SBA Updates PPP Loan Forgiveness Process for PPPFA Changes
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It’s been a busy week for those of us involved with the Paycheck Protection Program (“PPP”). Late Tuesday evening, the Small Business Administration (“SBA”) and Treasury released an updated PPP Loan Forgiveness Application, a simplified Application, and instructions for both to account for the changes to PPP in the new Payroll Protection Program Flexibility Act of 2020 (“PPPFA”). SBA also issued changes to the Third and Sixth Interim Final Rules (“IFR”), foreshadowing changes to other IFRs in the not too distant future.

As noted above, there are two versions of the Loan Forgiveness Application. (Here’s the EZ Form and its instructions (hard to believe the word EZ and PPP go together) and the standard form and its instructions). 

The guidance does provide more flexibility and some clarity, but still leaves some questions unanswered and even manages to raise some new ones. The highlights are:

Extension of the Covered Period

More can be spent on non-payroll costs

The “cure” period is longer and the requirements are easier to meet

Payroll costs and Owners’ compensation

More time to repay loans that aren’t forgiven

One very significant new unanswered question is based on an inference drawn from the application. It appears as if extending the Covered Period to 24 weeks greatly increases the likelihood of full forgiveness. The instructions say to include “total eligible payroll costs incurred or paid during the Covered Period.” The loan was based on 2 ½ months (10 weeks) of payroll but the forgiveness would be based on 24 weeks of payroll resulting in a pool of forgivable expenses more than double the actual loan. Even if a borrower can’t retain all its FTEs, it might still be possible to get 100% forgiveness. This may have been the intent of Congress but we recommend waiting for further guidance before relying on this “gift.”