AICPA Offers Recommendations for Loan Forgiveness Under Paycheck Protection Program
AICPA Offers Recommendations for Loan Forgiveness Under Paycheck Protection Program
WASHINGTON--(BUSINESS WIRE)--The American Institute of CPAs (AICPA) today released recommendations on the appropriate documents and calculations that small businesses should use to qualify for loan forgiveness under the CARES Act’s Paycheck Protection Program (PPP).
The recommendations were made in consultation with an AICPA-led small business funding coalition, CPA firms and other key stakeholders. They build on previous guidelines the AICPA has provided to help bring clarity to the implementation of the PPP.
Among other suggestions, the AICPA urges that:
- The 8-week covered period under PPP should align with the beginning of a pay period, not the date loan proceeds are received
- The 8-week period should commence once local stay-at-home restrictions are lifted, not when loan proceeds are received, so small businesses have adequate funds to ramp up operations
- Full-time job equivalents (FTEs) can be calculated using a simple wage-based proxy when hours worked are not tracked by the employer
- Payroll reduction calculations should be based on small businesses’ average payroll per week, not total compensation per employee
“Loan forgiveness is a key element of the Paycheck Protection Program, and the steps for qualification should be simple, straightforward and designed to help small businesses succeed,” said Mark Koziel, the AICPA’s executive vice president for firm services. “Our goal is to continue to work with our coalition and other stakeholders to help drive consistency and a standard approach for the smaller entities that are now applying.”
The full set of the AICPA’s recommendations, including those that apply to the application process, can be found here. Those recommendations that apply directly to loan forgiveness are as follows:
PPP Loan Forgiveness |
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I. |
Loan forgiveness documentation for employers | ||
1. |
Payroll tax reports: 2020 IRS Forms 941, state income and unemployment tax returns that include the 8-week covered period. (See recommendation below regarding 8-week covered period.) If your organization contracts with a payroll provider or Professional Employer Organization (PEO) you can supply other documents, such as reports reflecting employment tax returns filed. | ||
2. |
Compensation and FTEs: In general, payroll reports which will include the following: | ||
| a. | Gross wages for each employee for the following: | ||
| i. During the 8-week covered period | |||
| ii. During the most recent full quarter before the 8-week covered period | |||
| b. | Identifying employees who during any period in 2019, received an annualized pay of more than $100k and also employees whose principal place of residence is outside the U.S. | ||
| c. | State and local employer taxes assessed on an employee’s compensation (i.e. SUTA) during the 8-week covered period | ||
| d. | The average number of full-time equivalents (FTEs) per month for the following: | ||
| i. During the 8-week covered period | |||
| ii. Feb. 15 through June 30, 2019 | |||
| iii. Jan. 1 through Feb. 29, 2020 | |||
| Note: borrower elects which period, ii or iii, to compare to i. | |||
| e. | For seasonal businesses, use average number of FTEs per month during the period February 15, 2019 through June 30, 2019. | ||
| 3. | Group health care benefits: Documentation showing total costs paid for all health care benefits, including insurance premiums paid by the organization under a group health plan. | ||
| a. | Include all employees and company owners. | ||
| b. | Do not include employee withholdings for their portion of contributions to the plan. | ||
| 4. | Retirement plan benefits: Documentation showing the sum of all retirement plan funding costs paid by the organization. | ||
| a. | Include funding for all employees and the company owners. | ||
| b. | Do not include employee withholdings for their portion of contributions to the plan. | ||
| 5. | Other documentation: Canceled checks, receipts, account statements or other documentation of payment for other eligible costs incurred and paid during the covered period such as mortgage interest, lease payments, utility payments. | ||
| II. | For Sole Proprietors, Independent Contractors and Self- Employed Individuals | ||
| 1. | The 2019 Form 1040 Schedule C to verify net income (line 31) for owner income replacement calculation. | ||
| 2. | If you have employees, provide payroll documentation as outlined above, including documentation of healthcare and retirement benefits costs. Exclude owner from healthcare and retirement costs. | ||
| 3. | Canceled checks, receipts, account statements or other documentation of payment for other eligible costs incurred and paid during the covered period such as mortgage interest, lease payments, utility payments. Note: these types of expenses must have been deducted on the 2019 Form 1040 Schedule C to be eligible for forgiveness. | ||
| III. | Forgiveness Recommendations | ||
| The following four broad recommendations are provided to encourage a consistent and efficient approach to loan forgiveness that aligns with borrower operations and the intent of the PPP | |||
| 1. | Recommendation: Align beginning of 8-week covered period with beginning of a pay period, rather than the date loan proceeds are received. | ||
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| 2. | Recommendation: Begin the 8-week covered period when operating restrictions are lifted, rather than the date loan proceeds are received. | ||
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| 3. | Recommendation: Defining Full-time Equivalents | ||
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| 4. | Recommendation: Payroll reduction calculation should be done based on the average payroll per employee per week rather than the total compensation per employee in an 8-week period versus the prior quarter. | ||
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| NOTE: AICPA has requested further clarification on how reductions in forgiveness are to be applied | |||
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The AICPA also has a resource page to assist CPA firms on PPP issues.
About the American Institute of CPAs
The American Institute of CPAs (AICPA) is the world’s largest member association representing the CPA profession, with more than 429,000 members in the United States and worldwide, and a history of serving the public interest since 1887. AICPA members represent many areas of practice, including business and industry, public practice, government, education and consulting. The AICPA sets ethical standards for its members and U.S. auditing standards for private companies, nonprofit organizations, federal, state and local governments. It develops and grades the Uniform CPA Examination, offers specialized credentials, builds the pipeline of future talent and drives professional competency development to advance the vitality, relevance and quality of the profession.
Contacts
Jeff May
212.596.6122
jeffrey.may@aicpa-cima.com
Gil Nielsen
212.596.6008
gilbert.nielsen@aicpa-cima.com
Kathy King
202.434.9210
kathy.king@aicpa-cima.com
