In response to the debilitating
effect the coronavirus (COVID-19) pandemic has had on small businesses across
the country, the federal government funded a program under the Coronavirus Aid,
Relief and Economic Security Act (CARES Act) called the Paycheck Protection
Program (PPP).
Approximately $670 billion has been
allocated to the PPP fund, and small businesses across the country have sent in
their applications to hopefully receive assistance from this loan program. If
your business secured a PPP loan, you may be wondering what your next steps
should be. This article provides a general overview of PPP loans and what
employers should do if they receive an approved PPP loan.
REVIEW
PPP Loan terms
The PPP is designed
to get cash in the hands of suffering small businesses quickly, with less
stringent eligibility requirements than the existing U.S. Small Business Administration
(SBA) loan programs. PPP loans are designed to incentivize business owners to
keep employees on payroll. These loans provide 100% federally guaranteed loans
to small businesses, through Jun. 30, 2020. Importantly, these loans may be
forgiven if borrowers maintain their payrolls during the crisis.
The terms of a PPP
loan are as follows:
·
The amount of a PPP loan available to each
borrower is 2.5 times the borrower’s average monthly payroll costs, not to
exceed $10 million.
·
PPP loans require no collateral, have a maximum
10-year term, and an interest rate of no more than 4%.
·
The loans are available to eligible companies to
be used for the following costs incurred from Feb. 15, 2020, through Jun. 30,
2020:
o
Payroll (e.g., salary, wage, parental, family,
and medical or sick leave)
o
Health care benefits and related insurance
premiums
o
Employee compensation
o
Mortgage interest obligations
o
Rent and utilities
·
A borrower of a PPP loan is eligible for loan
forgiveness equal to the amount spent during the eight-week period after the
date of the original loan for rent on a leasing agreement, payroll costs
(including wages for U.S. employees capped at $100,000 per employee), mortgage
interest and utilities. The amount forgiven may be reduced if the borrower
reduces the number of employees, or salaries and wages of employees. Borrowers
must apply through their lender for forgiveness on the loan.
Employers should work with their
SBA-approved lender for any questions related to their PPP loan.
Using funds appropriately
to remain eligible for forgiveness
U.S. small businesses that were able
to secure financial relief through the SBA’s Payroll Protection Program should
consider the following to help their cause for qualification of forgiveness of
the full principal amount of the loan and any accrued interest:
·
Use the loan funds only toward: payroll,
including salary, wages, tips and covered benefits for employees; rent or
mortgage interest; and utilities.
·
Ensure at least 75% of loan funds are allocated
for payroll costs.
·
Maintain the level of full-time employee (FTE)
headcount without reduction during the eight-week covered period.
·
Maintain the salaries and wages of your
workforce during the eight-week covered period. Any reduction of more than 25%
for any employee who makes less than $100,000 will reduce the amount forgiven.
·
Preserve proper documentation to support the
amount of proceeds used for payroll costs, rent or mortgage, and utilities.
·
Prior to June 30, 2020, restore all full-time
employment and salary levels back from any reductions made between Feb. 15,
2020, and April 26, 2020.
As mentioned above, preserving proper
documentation is important, as this information will be used by your lender
when evaluating whether an employer qualifies for PPP loan forgiveness. For
more information regarding loan forgiveness eligibility, click here.
APPLYING FOR LOAN FORGIVENESS
The CARES Act requires employers to apply for loan forgiveness
with the same lender they applied for the PPP loan at the end of the eight-week
period following the disbursement of their loan. When applying for loan
forgiveness, employers will need to provide the following information:
·
The total requested amount to be forgiven
·
Documentation verifying the number and pay rate
of FTEs on payroll, including:
o
Payroll tax filings with the IRS
o
State income, payroll and unemployment insurance
filings
·
Documentation verifying covered mortgage
interest, rent or lease obligations, and utilities
·
Certification from an authorized representative
for the employer that all supplied documentation is true to the fullest extent
possible
·
Certification from an authorized representative
for the employer that the amount requested to be forgiven complies with PPP
guidelines
After submitting an application, lenders must make a decision on
whether an employer’s PPP loan will be forgiven, or how much of the loan will
be forgiven, within 60 days. In some cases, a lender may ask for additional
information. Employers should monitor their application and pay attention to
any requests for additional information. For questions on your company’s loan
forgiveness eligibility or application, contact your lender.
repaying a ppp loan
If your lender does not approve your loan for forgiveness, or
only approves part of your loan for forgiveness, you will be required to repay
your loan. While payments for the loan principal and interest are deferred for
six months, interest will continue to accrue. Loan repayment is due in two
years, and any forgiven amounts are considered nontaxable.
Best practices
If your company has received a PPP loan, there are a few things
you can do to prepare your company for applying for loan forgiveness:
·
Review
your employee data—Understanding and documenting your FTE headcount is
essential, as this data needs to be documented for your forgiveness
application. Be sure to review the number of FTE employees you had on Feb. 15,
2020, and how many you have on June 30, 2020.
·
Meticulously
document and retain information—All expenses paid for with PPP funds should
be documented, and receipts should be retained. Keep this information as
organized as possible, as you’ll need to provide it when you apply for
forgiveness.
·
Understand
forgiveness is not guaranteed—PPP loan forgiveness isn’t guaranteed, as it
is at the discretion of each lender. Additionally, it’s possible that part, but
not all, of your PPP loan will be forgiven. Your company should be prepared to
repay your loan should it not be forgiven.
For further guidance about your specific PPP loan, consult with
your lender.
Additional pandemic guidance
For more information on how your
company can respond to the COVID-19 pandemic, contact Better Business Planning,
Inc..
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