Important Update on BOI Reporting Compliance

I hope this message finds you well. We wanted to inform you about a new partnership we’ve established with Castano Quigley Cherami LLC (CQC Law), a reputable law firm experienced in handling complex business and regulatory issues, to support our clients with Beneficial Ownership Information (BOI) reporting requirements.

Given the uncertainties surrounding BOI reporting regulations, we highly recommend CQC Law’s services for those who need to file. CQC Law, led by Nicholas J. Cherami, Esq., brings extensive expertise in regulatory compliance and business law. Their services are designed to simplify the BOI filing process, ensuring compliance and relieving the administrative burden on your business. You can find more about their firm on their website: cqclaw.com.

About BOI Reporting Requirements
The BOI report is a new federal mandate intended to enhance transparency and prevent illicit financial activities. Generally, entities formed in or registered to do business in the United States are required to file BOI reports, except for certain exempt entities (e.g., publicly traded companies, banks, insurance companies). The report includes information on beneficial owners, such as individuals who directly or indirectly own or control 25% or more of the entity.

Key BOI Filing Deadlines

  • Existing Entities: BOI reports are due by January 1, 2025.

  • New Entities Formed on or after January 1, 2024: BOI reports are due within 30 days of formation.

For BOI compliance guidance, feel free to reach out directly to Nicholas J. Cherami, Esq. at CQC Law:
Castano Quigley Cherami LLC
236A Newark Ave, Jersey City, NJ 07302
Phone: 201-413-9000 ext. 130
Email: ncherami@cqclaw.com

We trust CQC Law will provide the exceptional service and guidance you expect. Please don’t hesitate to reach out if you have questions or need further assistance coordinating with their team.

Best regards,
Anthony Carullo
Lizza & Carullo CPAs & Advisors

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