by Omar Figueroa and Lauren Mendelsohn
December 27, 2024
On December 23, 2024, a panel of the Fifth Circuit Court of Appeals lifted the lower court injunction which had put enforcement of the Corporate Transparency Act on hold. We previously wrote about the injunction and FinCEN’s response in our recent blog post here and here.
On December 26, 2024, a different panel of the Fifth Circuit Court of Appeals issued an order vacating the Court’s December 23, 2024 order granting a stay of the preliminary injunction.
Accordingly, as of December 26, 2024, the injunction issued by the district court in Texas Top Cop Shop, Inc. v. Garland is back in effect and reporting companies are not currently required to file beneficial ownership information with FinCEN.
On December 27, 2024, FinCEN, the Financial Crimes Enforcement Network, issued an alert which made clear that the Corporate Transparency Act’s reporting requirements are optional at this time:
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.
The Corporate Transparency Act (CTA) plays a vital role in protecting the U.S. and international financial systems, as well as people across the country, from illicit finance threats like terrorist financing, drug trafficking, and money laundering. The CTA levels the playing field for tens of millions of law-abiding small businesses across the United States and makes it harder for bad actors to exploit loopholes in order to gain an unfair advantage.
On Tuesday, December 3, 2024, in the case of Texas Top Cop Shop, Inc., et al. v. Garland, et al., No. 4:24-cv-00478 (E.D. Tex.), the U.S. District Court for the Eastern District of Texas, Sherman Division, issued an order granting a nationwide preliminary injunction. Texas Top Cop Shop is only one of several cases that have challenged the Corporate Transparency Act (CTA) pending before courts around the country. Several district courts have denied requests to enjoin the CTA, ruling in favor of the Department of the Treasury. The government continues to believe—consistent with the conclusions of the U.S. District Courts for the Eastern District of Virginia and the District of Oregon—that the CTA is constitutional. For that reason, the Department of Justice, on behalf of the Department of the Treasury, filed a Notice of Appeal on December 5, 2024 and separately sought of stay of the injunction pending that appeal.
On December 23, 2024, a panel of the U.S. Court of Appeals for the Fifth Circuit granted a stay of the district court’s preliminary injunction entered in the case of Texas Top Cop Shop, Inc. v. Garland, pending the outcome of the Department of the Treasury’s ongoing appeal of the district court’s order. FinCEN immediately issued an alert notifying the public of this ruling, and recognizing that reporting companies may have needed additional time to comply with beneficial ownership reporting requirements, FinCEN extended reporting deadlines. On December 26, 2024, however, a different panel of the U.S. Court of Appeals for the Fifth Circuit issued an order vacating the Court’s December 23, 2024 order granting a stay of the preliminary injunction. Accordingly, as of December 26, 2024, the injunction issued by the district court in Texas Top Cop Shop, Inc. v. Garland is in effect and reporting companies are not currently required to file beneficial ownership information with FinCEN.
Screenshot taken on December 27, 2024
For more details about the Corporate Transparency Act, including resources provided by Omar Figueroa when he taught a Continuing Legal Education seminar to lawyers on the Corporate Transparency Act at the Sonoma County Bar Association, please see our
previous post on the topic.
This information is intended as a public educational service and is not intended, nor should be construed, as legal advice. For further questions about the Corporate Transparency Act (CTA) as well as detailed guidance tailored to your specific circumstances, please contact the Law Offices of Omar Figueroa at 707-829-0215 or info@omarfigueroa.com to schedule a confidential legal consultation.