Employee Benefits Account Manager U.S. Retirement & Benefits Partners
|
Nova 401(k) Associates
|
Retirement Plan Consultants
|
VP, Sales Consultant (Manhattan/Long Island Territory) FuturePlan, by Ascensus
|
Strongpoint Partners
|
Pentegra
|
West Side Federation for Senior & Supportive Housing
|
Ascensus
|
Part-Time Distribution Reviewer Nova 401(k) Associates
|
Strongpoint Partners
|
“BenefitsLink continues to be the most valuable resource we have at the firm.”
-- An attorney subscriber
Webinars and Podcasts |
> | Upcoming | Recorded |
Conferences (In-Person or Virtual) |
> | Upcoming | Grouped by Location |
All | > | Upcoming | Grouped by Sponsor |
View More Strafford Webinars, Podcasts and Conferences
Executive Compensation for Tax Exempt Organizations: New 4960 Regs, Covered Employees, Donated Services, AggregationStrafford |
Sept. 30, 2020 Recorded Online Webinar |
Navigating IRC Rules and Regulations in Structuring Compensation for Nonprofits Note: CPE credit is not offered on this program This webinar will provide ERISA counsel and advisers an in-depth analysis of the executive compensation rules and challenges for tax exempt organizations. The panel will discuss key provisions of new IRS proposed regulations for Section 4960, determining covered employees, aggregation rules, and issues stemming from donated services. The panel will also discuss structuring restricted stock awards, drafting grant agreements, analyzing substantial risk of forfeiture under IRC Section 83, handling 83(b) elections, and more. Section 4960 imposes an excise tax on certain excess executive compensation paid by a tax exempt organization to certain covered employees. The IRS issued regulations under Section 4960 providing clarity to "covered employees" with some exceptions. ERISA counsel and advisers must recognize key provisions of the recent regulations, along with other considerations under Section 83, Section 162, and golden parachute rules. Section 4960 imposes an excise tax equal to the corporate tax rate, which is currently 21 percent, on covered employee's pay that exceeds $1 million or is treated as an excess parachute payment. Recent IRS regulations provide exceptions to the application of Section 4960, such as the (1) limited hours exception, (2) nonexempt funds exception, and (3) limited services exceptions. All of which have strict requirements in order to avoid being subject to an excise tax. Section 83 of the IRC and Treasury regulations govern the tax consequences of restricted property, including restricted stock awards. Under the recent regulations, the transfer of Section 83 property is considered a payment made in the taxable year in which it is transferred or would be includible in the gross income of the covered employee under Section 83, regardless of any election made by the employee under Section 83(b) or (i). Counsel must understand the Treasury regulations to structure, draft, and implement restricted stock awards or other compensation arrangements. Listen as our authoritative panel discusses important topics such as the impact of recent IRS regulations for Section 4960, substantial risk of forfeiture, income recognition, IRC Section 83(b) elections, withholding requirements, Section 162, and golden parachute rules. Outline:
The panel will review these and other key issues:
Faculty: Christopher N. Moran, Attorney, Venable |