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By Robert J. Waine, Esquire
Rothman Gordon
Pittsburgh, Pennsylvania

On November 18, 2020, the IRS issued Revenue Ruling 2020-27 and Revenue Procedure 2020-51, which clarify the deductibility of otherwise deductible expenses where the taxpayer reasonably expects to receive forgiveness of a PPP loan based in part on those expenses. Section 1106(i) of the CARES Act excludes from gross income any amount forgiven from a PPP loan. Revenue Ruling 2020-27 addresses the situation where the borrower pays the expense in 2020, but does not receive forgiveness of the PPP loan until 2021. Revenue Procedure 2020-51 provides a safe harbor for borrowers whose PPP loan is not forgiven, or who choose not to request loan forgiveness.

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