On November 29, the U.S. Treasury Department’s Financial Crimes Enforcement Network issued a final rule aimed to ease compliance with certain aspects of the regulations promulgated under the Corporate Transparency Act. The final rule extends the deadline from 30 days to 90 days for entities created or registered during 2024
Portia Proctor
Portia Proctor is an associate in the Litigation Department and a member of the firm’s White Collar Defense and Investigations Group. Portia’s experience includes a secondment at the New York City Law Department, where she was a Special Assistant Corporation Counsel in the General Litigation Division handling motions, depositions, and settlement negotiations.
During law school, Portia was an extern at Innocence Canada, where she advocated for wrongfully convicted individuals, and at the Ontario Neurotrauma Foundation, where she assisted the Board of Directors with a revision of its by-laws.
Prior to law school, Portia authored a comprehensive report exploring trends in the rulings of the Supreme Court of Canada and the Justices’ voting patterns since 2000. The report was cited in the Court’s Annual Statistics Report. Portia also served as a Special Assistant to a Member of Parliament in the House of Commons of Canada.
Portia maintains an active pro bono practice. She has worked with Sanctuary for Families in securing protection for victims of domestic violence, and she supports the New York Courts’ Pandemic Practices Working Group in its examination of the Court system’s response to COVID-19 in an effort to improve access to justice.
Shining a Light on the Corporate Transparency Act: FinCEN’s Rules for Beneficial Ownership Reporting
On January 1, 2021, Congress enacted the Corporate Transparency Act as part of the Anti-Money Laundering Act of 2020 to “better enable critical national security, intelligence, and law enforcement efforts to counter money laundering, the financing of terrorism, and other illicit activity.” FinCEN issued the final rule on Beneficial Ownership…