IRS limits loan forgiveness in Paycheck Protection Program

The Internal Revenue Service guidance caused some consternation among some small businesses and tax experts.

The Internal Revenue Service released guidance this month to clarify the accounting treatment of payments under the Paycheck Protection Program and caused some consternation among some small businesses and tax experts. Many business owners who applied for loans under the PPP had the expectation the loans would be forgiven as long as their employees were paid for eight weeks, and the businesses would be able to write off their expenses as they traditionally have been able to do. The guidance puts this in doubt.

Notice 2020-32 clarifies that no deduction is allowed under the Internal Revenue Code for an expense that is otherwise deductible if the payment of the expense results in forgiveness of a covered loan under the CARES Act. The income associated with the forgiveness is excluded from gross income.

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Sarah Horn of Thomson Reuters

Sarah Horn, M.Acc., J.D., is an editor with Checkpoint Catalyst within Thomson Reuters Tax & Accounting. Before joining Thomson Reuters, Sarah was a tax attorney at ExxonMobil, where her work included a variety of state and federal tax matters. Sarah received her B.A. and B.S. from Southern Methodist University, summa cum laude, her Master of Accounting from The Ohio State University Fisher College of Business, and her J.D. from The Ohio State University Moritz College of Law, cum laude. Sarah is admitted to the State Bar of Texas.

Dr. Louise Beaumont

Dr. Louise Beaumont advises Publicis.Sapient and their clients on the open future. Beaumont co-chairs techUK’s open banking and payments working group, making the case for successful implementation of open banking, and she is also a member of the New Payments System Operator’s End User Advisory Council, advising on fintech. She can be reached on Twitter @LouiseHBeaumont.

Carolyn Hall

Carolyn Hall, CPA, MBA is the leader of the FWRD group at Wiss where her strong ability to understand each FWRD client's needs provides immeasurable benefits to the business owners as they grow. FWRD clients say that Carolyn's advisory services and strong relationships with them ensures the highest standards of service and results for their business.

Carolyn works with clients in various commercial industries, real estate and media and technology companies, as well as professional service industries including advertising agencies, law firms and medical practices.

Additionally, Carolyn is on the advisory council for the Intacct Accountants Program and Bill.com advisory board. As a member of these two cloud accounting focus groups, Carolyn is able to expand her knowledge base and have direct input on the rapidly advancing industry. She is also an active member of the Wiss Women's Leadership Forum.

Under section 1106(b) of the CARES Act, a recipient of a covered loan can receive forgiveness of indebtedness on the loan in an amount equal to the sum of payments made for the following expenses — payroll costs, any payment of interest on any covered mortgage obligation, any payment on any covered rent obligation and any covered utility payment — during the eight-week “covered period” beginning on the covered loan’s origination date.

The Paycheck Protection Program was designed to provide economic relief for businesses in the wake of COVID-19. If the requirements of section 1106(b) are met, PPP proceeds are excluded from taxable income and the corresponding PPP expenses that are essentially being reimbursed are not tax deductible despite being classified as ordinary expenses under section 162 of the Tax Code. Thus, PPP funding is a tax-exempt “wash” — PPP expenses are not tax deductible to the extent of tax-exempt PPP income. Since “PPP wages” are not currently tax deductible under the program, it will be interesting to see how businesses will be directed to prepare W-2s for 2020.

The CARES Act provides for the payment of fees from PPP funds for the processing of applications on a sliding scale beginning at a rate of 5 percent for loans up to $350,000. These fees have generally become earmarked for banks and other financial institutions despite the hope that many accounting and legal professionals would be eligible for these fees for services rendered in assisting clients to generate the needed paperwork throughout the application process. Banks are receiving tens of millions of dollars in fees from PPP funds to process loans for which they are not at risk. Banks are also collecting transfer fees from PPP funds when these proceeds are wired into business accounts.

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The CARES Act legislation stimulus checks were processed based upon Form 1040 filings — essentially bypassing an application process. Similarly, perhaps PPP funding would be more efficiently disbursed if allocations were based upon prior Form 941 filings instead of assessing the same payroll information through a costly application process. Another relief measure would be to allow businesses to take tax deductions for PPP expenses despite the tax-exempt nature of PPP proceeds.

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