With the results of the 2024 U.S. elections, there’s growing clarity on the direction of financial regulations like the CTA. While no substantial changes to the CTA’s requirements have been reported post-election, updates could arise as new leadership evaluates ongoing financial crime prevention initiatives. For now, FIs should continue to prepare to incorporate BOI data as mandated by the U.S. Anti-Money Laundering Act of 2020.
Businesses formed before 2024 must file their initial BOI reports by January 1, 2025, while new entities from January 1, 2024, must file within 90 days of registration. FIs should be ready to integrate BOI data access into compliance processes by 2025.
FIs must plan now to address these regulatory requirements, which will impact on most of their customers/members. Proactively managing these changes is critical to maintaining compliance and operational efficiency. Contact Quinte today and explore how our ServiceDESK can produce impactful results for your FI.