Vol. XIX, Issue 27

May 14, 2020

CARES Act Update—SBA Clarifies Safe Harbor for PPP Loan Certification; Extends Deadline

On May 13, the Small Business Administration (SBA) and Department of Treasury (Treasury) issued a new FAQ #46 regarding the certification of economic need that borrowers make in applying for Paycheck Protection Program (PPP) loans under the Coronavirus Aid, Relief and Economic Security Act (CARES Act).

Under the safe harbor created by FAQ #46, recipients of PPP loans under $2 million are deemed to have made their certification in good faith. As the SBA noted in earlier FAQ #37, loans over $2 million will be reviewed. It is important to note that the SBA also retains the right to review loans under $2 million; such review may be related to other clarifications, for example, the loan being made to a publicly traded company. Also important is clarification that borrowers with loans larger than $2 million may still have an adequate basis for making the required good-faith certification, based on their individual circumstances and in light of the language of the certification and SBA guidance.

New FAQ #46—Clarifies Good Faith Certification

46. Question: How will SBA review borrowers’ required good-faith certification concerning the necessity of their loan request?

46. Answer: When submitting a PPP application, all borrowers must certify in good faith that “[c]urrent economic uncertainty makes this loan request necessary to support the ongoing operations of the Applicant.” SBA, in consultation with the Department of the Treasury, has determined that the following safe harbor will apply to SBA’s review of PPP loans with respect to this issue: Any borrower that, together with its affiliates, received PPP loans with an original principal amount of less than $2 million will be deemed to have made the required certification concerning the necessity of the loan request in good faith.

SBA has determined that this safe harbor is appropriate because borrowers with loans below this threshold are generally less likely to have had access to adequate sources of liquidity in the current economic environment than borrowers that obtained larger loans. This safe harbor will also promote economic certainty as PPP borrowers with more limited resources endeavor to retain and rehire employees. In addition, given the large volume of PPP loans, this approach will enable SBA to conserve its finite audit resources and focus its reviews on larger loans, where the compliance effort may yield higher returns.

Importantly, borrowers with loans greater than $2 million that do not satisfy this safe harbor may still have an adequate basis for making the required good-faith certification, based on their individual circumstances in light of the language of the certification and SBA guidance. SBA has previously stated that all PPP loans in excess of $2 million, and other PPP loans as appropriate, will be subject to review by SBA for compliance with program requirements set forth in the PPP Interim Final Rules and in the Borrower Application Form. If SBA determines in the course of its review that a borrower lacked an adequate basis for the required certification concerning the necessity of the loan request, SBA will seek repayment of the outstanding PPP loan balance and will inform the lender that the borrower is not eligible for loan forgiveness. If the borrower repays the loan after receiving notification from SBA, SBA will not pursue administrative enforcement or referrals to other agencies based on its determination with respect to the certification concerning necessity of the loan request. SBA’s determination concerning the certification regarding the necessity of the loan request will not affect SBA’s loan guarantee.

The new clarifications appear helpful for many Church borrowers.

Safe Harbor Deadline Extended Again—May 18

As mentioned in the May 7, 2020 On Board Express, Treasury last week extended the safe harbor deadline for PPP loan recipients to decide whether or not to return their loans to May 14, 2020. In the wake of yesterday’s guidance on certification for PPP loans (FAQ #46), Treasury and the SBA again updated (seemingly in the middle of the night) the FAQs by adding a new FAQ #47, which now extends the safe harbor for borrowers to return loan proceeds to May 18, 2020.

47. Question: An SBA interim final rule posted on May 8, 2020 provided that any borrower who applied for a PPP loan and repays the loan in full by May 14, 2020 will be deemed by SBA to have made the required certification concerning the necessity of the loan request in good faith. Is it possible for a borrower to obtain an extension of the May 14, 2020 repayment date?

47. Answer: Yes, SBA is extending the repayment date for this safe harbor to May 18, 2020, to give borrowers an opportunity to review and consider FAQ #46. Borrowers do not need to apply for this extension. This extension will be promptly implemented through a revision to the SBA’s interim final rule providing the safe harbor.

Full text of the Treasury FAQs regarding PPP loans can be found here: (FAQs #46 and #47 are on pages 16-17).

Updated PPP Resources for UMC Employers

Wespath continues to partner with the General Council on Finance and Administration (GCFA) to analyze CARES Act guidance—particularly as it applies to local churches, annual conferences and other UMC employers. Accordingly, we have updated these documents:

We expect additional guidance soon from Treasury and SBA about PPP loan forgiveness, and will update our FAQs once that is published.

Weekly Updates to Participants

This week's participant e-blast communication was sent yesterday, May 13. It highlights security risks from reported increases in cybercrime, sharing ways to avoid falling victim to phone and text scams. Chief Investment Officer Dave Zellner also shares investment market news in a video summarizing the Monthly Investment Report and a video showcasing how Wespath has engaged with the global community to ensure the economic recovery from COVID-19 fosters social cohesion, prosperity for all and environmental health. Click here to view the full email.


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