SBA Releases PPP Forgiveness Guidance

Teacher Tax Break

Written by Curt Bach

May 29, 2020

The biggest attraction for the Paycheck Protection Program loan—besides the one percent interest rate—was the ability to get loan forgiveness. The initial guidance from the Small Business Administration (SBA) provided that the amount of payroll costs and allowable non-payroll costs paid over an eight-week period of time was forgivable. However, both lenders and borrowers had many questions about how this forgiveness would be calculated. Late on May 15, 2020, the SBA released the long-awaited PPP forgiveness guidance along with the loan forgiveness application.

PPP Loan Forgiveness Application

To apply for forgiveness, Paycheck Protection Program loan borrowers must complete this application and submit it to the lender servicing the loan. This application can be completed electronically through the lender.


View Application

Long-Awaited Answers

With the release of the PPP loan forgiveness guidance, answers finally were provided. Here is a summary of the guidance:

  • First, the SBA provided that the eight-week period of time starts when you get the money from the loan. Employers also can move the eight-week period of time to coincide with the next payroll if they choose.
  • Expenses and wages paid during the eight-week period of time are included in the forgiveness calculation EVEN IF the cost was incurred before the eight-week covered period.
  • Payroll and covered expenses incurred during the eight-week period can be included in the forgiveness calculation EVEN IF the payment is made at the next regular time to pay that expense.  PPP participants do NOT have to quickly pay everything in that eight-week period of time.
  • The forgiveness application confirmed that, 75 percent of the forgivable portion of the PPP loan must be for payroll and payroll-related costs.
  • The maximum PPP loan forgiveness is reduced by any reduction in full-time equivalents (FTE) and any reduction in average annual salary in the eight-week covered period versus several other periods which are outside of the relief period (beginning on March 27, 2020). The SBA loan forgiveness guidance provides for several points in time to calculate full-time equivalents and average annual salary.
  • There are also several instances where “safe harbors” are provided, in which employers can rectify a potential reduction in loan forgiveness amount.

Looking Forward: More Questions and a Few Surprises

The PPP loan forgiveness guidance did include a few surprises—and yet more unanswered questions.

  • The amount of loan forgiveness is reduced by any amount of Economic Injury Disaster Loan (EIDL) Grant that a taxpayer receives.
  • Another surprise is an interpretation by the SBA that payroll costs paid for owners are not included in the forgivable amount.
  • The guidance was silent regarding payments to related parties for rent and mortgage interest.  However, we believe that these amounts are includible as long as the expense is ordinary and necessary.
  • Also unanswered are questions regarding the calculation period when the eight-week period of time extends beyond June 30, 2020—the original ending period for the PPP loans.

It does not take much time to pick up your pencil and start working on the application before more questions arise. The biggest question of all is: What does a business do if it was unable to open due to being a nonessential business?

What Happens Next?

Congress is working right now to expand the PPP program. Bipartisan groups in Congress are pushing for:

  • An expansion of the eight-week period of time to cover businesses that are closed.
  • A possible removal of the 75 percent payroll costs requirement for forgiveness, and
  • An expansion of what expenses can be covered by the PPP. Congress is recognizing that perhaps businesses need to be able to cover their overhead, and not just payroll …

Congress Continues to Tweak the PPP

As of June 8, 2020, Congress passed and the President signed the Paycheck Protection Program Flexibility Act of 2020. Find out what this means for businesses.


Read the Article

Applying for Loan Forgiveness: You Have Time

Despite these pending questions and answers yet to be seen, one thing is very clear: The calculation for forgiveness is very time-consuming and must be well-documented with payroll tax filings and proof of payment. Calculations of potential reductions in forgiveness must be calculated on a per-employee basis. That is not too bad if you have, say, five employees, but onerous if you have 150 employees or more. Being organized is key, and businesses should keep track of coverable expenses throughout the eight-week period.

The application for loan forgiveness does not have to be presented to your lender at a set period of time. The lender has 60 days to process your application for forgiveness and payments on the PPP are suspended for six months. You have time.

How We Can Help

Our advice to you is to keep on top of your numbers, know where you are headed for forgiveness and wait for more guidance. We anticipate that during the next month we will get more answers to our questions. As my mother always said, “Good things come to those who wait.” In this case, I think that’s good advice.

As always, your advisors at Hawkins Ash CPAs are here to help you navigate these and many more issues your business may be experiencing due to the COVID-19 pandemic.

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Curt Bach
I joined Hawkins Ash CPAs in August 2010, and am currently the Director of Tax. From the Firm's Medford office, I provide a variety of tax services, including trust and estate tax preparation and planning. I provide these services to small business, individual, trust, estate, and non-profit clients.

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