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(June 19, 2015) Ponte Vedra Beach, Florida
Eight Key Questions for IRC § 409A Compliance -
The Gatekeeper to Structuring Effective Deferred
Compensation Arrangements
Executive benefits consulting firm, Fulcrum Partners LLC, is pleased distribute this AALU
Washington Report to its clients and friends. This continuing series of articles is intended to
provide deep insight into trends, events, and issues that impact the design and operation of
nonqualified executive benefit plans.
This AALU Washington Report provides a summary of the important regulatory compliance
issues that must be addressed when implementing or operating a nonqualified executive benefit
plan. This email highlights the importance of engaging an experienced executive benefits
consulting firm, such as Fulcrum Partners, to ensure your plan complies with the Internal
Revenue Code § 409A regulations.
MARKET TREND: As tax-qualified retirement plans allow income deferral on a fairly limited
annual basis, the popularity of nonqualified deferred compensation ("NQDC") arrangements for
key employees continues to grow due to the greater income deferral opportunities.
SYNOPSIS: Internal Revenue Code § 409A ("§409A") establishes several critical hurdles to tax-
deferrals by imposing a complex series of requirements governing plan documentation, the timing
and content of elections to defer compensation, and the form and timing of the actual payment of
deferred compensation. Failure to meet these requirements subjects the individual deferring the
compensation to substantial additional tax penalties.
TAKEAWAYS: §409A has revolutionized the world of NQDC arrangements by imposing
rigorous standards governing deferral elections under, and distributions from, NQDC
arrangements. A general checklist for a §409A-compliant NQDC arrangement includes: (1)
documentation of the arrangement in writing; (2) provision of conforming deferral elections
(typically made before the year in which the relevant services are performed); (3) limits on
distributions to only those circumstances specifically allowed under §409A; and (4) constraints
on the ability to change the timing and form of payment originally selected. Failure to comply with
§409A may subject the participant to current income tax on the amount purportedly deferred,
plus interest and substantial additional taxes. Accordingly, the consultant assisting you in this
arena must have familiarity with these requirements. Failure to satisfy these standards will
subject the plan sponsor to significant tax penalties.
EIGHT KEY QUESTIONS FOR §409A COMPLIANCE
1. Which compensation arrangements are impacted by §409A?
§409A extends far beyond the typical NQDC plan pursuant to which an individual elects to forego
current compensation in exchange for a promise to receive that compensation (with earnings) at
a future date.
As a general rule, §409A applies to virtually any arrangement in which an individual is to receive
compensation in a year after the year in which the individual acquires a legally binding right to
receive that compensation. Thus, arrangements such as employment agreements, bonus plans,
and long-term incentive plans can trigger §409A.
Further, §409A may impact the funding of a NQDC arrangement. For example, an employer may
create a revocable or irrevocable "rabbi trust" to hold assets to be used in connection with a NQDC.
If a change in the employer's financial health triggered irrevocability for a revocable rabbi trust or
the making of contributions to an irrevocable rabbi trust, the participant could be taxed on the
amount in the trust and subject to an additional tax penalty (see question 8 below). Thus, it may
be advisable to establish a rabbi trust as an irrevocable trust or as one that becomes irrevocable
only upon events unrelated to the employer's financial health.
2. Are there exceptions to §409A for certain arrangements?
Yes, there are certain limited exceptions. Most notably, payments classified as "short-term
deferrals" under the applicable treasury regulations, which are defined as payments made no later
than 2-1/2 months after the end of the taxable year in which the individual's rights to the payment
cease to be subject to a substantial risk of forfeiture are exempt from §409A. The most widespread
example of a short-term deferral is the annual performance bonus that is paid early in the year
following the year in which it is earned.
Another common exemption applies to stock options and stock appreciation rights ("SARs") that
are granted with an exercise price that cannot be less than the fair market value of the related
stock on the date of the grant of the option or SAR and that do not provide for a deferral of
payment of the compensation (i.e., the delivery of the stock or the cash payment under the SAR)
beyond the date of exercise.
