Description
Understand the general categories of executives to which section 280G applies and the methods available to reduce or eliminate exposure.
Under the Internal Revenue Code (IRC), corporations that make excess parachute payments lose significant tax deductions, and the recipient is subject to a 20 percent excise tax on such excess payments. Additionally, excess parachute payments can further limit the deductibility of other compensation paid by the corporation. This presentation will help the audience gain knowledge of the rules and assess the tax impact on corporations and employees when golden parachutes are triggered by a change in control of the employer. The live webinar also explains various issues that corporations should keep in mind when applying mitigation techniques prior to or after the change in control.
Date: 2024-02-29 Start Time: 1:00 PM ET End Time: 2:05 PM ET
Learning Objectives
* You will be able to describe the impact of the golden parachute rules on public and private entities.
* You will be able to discuss mitigation techniques when a company undergoes a change in control.
* You will be able to explain the concept of section 280G and the tax implications on corporations and employees subject to section 280G.
* You will be able to identify payments that potentially become parachute payments under section 280G.