On May 15, 2020, the Small Business Administration (SBA), issued Release Number 20-41,¹ announcing that the: (1) SBA and the Department of the Treasury had released the Paycheck Protection Program (PPP) Loan Forgiveness Application and corresponding instructions, and (2) SBA will “soon issue regulations and guidance to further assist borrowers as they complete their applications, and to provide lenders with guidance on their responsibilities.”²
The newly released application, along with the instructions, provides some long-awaited clarification for how forgiveness will work. However, many major issues remain unresolved by this limited amount of guidance—and some new questions have arisen as a direct result of the application and instructions.
Borrowers are required to complete the newly released multi-part application, per the instructions, and then submit it to the lender. While we await the promised “soon” forthcoming regulations and guidance, we want to share with our readers key highlights found within the application and instructions:
The instructions provide the following example:
If the Borrower received its PPP loan proceeds on Monday, April 20, the first day of the Covered Period is April 20 and the last day of the Covered Period is Sunday, June 14.“
The instructions provide the following example:
If the Borrower received its PPP loan proceeds on Monday, April 20, and the first day of its first pay period following its PPP loan disbursement is Sunday, April 26, the first day of the Alternative Payroll Covered Period is April 26 and the last day of the Alternative Payroll Covered Period is Saturday, June 20.“
If you have questions or concerns regarding how you can take advantage of Paycheck Protection Program Loan Forgiveness, call Frost Law today at (410) 862-2890.
On May 15, 2020, the Small Business Administration (SBA), issued Release Number 20-41,¹ announcing that the: (1) SBA and the Department of the Treasury had released the Paycheck Protection Program (PPP) Loan Forgiveness Application and corresponding instructions, and (2) SBA will “soon issue regulations and guidance to further assist borrowers as they complete their applications, and to provide lenders with guidance on their responsibilities.”²
The newly released application, along with the instructions, provides some long-awaited clarification for how forgiveness will work. However, many major issues remain unresolved by this limited amount of guidance—and some new questions have arisen as a direct result of the application and instructions.
Borrowers are required to complete the newly released multi-part application, per the instructions, and then submit it to the lender. While we await the promised “soon” forthcoming regulations and guidance, we want to share with our readers key highlights found within the application and instructions:
The instructions provide the following example:
If the Borrower received its PPP loan proceeds on Monday, April 20, the first day of the Covered Period is April 20 and the last day of the Covered Period is Sunday, June 14.“
The instructions provide the following example:
If the Borrower received its PPP loan proceeds on Monday, April 20, and the first day of its first pay period following its PPP loan disbursement is Sunday, April 26, the first day of the Alternative Payroll Covered Period is April 26 and the last day of the Alternative Payroll Covered Period is Saturday, June 20.“
If you have questions or concerns regarding how you can take advantage of Paycheck Protection Program Loan Forgiveness, call Frost Law today at (410) 862-2890.