ARTICLE
27 May 2020

IRS Notice 2020-32: Payment Of Expenses That Result In PPP Loan Forgiveness Are Not Deductible

FH
Foley Hoag LLP

Contributor

Foley Hoag provides innovative, strategic legal services to public, private and government clients. We have premier capabilities in the life sciences, healthcare, technology, energy, professional services and private funds fields, and in cross-border disputes. The diverse experiences of our lawyers contribute to the exceptional senior-level service we deliver to clients.
As we have previously discussed, the CARES Act created the Paycheck Protection Program, pursuant to which employers may be able to obtain loans ("PPP loans")
United States Coronavirus (COVID-19)
Foley Hoag LLP are most popular:
  • within Media, Telecoms, IT, Entertainment and Tax topic(s)

As we have previously discussed, the CARES Act created the Paycheck Protection Program, pursuant to which employers may be able to obtain loans ("PPP loans") to help cover business expenses during the COVID-19 pandemic. Under the CARES Act, PPP loans may be partially or wholly forgiven if the proceeds are used to cover certain expenses, and the employer is not subject to tax on such loan forgiveness.

The CARES Act, however, did not address whether the business expenses that result in PPP loan forgiveness will be deductible for tax purposes. The IRS answered this question in Notice 2020-32, which was released on April 30th. In the Notice, the IRS concludes that when the payment of business expenses results in the forgiveness of a PPP loan, such as payroll costs or rent, those business expenses will not be deductible for tax purposes. According to the IRS, this treatment prevents a "double tax benefit" and is consistent with Section 265(a)(1) of the Internal Revenue Code, which generally provides that no tax deduction is available for expenses that are paid with tax-exempt dollars.

Originally published May 1, 2020.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More