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What Real Estate Professionals Need to Know About FinCEN’s New Reporting Rule

Posted on March 2nd, 2026

A new federal rule is changing how certain real estate transactions are handled, and mistakes can be costly.

The Financial Crimes Enforcement Network, part of the U.S. Department of the Treasury, introduced the Residential Real Estate Reporting Rule on March 1, 2026 to increase transparency and reduce money laundering in residential real estate.

Simply put: all-cash home sales where the buyer is a legal entity or trust now require reporting the real people behind the purchase.

If you are in need of assistance with a real estate-related matter, contact our Kalispell, MT real estate litigation lawyers today.

FinCEN Residential Real Estate Reporting Rule Explained

The rule targets non-financed residential transfers (all-cash deals) where the buyer is:

  • A legal entity (LLC, corporation, etc.)
  • A trust

FinCEN has identified these transactions as high-risk for money laundering. By reporting beneficial owners, the rule creates a clearer picture of who actually controls the property.

Which Real Estate Transactions Require Reporting?

If you’re handling a closing for an all-cash residential sale involving a trust or legal entity, this rule applies to you. This includes transactions in which:

  • No mortgage or financing is involved
  • The buyer is not an individual, but a corporation, LLC, or trust

Failing to report could result in severe penalties.

Who Is Responsible for Filing the Reports?

The following professionals are responsible for submitting the Real Estate Report to FinCEN:

  • Title companies
  • Closing agents
  • Real estate attorneys

If you handle settlements or closings, you may be the person accountable for filing.

Tip: Identify who on your team will manage reporting now to prevent last-minute issues.

Key Information That Must Be Reported

Each report must include:

1. Property Information

  • Address and legal description

2. Buyer (Transferee) Information

  • Legal name of the entity or trust
  • Business address
  • Identifying details

3. Beneficial Owner Information

  • Full legal name
  • Date of birth
  • Address
  • Government-issued ID

This applies to any individual who:

  • Owns 25% or more of the entity, or
  • Exercises substantial control

Deadlines and How to File Your Real Estate Report

Visit www.fincen.gov/rre to create an account on FinCEN’S BSA E-Filing System.

All reports must be submitted within 30–60 days after closing.

Pro tip: Start collecting the necessary information before closing to avoid delays or errors.

Penalties for Non-Compliance with FinCEN Rules

Non-compliance carries serious consequences:

  • Civil penalties: Up to $286,000+ per violation
  • Criminal penalties: Fines and possible imprisonment for willful violations

Compliance is not optional. Integrating reporting into your workflow now will protect your business and clients.

How This Rule Impacts Real Estate Professionals

Expect an increase in administrative tasks:

  • Gathering and verifying buyer information
  • More steps during closing
  • Coordinating with clients and entities
  • Higher liability if something is missed

Some transactions may take longer, especially if buyers are reluctant to disclose ownership.

Practical Steps to Ensure Compliance

To stay compliant:

  • Review your current closing process
  • Assign a team member to handle FinCEN reporting
  • Create a standardized checklist for required information
  • Educate clients early about the documents and details you will need

Get Help with FinCEN Reporting Requirements

This rule marks a new era of transparency in real estate. Professionals who adapt quickly and integrate compliance into their workflow will avoid risk and continue serving clients effectively.

If you or your clients need assistance with these new reporting requirements, our real estate attorneys are ready to help. Call Silverman Law Office, PLLC at 406-449-4829 or fill out the contact form below to get started.

CONTACT US

Fill out the form below to get in touch with our legal team or call Bozeman office at (406) 582-8822, Helena office at (406) 449-4829, Big Timber office at (406) 430-6600, or Butte office at (406) 299-8131 to talk to someone right away.

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