A "162 bonus plan," where an employer effectively funds an employee's purchase of life insurance
through the payment of bonuses to the employee or possibly through direct payment to the issuing
carrier, also may not be required to comply with §409A. This will depend, however, on the
structure of the plan and any restrictions the employer may seek to impose. Thus the employer
and employee should consult with counsel when designing the bonus plan to determine the
potential application of §409A.
3. Must the NQDC arrangement be in writing?
Yes. §409A requires that any NQDC arrangement be in writing and contain substantive provisions
designed to ensure compliance with the §409A requirements.
4. How does §409A affect the timing of an election to defer compensation?
§409A generally requires that an individual make the election to defer compensation before the
beginning of the taxable year in which the services giving rise to the compensation to be deferred
are performed. Thus, if an individual wishes to defer all or a portion of his or her salary for 2016,
the election to defer must be made, and become irrevocable, no later than December 31, 2015. By
comparison, if an individual wishes to defer a bonus payable in 2016 for services performed in
2015, the election to defer the bonus likely must be made, and become irrevocable, by the end of
2014 (i.e., the year before the year in which the relevant services are performed).
In addition to specifying the amount of compensation to be deferred, a deferral election must
establish the time and form of payment, in a manner that is consistent with the restrictions of
§409A. In a NQDC arrangement other than one in which the taxpayer elects to defer receipt of
compensation (e.g., a long-term bonus plan that pays out beyond the short-term deferral period),
the time and form of payment must be established when the legally binding right to the deferred
compensation is created.
5. How does §409A restrict the timing of distributions of deferred compensation?
§409A narrowly limits to six payment triggers the time or times at which deferred compensation
can be paid:
• The individual's separation from service with the entity maintaining the deferred
compensation plan;
• The individual's death;
• The individual's disability;
• A change in control of the entity liable for the payment of the deferred compensation;
• The individual's experiencing an unforeseeable financial emergency; or
• As of a specified date or pursuant to a specified schedule.
Most of these payment triggers are defined in detail in the §409A regulations.
6. Can the time originally selected for payment of deferred compensation be
changed?
Generally, the time and form of distribution, once elected, cannot be changed, subject to very few
exceptions. For example, a participant can defer further the date scheduled for distribution,
provided that the further deferral election is made at least 12 months in advance of the date
distribution was scheduled to be made and defers the distribution by at least an additional five
years. Likewise, a participant typically cannot elect to accelerate the date set for distribution. Note
also that the form of payment originally selected when the deferral election was made or the legally
binding right to the deferred compensation was created generally cannot be changed either.
7. Does §409A require compliance only at the time a NQDC arrangement is
established?
No. Quite to the contrary, §409A requires compliance in documentation and in plan operation at
all times from the time of establishment of the NQDC arrangement until the time the last payment
is made.
8. What are the penalties imposed for failure to comply with §409A?
Individuals participating in NQDC arrangements that fail to comply with §409A - either in form
or in operation - are subject to significant adverse federal tax consequences. Specifically:
• The individual is subject to current income taxation on the amount deferred, even if
the individual cannot actually or constructively receive the deferred amounts
presently; and
• The amount that would be included in current taxable income is subject to:
— An additional tax equal to the interest that would have been imposed on that
taxable amount if it had been taxable at the time of the original deferral; plus
— An additional tax at the rate of 20%.
Also, some states - most notably, California - have their own versions of §409A that also impose
state taxes for §409A violations. As a result, a failure to comply with the §409A requirements can
result in current taxation in excess of 50% of the amount deferred - REGARDLESS of whether the
participant has the liquidity available to pay the tax liability.
TAKEAWAYS:
• §409A imposes very specific constraints for structuring NQDC arrangements. The
checklist below includes general requirements for §409A compliance.
• Failure to comply with §409A may subject the participant to current income tax on the
amount purportedly deferred, plus interest and substantial additional taxes.
