Jump to content

Recommended Posts

Posted

Does anyone know if the IRS has prescribed (or hinted at) a definition of "nonrecourse" for purposes of the loan regime rules? (Or, for that matter, a definition of "recourse.") Example: collateral assignment split dollar, where the loan is always recourse, except it is nonrecourse if the executive is fired without cause. (Note: assume this is not a sham; executive has no effective control over his own firing.)

  • 2 weeks later...

Create an account or sign in to comment

You need to be a member in order to leave a comment

Create an account

Sign up for a new account in our community. It's easy!

Register a new account

Sign in

Already have an account? Sign in here.

Sign In Now
×
×
  • Create New...

Important Information

Terms of Use