BOI filing for newly formed LLCs
BOI filing for newly formed LLCs
For U.S. business owners and LLC founders, the key takeaway as of January 3, 2026, is that newly formed domestic LLCs in the United States are currently exempt from FinCEN Beneficial Ownership Information (BOI) filing.
This exemption is due to FinCEN’s March 26, 2025, interim final rule, which narrowed the definition of a “reporting company” to include only certain foreign entities. Therefore, domestic LLC founders should not be instructed to file BOI reports with FinCEN.
Instead, practical compliance guidance should focus on documenting and securing beneficial owner information, monitoring the rulemaking environment, advising foreign-formed and foreign-registered entities about their specific filing timelines, explaining the data elements that would be required if filing becomes necessary in the future, and warning against scams.
It is also advisable to include citations and links to official FinCEN resources such as their BOI page, the Small Entity Compliance Guide, FinCEN FAQs, relevant state Secretary of State guidance, and a general legal overview for background.
For U.S. business owners and LLC founders, the key takeaway as of January 3, 2026, is that newly formed domestic LLCs in the United States are currently exempt from FinCEN Beneficial Ownership Information (BOI) filing.
This exemption is due to FinCEN’s March 26, 2025, interim final rule, which narrowed the definition of a “reporting company” to include only certain foreign entities. Therefore, domestic LLC founders should not be instructed to file BOI reports with FinCEN.
Instead, practical compliance guidance should focus on documenting and securing beneficial owner information, monitoring the rulemaking environment, advising foreign-formed and foreign-registered entities about their specific filing timelines, explaining the data elements that would be required if filing becomes necessary in the future, and warning against scams.
It is also advisable to include citations and links to official FinCEN resources such as their BOI page, the Small Entity Compliance Guide, FinCEN FAQs, relevant state Secretary of State guidance, and a general legal overview for background.
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