Internal Revenue Bulletin — Rulings & Guidance

Announcement 2020-12

This document is an announcement that lenders who make paycheck protection program (PPP) loans that are later forgiven under the Coronavirus Aid, Relief, and Economic Security Act (CARES Act) do not…

Official textirs.gov

This announcement notifies lenders that they should not file information returns or furnish payee statements under section 6050P of the Internal Revenue Code (Code) to report the amount of qualifying forgiveness with respect to covered loans made under the Paycheck Protection Program (PPP) administered by the Small Business Administration (SBA), in consultation with the Department of the Treasury, under Title I of the Coronavirus Aid, Relief, and Economic Security Act, Pub. L. No. 116-136, 134 Stat. 281 (March 27, 2020), as amended by the Paycheck Protection Program Flexibility Act of 2020, Pub. L. No. 116-142, 134 Stat. 641 (June 5, 2020) (collectively, CARES Act).

Section 1102 of the CARES Act established the PPP, which allowed qualifying small businesses (eligible recipients) to obtain loans guaranteed by the SBA under section 7(a)(36) of the Small Business Act (15 U.S.C. § 636(a)(36)) (covered loans). Under section 1106 of the CARES Act, an eligible recipient is eligible for forgiveness of indebtedness for all or a portion of the stated principal amount of a covered loan if certain conditions are satisfied (qualifying forgiveness). Under section 1106(i) of the CARES Act, for purposes of the Code, any amount that (but for section 1106(i)) would be includible in gross income of the eligible recipient by reason of the qualifying forgiveness is excluded from gross income.

Generally, section 6050P of the Code and §§ 1.6050P-1 and 1.6050P-2 of the Income Tax Regulations require an applicable entity (as defined in section 6050P(c)(1) of the Code) that discharges at least $600 of a borrower’s indebtedness to file a Form 1099-C, Cancellation of Debt, with the Internal Revenue Service (IRS), and to furnish a payee statement to the borrower. For purposes of this reporting requirement, § 1.6050P-1(c) provides that “indebtedness” means any amount owed to an applicable entity, including stated principal, fees, stated interest, penalties, administrative costs, and fines.

When all or a portion of the stated principal amount of a covered loan is forgiven because the eligible recipient satisfies the forgiveness requirements under section 1106 of the CARES Act, an applicable entity is not required to, for federal income tax purposes only, and should not, file a Form 1099-C information return with the IRS or provide a payee statement to the eligible recipient under section 6050P of the Code as a result of the qualifying forgiveness. The filing of such information returns with the IRS could result in the issuance of underreporter notices (IRS Letter CP2000) to eligible recipients, and the furnishing of such payee statements to eligible recipients could cause confusion. This announcement is intended to prevent any such confusion.

The principal author of this announcement is Marshall French of the Office of the Associate Chief Counsel (Procedure & Administration). For further information regarding this announcement, contact Marshall French at (202) 317-5411 (not a toll-free number).

Source: view the official text

Report a problem

What's wrong?

Sent anonymously with this page's citation. No personal information is collected.

Nearby sections (25 sections)
  1. rr-2019-28 · Section 6621 of the Internal Revenue Code establishes the…
  2. ann-2020-1 · Revocation of IRC 501(c)(3) Organizations for failure to…
  3. ann-2020-2 · This Announcement is issued pursuant to § 521(b) of Pub.
  4. ann-2020-3 · The Office of Professional Responsibility (OPR) announces…
  5. ann-2020-4 · Announcement 2020-4 provides that public hearings on…
  6. ann-2020-5 · The Announcement provides clarity to Connecticut…
  7. ann-2020-6 · This announcement provides the Treasury Department and IRS…
  8. ann-2020-7 · The Internal Revenue Service (IRS) intends to issue…
  9. ann-2020-8 · Announcement 2020-8 amends Revenue Procedure 2020-35 to…
  10. ann-2020-9 · The Office of Professional Responsibility (OPR) announces…
  11. ann-2020-10 · The competent authorities of the United States of America…
  12. ann-2020-11 · This document contains corrections to TD 9900, published…
  13. ann-2020-12 · This document is an announcement that lenders who make…
  14. ann-2020-13 · A copy of the Competent Authority Arrangement entered…
  15. ann-2020-14 · This announcement provides that user fees relating to…
  16. ann-2020-15 · Revocation of IRC 501(c)(3) Organizations for failure to…
  17. ann-2020-16 · Serves notice to potential donors of a stipulated…
  18. ann-2020-17 · Announcement 2020-17 postpones, until January 15, 2021,…
  19. ann-2020-19 · The Office of Professional Responsibility (OPR) announces…
  20. ann-2020-40 · The United States provided written notification, dated…
  21. n-2020-1 · Update for Weighted Average Interest Rates, Yield Curves,…
  22. n-2020-2 · This Notice provides taxpayers with additional guidance for…
  23. n-2020-3 · Interim Guidance on Income Tax Withholding from Retirement…
  24. n-2020-4 · This notice provides an additional extension of the…
  25. n-2020-5 · 2020 Standard Mileage Rates
Full table of contents →