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IRS Guidance on Application of IRC Section 457A to Non-Qualified Deferred Compensation Plans from Offshore Funds
Faegre Drinker
[Guidance Overview] Feb. 11, 2009 Excerpt: On January 8, the Internal Revenue Service (IRS) issued interim guidance on the application of recently enacted Section 457A of the Internal Revenue Code. Section 457A imposes immediate taxation, and in certain circumstances a 20 percent penalty plus interest, on deferred compensation arrangements maintained by certain partnerships and corporations. MORE >> |
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