Company Secretarial

New mandatory identity verification requirement for directors

Jillian O'Sullivan
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The Companies (Corporate Enforcement Authority) Act 2021 contains a provision, which requires the directors of Irish companies to provide their Personal Public Service (PPS) numbers on certain documents submitted to the Companies Registration Office (CRO) in order to allow for verification of a director’s identity. 

The CRO has announced that this requirement is effective from 23 April 2023.

What does this mean for directors?

All directors of Irish companies will be required to provide their Personal Public Service (PPS) number to the CRO when filing the following forms: 

  • Form A1 – Incorporation Application;
  • Form B1 – Annual Return;
  • Form B10 – Change of company officers or their particulars; and
  • Form B69 – Notice of cessation of company officer where a company has failed to file the notice. 

What will the CRO do with the PPS Numbers?

The CRO will verify the director's first name, surname, date of birth and PPS number submitted electronically with the data held by the Department of Social Protection. In order for there to be a match between the two sets of data, the first name and surname submitted to the CRO must exactly match the names associated with that PPS number in the Department of Social Protection’s (DSP) database.

The CRO has confirmed that it reserves the right to reject any submission where there are discrepancies between the information submitted and the information held by the DSP. Such rejections could lead to late filing penalties, delays in meeting the Annual Return filing dates and possible loss of audit exemption.

Will the CRO retain a director’s PPS numbers?

When the PPS number filed with the CRO has been validated, it will be retained securely in an irreversible hashed/encrypted format and stored securely. PPS numbers will not be accessible by any employee of the CRO or any other party, and it will never be shared with any third party. The CRO will then match the hashed/encrypted version of the PPS numbers to future filings and this should avoid duplication of director records.

What will happen if a director has no PPS number?

If a director does not have an Irish PPS number, then they must apply for a Verified Identity Number (VIN) by completing a Form VIF (Declaration as to Verification of Identity) and filing this with the CRO. The Form VIF must state the name, date of birth, nationality and address of the director and it must be sworn in the presence of a notary in the home country of the director. Digital or electronic signatures cannot be accepted on the VIF.

Once the Form VIF has been processed successfully, a VIN will be issued by the CRO to the Director and the presenter of the VIF. The VIN must then be used for all future CRO filings for any company to which that director is appointed. If a director does not have a PPS number but has previously been issued with an RBO number for filings made with the Central Registrar of Beneficial Owners (RBO), then the director can use their RBO number as their VIN for CRO filings.  The VIF will not be available publically on the CRO searching system.

Are there sanctions for non-compliance?

If any person fails to comply with this new requirement, he or she shall be guilty of a category four offence which can result in the imposition of a fine of €5,000. It will also mean a company cannot complete their filings and could suffer late filing penalties and possible loss of audit exemption. 

What is next?

If they have not already done so, now is the time for companies to start collating the PPS numbers or RBO numbers of their directors and establish whether any of their directors will need to apply for a VIN. The Form VIF is available on CORE. To avoid any unnecessary delays with filings, directors and their company secretarial providers should undertake a review of the information held about them by the CRO (e.g. first name and surname) and identify any inconsistencies between such information and the data held by the DSP.