• Given this complexity and the severity of penalties for failure to comply, your
consultant assisting you with NQDC issues must have familiarity with §409A and
should consult with experienced legal counsel or accountants when assisting with the
implementation of an arrangement.
§409 A GENERAL COMPLIANCE CHECKLIST
• NQDC arrangement (plan) is:
— Documented in writing
— Limits distributions to the following circumstances:
 Upon the individual's separation from service with the entity maintaining
the NQDC plan;
 Upon the individual's death;
 Upon the individual's disability;
 Upon a change in control of the entity liable for the payment of the deferred
compensation;
 Upon the individual's experiencing an unforeseeable financial emergency;
or
 As of a specified date or pursuant to a specified schedule.
• Prevents the participant from changing the timing and form of payment originally
selected (subject to limited exceptions)
• Plan participant has provided conforming deferral elections timely (before the year in
which the relevant services will be performed), which:
— Specify amount of compensation to be deferred
— Establish the time and form of payment consistent with §409A restrictions
About Fulcrum Partners LLC:
Fulcrum Partners LLC is one of the nation's leading and largest executive benefits consultancy.
Its consultants focus on an integrated approach to the design, financing and plan administration
of executive benefit programs. Fulcrum Partners offers its clients a unique combination of
industry experts with diverse skill sets, targeted experience, and in-depth expertise in executive
compensation and benefits consulting. Fulcrum Partners is a wholly independent, member-
owned firm dedicated to help clients enhance their Total Rewards Strategy.
About AALU:
The AALU's mission to promote, preserve and protect advanced life insurance planning for the
benefit of our members, their clients, the industry and the general public reflects each of our
primary issue priorities.
Contact:
Fulcrum Partners
Bruce Brownell
904.296.2563
mailto:press@fulcrumpartnersllc.com
AALU
James Lee
703.641.8128
lee@aalu.org
Disclaimers
Fulcrum Partners does not provide legal, tax, and/or accounting consulting and/or advice. We
have provided you with this material strictly in its capacity as an employee benefits consulting
firm. The information contained herein is based on our interpretation of the existing Internal
Revenue Code, and the application of relevant statutes, regulations, court rulings, and familiarity
with this material as it currently exists. Based on the legal and accounting complexity of employee
benefit issues, along with the changing statutory and regulatory environment, we strongly
recommend that you consult with, and seek the advice of, your legal and/or accounting advisor(s)
regarding this material.
This information is intended solely for information and education and is not intended for use as
legal or tax advice. Reference herein to any specific tax or other planning strategy, process,
product or service does not constitute promotion, endorsement or recommendation by AALU.
Persons should consult with their own legal or tax advisors for specific legal or tax advice.
This email contains proprietary information of Fulcrum Partners and possession of this
information is not deemed a waiver of our rights. In addition, this material has been created for
your exclusive use, and distribution of this information to a non-affiliated party is strictly
prohibited.
Securities offered through Registered Representatives of ValMark Securities, Inc. Member
FINRA, SIPC, 130 Springside Drive, Suite 300, Akron, OH 44333-2431, Tel: 1-800-765-5201.
Investment Advisory Services offered through ValMark Advisers, Inc., which is an SEC
Registered Investment Advisor. Fulcrum Partners LLC is a separate entity from ValMark
Securities, Inc. and ValMark Advisers, Inc.

