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Amanda Benincasa of Aon discusses changes in equity compensation policies in light of tax reform
Long-Awaited Guidance on Section 162(m) After 2017 Tax Reform Ch...
IRS Issues New, Mostly Unfavorable Section 162(M) Guidance
IRS Issues Guidance on Section 162(m) Amendments
IRS Issues Long-Awaited Initial Guidance under Section 162(m)
IRS Issues Guidance on Section 162(m)
IRS Notice 2018-68
Incentive Plans and Shareholder Approval After Tax Reform
Compensation Implications of US Tax Reform: What Compensation Co...
Accounting for Lost Deductions on Executive Compensation Above $...
New US Tax Law Provides Tax Deferral Opportunity for Certain Pri...
The Elimination of the Performance-Based Requirement Under Secti...
IRS Releases Additional Guidance on 2018 Wage Withholding
Administering Compensation Programs in the Wake of the Tax Cuts ...
Transcript: Tax Reform: What's the Final Word?
US Tax Reform: Qualified Equity Grants by Private Companies Unde...
New Section 83(i)—Qualified Equity Grants Permit Employees to De...
Tax Changes for 2018
How Will Tax Reform Affect Stock Compensation?
Tax Reform Brings Changes to Executive Compensation Landscape
Major US Tax Reform Will Impact Stock Compensation
Tax Cuts and Jobs Act Expected to Come into Effect in 2018
Accelerating Equity and Cash Incentives May Create Permanent Tax...
FAQ: U.S. Equity Compensation Plans (2017)
Section 162(m) Trap for Smaller Reporting Companies
Code Sec. 162(m) Trap for Smaller Reporting Companies
IRS Issues Guidance on the Applicability of Section 162(m) to CF...
IRS Chief Counsel Memorandum 201543003: Application of Section 1...
AM2012-010 – Allocation of Certain Items Under Treas. Reg. Secti...
IRC Section 162
IRC 162. Trade or business expenses
IRS Notice 2008-94
IRS Notice 2007-47: Covered Employees under section 162(m)(3)
GRIST Report: Section 162(m) 'Negative Discretion' May Require V...
#62: Discussion on Notice 2018-68 with Mike Melbinger from Winston & Strawn
Details on the latest IRS guidance issued with Notice 2018-68Read More