On March 2, 2025, the U.S. Department of the Treasury reaffirmed FinCEN’s recent announcement, explicitly stating that no fines or penalties would be imposed on U.S. citizens or domestic reporting companies under the existing filing deadlines or upcoming rule changes. In short, for now, only foreign reporting companies remain subject to CTA enforcement, while domestic businesses are no longer required to file beneficial ownership reports with FinCEN.

FinCEN has also stated that it will explore ways to reduce the regulatory burden on small businesses. While changes are forthcoming, the agency maintains that beneficial ownership information will continue to play a role in national security and law enforcement efforts. Revised regulations are expected later this year, incorporating feedback from small businesses to refine the reporting framework.

As these regulatory shifts unfold, it remains crucial for businesses to stay informed and consult their legal counsel to ensure they are prepared for any future changes.

We will continue to monitor these developments and share updates as more information becomes available. For the latest insights, visit our CTA Resource Page, or feel free to contact us with any questions at (605) 224-9189 or via our contact form.