An interesting reading has arrived to my mailbox: https://www.zerohedge.com/markets/h...ends-enforcement-fincen-reporting-requirement.
In short, a TX court judgement forced FINCEN to publish an alert sounding “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“ (https://fincen.gov/boi – the Alert: Impact of Ongoing Litigation – Deadline Stay – Voluntary Submission Only).
The corresponding judgement (a preliminary injunction, to be exact) can be reached here https://www.nfib.com/wp-content/uploads/2024/12/TX-Top-Cop-Shop-Amended-Opinion-12-05-2024.pdf.
(It all happened almost a week ago; yet as I do not have a US LLC currently, I am not following this too closely. But I have not noticed it discussed here.)
In short, a TX court judgement forced FINCEN to publish an alert sounding “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“ (https://fincen.gov/boi – the Alert: Impact of Ongoing Litigation – Deadline Stay – Voluntary Submission Only).
The corresponding judgement (a preliminary injunction, to be exact) can be reached here https://www.nfib.com/wp-content/uploads/2024/12/TX-Top-Cop-Shop-Amended-Opinion-12-05-2024.pdf.
(It all happened almost a week ago; yet as I do not have a US LLC currently, I am not following this too closely. But I have not noticed it discussed here.)
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