My client is an S-corp that is registered as a corporation with the Ohio Secretary of State. The corporation changed its name from ABC Inc. to XYZ Inc., by filing the proper documents with the office of the Ohio Secretary of State.
As I'm sure everyone here knows, the name change does not require a new EIN.
The bank that has the company's primary checking account is demanding that the company provide a "letter from the IRS" stating that XYZ Inc. can "operate under the EIN" that was issued to ABC Inc.
I have never seen such a letter, and I am not sure how to go about obtaining one. IRS instructions state that the proper procedure for reporting a change in the name of a corporation is to simply file a tax return with the new name (and the same EIN), or to send a letter to the address where tax returns are filed. Will sending such a letter generate a written response from the IRS?
I politely told the banker that I think they are asking for something that does not exist. When pressed, she finally admitted that she has never seen such a letter, either. But she said she has seen a similar letter issued to sole proprietors who are using a fictitious name (i.e., "doing business as" registration with the state), where the letter states that the business may use the proprietor's SSN. She also claimed that she had confirmed with the bank's legal department that this letter is required. Therefore, in her mind, it must exist.
Ultimately, however, she admitted that the letter does not really need to state that XYZ Inc. can use the EIN issued to ABC Inc. Rather, it will be sufficient if my client can produce any letter from the IRS that has the new name and the EIN. And after checking with her legal department, she also told me that they would accept a copy of a signed 941 with the new name and the EIN. So that may be our solution.
Has anyone else encountered this kind of nonsense?
We have a certified copy of the corporate name change filed with the Secretary of State. IRS Publication 1635 states clearly that a corporation may change its name and continue using the same EIN. Why isn't this sufficient?
The banker claims that the documentation they are seeking is required by the banking regulators, i.e., FDIC, OCC, etc.
I would love to ask the bank to produce documentation to support this claim, because I don't think it's accurate. But if they will accept a 941, I'm not going to take this any further.
BMK
As I'm sure everyone here knows, the name change does not require a new EIN.
The bank that has the company's primary checking account is demanding that the company provide a "letter from the IRS" stating that XYZ Inc. can "operate under the EIN" that was issued to ABC Inc.
I have never seen such a letter, and I am not sure how to go about obtaining one. IRS instructions state that the proper procedure for reporting a change in the name of a corporation is to simply file a tax return with the new name (and the same EIN), or to send a letter to the address where tax returns are filed. Will sending such a letter generate a written response from the IRS?
I politely told the banker that I think they are asking for something that does not exist. When pressed, she finally admitted that she has never seen such a letter, either. But she said she has seen a similar letter issued to sole proprietors who are using a fictitious name (i.e., "doing business as" registration with the state), where the letter states that the business may use the proprietor's SSN. She also claimed that she had confirmed with the bank's legal department that this letter is required. Therefore, in her mind, it must exist.
Ultimately, however, she admitted that the letter does not really need to state that XYZ Inc. can use the EIN issued to ABC Inc. Rather, it will be sufficient if my client can produce any letter from the IRS that has the new name and the EIN. And after checking with her legal department, she also told me that they would accept a copy of a signed 941 with the new name and the EIN. So that may be our solution.
Has anyone else encountered this kind of nonsense?
We have a certified copy of the corporate name change filed with the Secretary of State. IRS Publication 1635 states clearly that a corporation may change its name and continue using the same EIN. Why isn't this sufficient?
The banker claims that the documentation they are seeking is required by the banking regulators, i.e., FDIC, OCC, etc.
I would love to ask the bank to produce documentation to support this claim, because I don't think it's accurate. But if they will accept a 941, I'm not going to take this any further.
BMK
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