spartytax Posted February 12, 2015 Share Posted February 12, 2015 The shareholders of a closely held entity want to become the assignee of a deferred compensation arrangement with respect to one individual (they would be on the hook for satisfying all obligations under the arrangement). I have not found anything in the 409A regs that would prevent this, am I missing anything? Who would be responsible for the tax reporting/withholding? Link to comment Share on other sites More sharing options...
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