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8 Key Questions for IRC § 409A Compliance

  • 1. (June 19, 2015) Ponte Vedra Beach, Florida Eight Key Questions for IRC § 409A Compliance - The Gatekeeper to Structuring Effective Deferred Compensation Arrangements Executive benefits consulting firm, Fulcrum Partners LLC, is pleased distribute this AALU Washington Report to its clients and friends. This continuing series of articles is intended to provide deep insight into trends, events, and issues that impact the design and operation of nonqualified executive benefit plans. This AALU Washington Report provides a summary of the important regulatory compliance issues that must be addressed when implementing or operating a nonqualified executive benefit plan. This email highlights the importance of engaging an experienced executive benefits consulting firm, such as Fulcrum Partners, to ensure your plan complies with the Internal Revenue Code § 409A regulations. MARKET TREND: As tax-qualified retirement plans allow income deferral on a fairly limited annual basis, the popularity of nonqualified deferred compensation ("NQDC") arrangements for key employees continues to grow due to the greater income deferral opportunities. SYNOPSIS: Internal Revenue Code § 409A ("§409A") establishes several critical hurdles to tax- deferrals by imposing a complex series of requirements governing plan documentation, the timing and content of elections to defer compensation, and the form and timing of the actual payment of deferred compensation. Failure to meet these requirements subjects the individual deferring the compensation to substantial additional tax penalties. TAKEAWAYS: §409A has revolutionized the world of NQDC arrangements by imposing rigorous standards governing deferral elections under, and distributions from, NQDC arrangements. A general checklist for a §409A-compliant NQDC arrangement includes: (1)
  • 2. documentation of the arrangement in writing; (2) provision of conforming deferral elections (typically made before the year in which the relevant services are performed); (3) limits on distributions to only those circumstances specifically allowed under §409A; and (4) constraints on the ability to change the timing and form of payment originally selected. Failure to comply with §409A may subject the participant to current income tax on the amount purportedly deferred, plus interest and substantial additional taxes. Accordingly, the consultant assisting you in this arena must have familiarity with these requirements. Failure to satisfy these standards will subject the plan sponsor to significant tax penalties. EIGHT KEY QUESTIONS FOR §409A COMPLIANCE 1. Which compensation arrangements are impacted by §409A? §409A extends far beyond the typical NQDC plan pursuant to which an individual elects to forego current compensation in exchange for a promise to receive that compensation (with earnings) at a future date. As a general rule, §409A applies to virtually any arrangement in which an individual is to receive compensation in a year after the year in which the individual acquires a legally binding right to receive that compensation. Thus, arrangements such as employment agreements, bonus plans, and long-term incentive plans can trigger §409A. Further, §409A may impact the funding of a NQDC arrangement. For example, an employer may create a revocable or irrevocable "rabbi trust" to hold assets to be used in connection with a NQDC. If a change in the employer's financial health triggered irrevocability for a revocable rabbi trust or the making of contributions to an irrevocable rabbi trust, the participant could be taxed on the amount in the trust and subject to an additional tax penalty (see question 8 below). Thus, it may be advisable to establish a rabbi trust as an irrevocable trust or as one that becomes irrevocable only upon events unrelated to the employer's financial health. 2. Are there exceptions to §409A for certain arrangements? Yes, there are certain limited exceptions. Most notably, payments classified as "short-term deferrals" under the applicable treasury regulations, which are defined as payments made no later than 2-1/2 months after the end of the taxable year in which the individual's rights to the payment cease to be subject to a substantial risk of forfeiture are exempt from §409A. The most widespread example of a short-term deferral is the annual performance bonus that is paid early in the year following the year in which it is earned. Another common exemption applies to stock options and stock appreciation rights ("SARs") that are granted with an exercise price that cannot be less than the fair market value of the related stock on the date of the grant of the option or SAR and that do not provide for a deferral of payment of the compensation (i.e., the delivery of the stock or the cash payment under the SAR) beyond the date of exercise. A "162 bonus plan," where an employer effectively funds an employee's purchase of life insurance through the payment of bonuses to the employee or possibly through direct payment to the issuing carrier, also may not be required to comply with §409A. This will depend, however, on the
