insight-ingle-left-2
insight-ingle-left-3

February 11, 2021

What Nonprofits Need to Know About PPP Round 2

Round 2 of the Paycheck Protection Program (PPP Round 2) loans, part of The Economic Aid Act (the Act), was passed in December. Eligibility for PPP Round 2 loans, up to $2 million, is for small businesses that have:

  • No more than 300 employees
  • Used or will use the full amount of the original PPP loan on or before the expected date of Round 2 PPP loan being received
  • A 25% or more reduction in gross revenues on all or part of comparable quarters in 2019 and 2020

Eligibility expanded to include most 501(c)(6) organizations who meet the eligibility criteria and do not receive more than 15% of their revenue from lobbying.

The Act also simplified the forgiveness process for smaller loans up to $150,000 through SBA Form 3508S. Borrowers must maintain all records for compliance as they remain subject to audit, which may result in modification to the forgiveness amount.

Eligible Expenses

Eligible expenses have expanded under PPP Round 2. The difference in covered expenses between the Round 2 and original PPP loans are as follows:

Accounting for PPP Loans

The two accounting options available for nonprofit organizations are to present the loans as debt under ASC 470 or as a conditional contribution under ASC 958-605 (nonprofit accounting). A comparison of the two accounting models is summarized below.

If you have any questions about PPP loans please contact our team.

This communication is intended to provide general information on COVID-19-related measures as of the date of this communication and may reference information from reputable sources. Although our firm has made every reasonable effort to ensure that the information provided is accurate, we make no warranties, expressed or implied, on the information provided. As COVID-19-related efforts are still ongoing, we expect that there may be additional guidance and clarification from regulators that may modify some of the provisions in this communication. Some of those modifications may be significant. As such, be aware that this is not a comprehensive analysis of the subject matter covered and is not intended to provide specific recommendations to you or your business with respect to the matters addressed.

Sarah McConnell

Sarah McConnell

Partner

What Nonprofits Need to Know About PPP Round 2

Round 2 of the Paycheck Protection Program (PPP Round 2) loans, part of The Economic Aid Act (the Act), was passed in December. Eligibility for PPP Round 2 loans, up to $2 million, is for small businesses that have:

  • No more than 300 employees
  • Used or will use the full amount of the original PPP loan on or before the expected date of Round 2 PPP loan being received
  • A 25% or more reduction in gross revenues on all or part of comparable quarters in 2019 and 2020

Eligibility expanded to include most 501(c)(6) organizations who meet the eligibility criteria and do not receive more than 15% of their revenue from lobbying.

The Act also simplified the forgiveness process for smaller loans up to $150,000 through SBA Form 3508S. Borrowers must maintain all records for compliance as they remain subject to audit, which may result in modification to the forgiveness amount.

Eligible Expenses

Eligible expenses have expanded under PPP Round 2. The difference in covered expenses between the Round 2 and original PPP loans are as follows:

Accounting for PPP Loans

The two accounting options available for nonprofit organizations are to present the loans as debt under ASC 470 or as a conditional contribution under ASC 958-605 (nonprofit accounting). A comparison of the two accounting models is summarized below.

If you have any questions about PPP loans please contact our team.

This communication is intended to provide general information on COVID-19-related measures as of the date of this communication and may reference information from reputable sources. Although our firm has made every reasonable effort to ensure that the information provided is accurate, we make no warranties, expressed or implied, on the information provided. As COVID-19-related efforts are still ongoing, we expect that there may be additional guidance and clarification from regulators that may modify some of the provisions in this communication. Some of those modifications may be significant. As such, be aware that this is not a comprehensive analysis of the subject matter covered and is not intended to provide specific recommendations to you or your business with respect to the matters addressed.

Sarah McConnell

Sarah McConnell

Partner