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Calendar
November 13 2017

November 2017 tax compliance calendar

Business Help, News Letters, Tax Calendars, Tax Help

As an individual or business, it is your responsibility to be aware of and to meet your tax filing/reporting deadlines. This calendar summarizes important federal tax reporting and filing data for individuals, businesses and other taxpayers for the month of November 2017.

November

Employers. During November, ask employees whose withholding allowances will be different in 2018 to fill out a new Form W4 or Form W4(SP).

November 1

Employers. Semi-weekly depositors must deposit employment taxes for Oct 25–Oct 27.

November 3

Employers. Semi-weekly depositors must deposit employment taxes for Oct 28–Oct 31.

November 8

Employers. Semi-weekly depositors must deposit employment taxes for Nov 1–Nov 3.

November 13

Employees who work for tips. Employees who received $20 or more in tips during October must report them to their employer using Form 4070.

Employers. File Form 941 for third quarter of 2017 only if the tax was previously deposited timely, properly and in full.

Employers. Semi-weekly depositors must deposit employment taxes for Nov 4–Nov 7.

November 15

Employers. For those to whom the monthly deposit rule applies, deposit employment taxes and nonpayroll withholding for payments in October.

Employers. Semi-weekly depositors must deposit employment taxes for Nov 8–Nov 10.

November 17

Employers. Semi-weekly depositors must deposit employment taxes for Nov 11–Nov 14.

November 22

Employers. Semi-weekly depositors must deposit employment taxes for Nov 15–Nov 17.

November 27

Employers. Semi-weekly depositors must deposit employment taxes for Nov 18–Nov 21.

November 29

Employers. Semi-weekly depositors must deposit employment taxes for Nov 22–Nov 24.

December 1

Employers. Semi-weekly depositors must deposit employment taxes for Nov 25–Nov 28.

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Deanna Ramsey, CPA, LLC | 205 Frankfort St., Versailles, KY 40383
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FinCEN

Federal Beneficial Ownership Reporting

 

FinCEN is now Requiring Beneficial Ownership Information (BOI) to be reported through their BOI E-Filing System.

 

Do I Need to Report?

Most businesses are small businesses that may need to file. Your company may need to report information about its beneficial owners if it is:

  • A corporation, a limited liability company (LLC), or was otherwise created in the United States by filing a document with a secretary of state or any similar office under the law of a state or Indian tribe; or
  • A foreign company and was registered to do business in any U.S. state or Indian tribe by such a filing with a secretary of state.

There are 23 types of entities that are exempt from the beneficial ownership information reporting requirements. FinCEN’s Small Entity Compliance Guide includes checklists for each of the 23 exemptions that may help determine whether your company qualifies for an exemption.

When Do I Report?

Reports began being accepted on January 1, 2024.

  • If your company was created or registered before January 1, 2024, you will have until January 1, 2025, to report BOI.
  • If your company is created or registered on or after January 1, 2024, you must report BOI within 90 days of notice of creation or registration. Beginning in 2025, that reporting window is 30 days.
  • Any updates or corrections to beneficial ownership information that you previously filed with FinCEN must be submitted within 30 days.

What information do I need to report?

All Companies who are subject to BOI filing, must report the name, address ID number, phone number, business ownership, and more…..for each of the following persons.

·         Any individual who either directly or indirectly exercises substantial control over the reporting company

·         Any individual who owns or controls at least 25% of the reporting company’s ownership and/or management interests

·         The individual who registered the reporting company with their Secretary of State

What Penalties could my business face?

·         A person who willfully violates the BOI reporting requirements may be subject to civil penalties of up to $500 for each day that the violation continues.

·         That person may also be subject to criminal penalties of up to two years imprisonment and a fine of up to $10,000.

·         Potential violations include willfully failing to file a beneficial ownership information report, willfully filing false beneficial ownership information, or willfully failing to correct or update previously reported beneficial ownership information.

How can Deanna Ramsey CPA LLC help?

·         This is a new requirement that will affect most businesses operating in the United States.  The process is detailed and must be completed accurately!

·         We already know how to file this report online and are happy to assist with the process.

For more information, visit FinCEN’s website, view FinCEN’s Frequently Asked Questions (FAQs), or contact FinCEN.