Code Section 409A - Deferred Compensation and Severance Agreements, The IRS Provides a Second ChanceTerrence M. Finn
IRS Takes Adverse Position in Ruling on Code Section 162(m)C. Baird Brown
If an exchange would be within the provisions of subsection (a), of section 1035(a), of section 1036(a), or of section 1037(a), if it were not for the fact that the property received in exchange consists not only of property permitted by such provisions to be received without the r...
Nielsen, Vicki
IRS Issues Proposed Regulations Under Code Section 457Michael S Sirkin
IRS Extends Year-End Deadline for Pension Plan Amendments Under Code Section 436Natalie M. NathansonMaureen O'Brien
Joseph E. Ronan, JrLauren E. Ridley
Feldman, Stephen
IRS Releases Final Regulations Interpreting the Code Section 415 Limits on Benefits Under Tax-Qualified Retirement PlansFackler, Stephen W
IRS Surprises Employers by Suspending Reporting and Witholding Requirements Under Code Section 409AJohn M. CollinsCharles F. PlengeMarilyn C. DoolittleJesse J. GelsominiSusan A. WetzelTiffany Walker