COVID-19 UPDATE: Paycheck Protection Program – What Employers Need to Know

by Mike DeBlasi | April 3, 2020 1:13 pm

Congress passed the CARES Act (the “Act”) last week, with the intent of stimulating and providing emergency relief to the American economy. One component of the Act that is designed to provide immediate relief to employers is the Paycheck Protection Program (“PPP”). The PPP, outlined in §1102 of the Act[1], allocates $349 billion to disburse loans of up to $10 million to qualifying employers. Those employers will use the funds to cover immediate financial obligations over the next few months. The loan can be used to cover payroll costs, rent, mortgage interest, and utility costs. Moreover, if an employer uses most of that loan to keep paying employees, all of the loan could be forgiven by the SBA. See §1106 of the Act[2].

Since the purpose of the Act was to get immediate relief out to the economy, the SBA has been working to keep up with the aggressive timelines set by the Administration and Congress. Small businesses and sole proprietorships are able to apply for loans starting today (April 3), but the SBA only released an interim final rule (the “Rule”) yesterday (April 2). The SBA published the Rule[3] on the Treasury website. The Rule is effective immediately, but public comments will be accepted for the next 30 days. As a result of the timing of the release of the Rule, it is unclear whether banks will be able to accept and process applications today. But even if banks and lenders are not able to accept applications today, employers should be ready to submit applications ASAP.

Here’s what employers should know about the PPP program:

Loan Application

Loan Forgiveness[2][5]

In summary, the Paycheck Protection Program can be a useful tool for small businesses and non-profit organizations to weather these uncertain times. While all parties involved in rolling out the PPP, including the SBA and the banks, are working hard to get this program up and running, there is still uncertainty about the specific rules and regulations surrounding the program. Eligible businesses and other organizations should continue to monitor changes and developments surrounding the program.

[1][7] Payroll costs for employees who make more than $100,000 per year can be included in the payroll calculation, but are capped at $100,000. This is explained on Page 8 in the Rule.
[2][8] The SBA has indicated that it will issue further guidance on loan forgiveness. The information below is from the Rule and the text of the Act.
[3][9] The Rule does not include any guidance on how this would be calculated. But see §1106(d)(3)(A) of the Act.

 

Endnotes:
  1. §1102 of the Act: https://www.congress.gov/116/bills/hr748/BILLS-116hr748enr.xml#toc-HCCF2DA7CBD6341059EAB97C24489743B
  2. §1106 of the Act: https://www.congress.gov/116/bills/hr748/BILLS-116hr748enr.xml#toc-HB37C431F57484034A3D8B58B1EC16623
  3. Rule: http://(https://home.treasury.gov/system/files/136/PPP--IFRN%20FINAL.pdf)
  4. [1]: #_ftn1
  5. [2]: #_ftn2
  6. [3]: #_ftn3
  7. [1]: #_ftnref1
  8. [2]: #_ftnref2
  9. [3]: #_ftnref3

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