Earlier this morning, Wednesday, June 17, the Small Business Administration and Treasury Department issued official new guidance on the Forgiveness portion of the Paycheck Protection Program.
This new guidance, issued on the tail of Senate testimony last week, most notably creates a new EZ application and also includes a new interim final rule, as well as a revised standard application.
While our team will be providing an in-depth analysis of the new guidance during a special, dedicated Q&A session tomorrow—register here—here are the top-level takeaways every bank and credit unions should be aware of immediately.
New Application Form 3508EZ
The EZ form is a simplified application that reduces complexity for forgiveness calculations and documentation, including removing the necessity for the Schedule A Worksheet. There is no loan size restriction for using the 3508EZ. Any borrower who meets the below criteria is eligible to use the EZ form, including those who:
Revised Application Form 3508
The revised Form 3508 includes terms and timing changes set forth in the Flexibility Act. Key forgiveness application changes include:
New Interim Final Rule
This new Interim Final Rule provides revisions to the Third IFR regarding eligibility criteria and the Sixth IFR regarding disbursements based on the provisions outlined in the Flexibility Act. Key details include:
To help, we’re continuing to dedicate some of our Weekly Insights Sessions to providing in-depth analysis on updates to the Paycheck Protection Program for banks and credit unions.
The next PPP Q&A session will be tomorrow, June 18 at 3:30PM ET. Save your seat now.