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New FinCEN Rule, Residential Real Estate Reporting Rule

Starting March 1, 2026, certain residential real estate transactions will be subject to mandatory reporting to the Financial Crimes Enforcement Network (FinCEN).

We will be required to report to FinCEN when:

The required reporting also applies to no consideration transactions.

Due to these new requirements, it is critical that we know well in advance of closing whether the Buyer is a corporation, LLC, other legal entity, or trust. Any late changes to Buyer structure may result in closing delays.

Background

This new rule is based on the overwhelming success of FinCEN’s Geographic Targeting Orders (GTOs), but now rolled out nationwide. This new rule replaces the GTO program and requires more detailed information than was previously collected.

Information That Will Be Required

To comply with the FinCEN reporting requirements, we will be asking both Buyers and Sellers for information beyond what we typically gather, including the following:

This information is required to be in compliance with FinCEN. Failure to comply can result in civil and criminal penalties, including incarceration. Therefore a closing will not be scheduled until all required information is provided.

Helpful Resources

Here are some helpful links if you would like more information about the RER Rule:

The Buyer Collection Form – all the data fields required for buyer(s)

The Seller Collection Form – all the data fields required for seller(s)

Real Estate Reporting Rule Exemption Checker

FinCEN Fact Sheet

Additional FinCEN Resources

We wanted to share this information in advance so you and your clients can prepare for these new requirements. There will be more information as we approach the March 1, 2026 starting date. If you have a current transaction that meets the criteria for reporting to FinCEN, we will be reaching out to you soon!

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