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| Employee Benefits & Executive Compensation Litigation |
409A Update: Action Required by December 31, 2007 - 10/07 Employee Benefits and Executive Compensation October 2, 2007
Richard L. Arenburg Armin G. Brecher Paul F. Concannon Edmund Emerson III Jennifer Faucett Castles R. Hollis Christopher J. Rylands Steven G. Schaffer
on September 10, 2007, the IRS issued Notice 2007-78 (the "Notice") and granted limited relief for bringing nonqualified deferred compensation plans into written compliance with Section 409A of the Internal Revenue Code. However, the Notice still requires most major decisions be made and documented before December 31, 2007.
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Antidilution Provisions Pack a Strong Punch Under Recent Interpretations of FAS 123R - 09/19/06 Employee Benefits & Executive Compensation September 19, 2006
Steven G. Schaffer
According to recent accounting firm interpretations of the Statement of Financial Accounting Standards No. 123R, Share Based Payment adjustment of the terms of equity-based awards following an equity restructuring event could cause companies to recognize significant compensation cost.
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Application of Deferred Compensation Rules under Code Section 409A to Separation Pay Arrangements - 02/06/06 Employee Benefits & Executive Compensation February 6, 2006
Edmund Emerson III Steven G. Schaffer
The Treasury Department and the Internal Revenue Service have issued proposed regulations regarding the application of Section 409A of the Internal Revenue Code to nonqualified deferred compensation plans or arrangements.
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Action Required For New Automatic Rollover Rules - 02/09/05 Employee Benefits & Executive Compensation Client Alert February 9, 2005
Richard L. Arenburg Armin G. Brecher Paul F. Concannon Edmund Emerson III Steven G. Schaffer
Tax-qualified retirement plans are permitted to provide for a mandatory cash-out distribution of a participant's benefit under the plan without the participant's consent following a participant's termination of employment if the benefit is $5,000 or less. The Economic Growth and Tax Relief Reconciliation Act of 2001 ("EGTRRA") changed the rules for mandatory cash-out distributions to participants in tax-qualified retirement plans.
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