must be filed no later than January 1, 2025.

What are the penalties for noncompliance?

Willful violations of the CTA may subject associations and board members to penalties and imprisonment.  A person who willfully violates the reporting requirements may be subject to civil penalties of up to $500 for each day that the violation continues (adjusted annually for inflation), criminal penalties of up to two years imprisonment, and a fine of up to $10,000.

What should we do now?

Make a plan now to determine how the association and board members will comply with the CTA by 1/1/25.  Board members or management can file the initial report and make required changes but it is critical they are diligent in doing so.  There are many third party companies that will do this for a fee.  Your management company may have a platform offering this service. 

Learn more about the CTA here and here.

DISCLAIMER: Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations. Attorney Advertising.

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