Fantchofinancial

5000 Sunnyside Ave, Ste 300, Beltsville, MD 20705
info@fantchofinancial.com
+1 202-294-7656

Trust our Beneficial Ownership Information (BOI) filing service to comply timely with new federal requirement..

BOI Compliance.

As of January 1, 2024, certain types of entities created or registered to do business in the United States must report their Beneficial Ownership Information (BOI) to the Treasury Department’s Financial Crimes Enforcement Network (FinCEN). For entities that have registered/been formed prior to January 1, 2024, the deadline to file this report with FinCEN is January 1, 2025. Understanding federal government reporting requirements can be confusing. We offer to make it simple for you to comply.

YOU WANT IT? WE GOT IT!

Plan That’s Right For You.

The plan comes with a free annual compliance support package, including routine reminder emails, to help you maintain ongoing compliance.

Standard Package
For One Owner

$ 200
  • Secure filing portal
  • We do all the work for you
  • We ask for what we need to prepare the filing
  • Prefill form if we have the data
  • Electronic filing with FinCen
  • You approve it online electronically
  • Easy updates as needed for one year for additional $50
  • Add $45 for additional owner

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Frequently Asked Questions.

Beneficial ownership information refers to identifying information about the individuals who directly or indirectly own or control a company.

 

[Issued March 24, 2023

In 2021, Congress passed the Corporate Transparency Act on a bipartisan basis. This law creates a new beneficial ownership information reporting requirement as part of the U.S. government’s efforts to make it harder for bad actors to hide or benefit from their ill-gotten gains through shell companies or other opaque ownership structures.

 

[Issued September 18, 2023]

FinCEN will permit Federal, State, local, and Tribal officials, as well as certain foreign officials who submit a request through a U.S. Federal government agency, to obtain beneficial ownership information for authorized activities related to national security, intelligence, and law enforcement. Financial institutions will have access to beneficial ownership information in certain circumstances, with the consent of the reporting company. Those financial institutions’ regulators will also have access to beneficial ownership information when they supervise the financial institutions.

 

FinCEN is engaged in a robust outreach and education campaign to raise awareness of and help reporting companies understand the new reporting requirements. That campaign involves virtual and in-person outreach events and comprehensive guidance in a variety of formats and languages, including multimedia content and the Small Entity Compliance Guide, as well as new channels of communication, including social media platforms. FinCEN is also engaging with governmental offices at the federal and state levels, small business and trade associations, and interest groups.

 

FinCEN will continue to provide guidance, information, and updates related to the BOI reporting requirements on its BOI webpage, www.fincen.gov/boi. Subscribe here to receive updates via email from FinCEN about BOI reporting obligations.

 

[Issued December 12, 2023]

For purposes of reporting beneficial ownership information to FinCEN, “Indian Tribe” means any Indian or Alaska Native tribe, band, nation, pueblo, village, or community that the Secretary of the Interior acknowledges to exist as an Indian tribe. The Secretary of the Interior is required to publish annually a list of all recognized Indian Tribes in the Federal Register (https://www.federalregister.gov/ documents/2024/01/08/2024-00109/indian-entities-recognized-by-and-eligibleto-receive-services-from-the-united-states-bureau-of).

 

[Issued June 10, 2024]