Running a business is filled with regulations everywhere you turn.Â These can drain precious time away from the core of your business, but if you ignore them, there could be huge financial consequences you may be risking without even realizing it.Â The best way to handle them is to understand your exposure, consult with any experts you need to bring in, create a checklist, and make sure youâ€™re in compliance.
Hereâ€™s a head start in creating that checklist.Â This is by no means a comprehensive list.Â These items apply to most businesses and are often overlooked.Â Â Go through the list to make sure there arenâ€™t any surprises for your business.Â If there are, feel free to contact us, and weâ€™ll help you find out where to get answers.
1.Â EIC notice to employees.
Itâ€™s now required annually to notify certain employees about the Earned Income Credit so that more people who need it can take advantage of it.Â Â If you have employees, the next deadline for this compliance item is the first week of February 2013 and can be met if you get the right W-2 forms.Â Details are in IRS Publication 15.
2.Â Corporate meeting minutes.
Just about the first thing the IRS will ask for in an audit is your corporate meeting minutes.Â If you are incorporated as a C Corp or S Corp, you need properly formatted and executed documentation of the annual shareholdersâ€™ meeting, even if it is just you.Â The risk in not having it includes a potential increase in tax liability from undocumented deductions.
3.Â PCI compliance.Â
PCI stands for Payment Card Industry, and if you take credit cards, you may have compliance requirements under this industry standard.Â The standard is designed to provide the cardholder with a minimum acceptable level of security, and your requirement is to maintain certain processes and procedures to safeguard the stored credit card data.
4.Â Document retention.
While itâ€™s a great thing to go paperless, you may get caught by surprise if you are not downloading and preserving the items you used to have on paper.Â The IRS and other agencies still need proof of these items in order to approve the deduction.Â This includes invoices that are coming via email in PDFs, bank statements youâ€™ve gone green on, and direct deposit payroll stubs, to name a few.
Fax copies fade after a few years and can catch you by surprise when you go to look up an old record and can no longer read it.Â Itâ€™s best to scan fax receipts in so they will stay readable for the length of the retention period.
Youâ€™ll also want to keep up-to-date on how many years itâ€™s necessary to maintain these items in the case of an audit.
5.Â New hire reporting.
In small business, most of us are hiring so infrequently that itâ€™s easy to forget this one.Â Most state unemployment agencies require that you report new hires within about three weeks of their start date.Â The purpose of this is to track fathers who have missed child support payments.
6.Â Changes in state tax compliance.
As geographic borders disappear and our business expands, we need to regularly re-evaluate state requirements on income, franchise, and sales tax obligations.Â It can be too easy to â€œdo things the way weâ€™ve always done themâ€ and forget that as our business expands into new territories, new obligations can arise.
If weâ€™ve hired a virtual employee in another state, we may have new obligations.Â If weâ€™ve earned money during a speaking engagement in another state, we may have income to report in that state.Â Â Â And, of course, if we open new offices in another state, we have new compliance items to deal with.
7.Â Payroll posters.
Surprisingly, the highest payback item in this list for those of you that have employees may be posting your payroll posters.Â Compliance usually costs less than $100, and the fines avoided can be as much as $17,000, a pretty big dent, no matter how big your small business is.
Small Business Compliance
Did you get caught by any surprises?Â If so, let us know how we can help to bring your business into compliance and help you avoid unnecessary costly risks.