  • 3. structure of the plan and any restrictions the employer may seek to impose. Thus the employer and employee should consult with counsel when designing the bonus plan to determine the potential application of §409A. 3. Must the NQDC arrangement be in writing? Yes. §409A requires that any NQDC arrangement be in writing and contain substantive provisions designed to ensure compliance with the §409A requirements. 4. How does §409A affect the timing of an election to defer compensation? §409A generally requires that an individual make the election to defer compensation before the beginning of the taxable year in which the services giving rise to the compensation to be deferred are performed. Thus, if an individual wishes to defer all or a portion of his or her salary for 2016, the election to defer must be made, and become irrevocable, no later than December 31, 2015. By comparison, if an individual wishes to defer a bonus payable in 2016 for services performed in 2015, the election to defer the bonus likely must be made, and become irrevocable, by the end of 2014 (i.e., the year before the year in which the relevant services are performed). In addition to specifying the amount of compensation to be deferred, a deferral election must establish the time and form of payment, in a manner that is consistent with the restrictions of §409A. In a NQDC arrangement other than one in which the taxpayer elects to defer receipt of compensation (e.g., a long-term bonus plan that pays out beyond the short-term deferral period), the time and form of payment must be established when the legally binding right to the deferred compensation is created. 5. How does §409A restrict the timing of distributions of deferred compensation? §409A narrowly limits to six payment triggers the time or times at which deferred compensation can be paid: • The individual's separation from service with the entity maintaining the deferred compensation plan; • The individual's death; • The individual's disability; • A change in control of the entity liable for the payment of the deferred compensation; • The individual's experiencing an unforeseeable financial emergency; or • As of a specified date or pursuant to a specified schedule. Most of these payment triggers are defined in detail in the §409A regulations. 6. Can the time originally selected for payment of deferred compensation be changed? Generally, the time and form of distribution, once elected, cannot be changed, subject to very few exceptions. For example, a participant can defer further the date scheduled for distribution, provided that the further deferral election is made at least 12 months in advance of the date distribution was scheduled to be made and defers the distribution by at least an additional five years. Likewise, a participant typically cannot elect to accelerate the date set for distribution. Note
  • 4. also that the form of payment originally selected when the deferral election was made or the legally binding right to the deferred compensation was created generally cannot be changed either. 7. Does §409A require compliance only at the time a NQDC arrangement is established? No. Quite to the contrary, §409A requires compliance in documentation and in plan operation at all times from the time of establishment of the NQDC arrangement until the time the last payment is made. 8. What are the penalties imposed for failure to comply with §409A? Individuals participating in NQDC arrangements that fail to comply with §409A - either in form or in operation - are subject to significant adverse federal tax consequences. Specifically: • The individual is subject to current income taxation on the amount deferred, even if the individual cannot actually or constructively receive the deferred amounts presently; and • The amount that would be included in current taxable income is subject to: — An additional tax equal to the interest that would have been imposed on that taxable amount if it had been taxable at the time of the original deferral; plus — An additional tax at the rate of 20%. Also, some states - most notably, California - have their own versions of §409A that also impose state taxes for §409A violations. As a result, a failure to comply with the §409A requirements can result in current taxation in excess of 50% of the amount deferred - REGARDLESS of whether the participant has the liquidity available to pay the tax liability. TAKEAWAYS: • §409A imposes very specific constraints for structuring NQDC arrangements. The checklist below includes general requirements for §409A compliance. • Failure to comply with §409A may subject the participant to current income tax on the amount purportedly deferred, plus interest and substantial additional taxes. • Given this complexity and the severity of penalties for failure to comply, your consultant assisting you with NQDC issues must have familiarity with §409A and should consult with experienced legal counsel or accountants when assisting with the implementation of an arrangement. §409 A GENERAL COMPLIANCE CHECKLIST • NQDC arrangement (plan) is: — Documented in writing — Limits distributions to the following circumstances:  Upon the individual's separation from service with the entity maintaining the NQDC plan;  Upon the individual's death;  Upon the individual's disability;  Upon a change in control of the entity liable for the payment of the deferred compensation;
  • 5.  Upon the individual's experiencing an unforeseeable financial emergency; or  As of a specified date or pursuant to a specified schedule. • Prevents the participant from changing the timing and form of payment originally selected (subject to limited exceptions) • Plan participant has provided conforming deferral elections timely (before the year in which the relevant services will be performed), which: — Specify amount of compensation to be deferred — Establish the time and form of payment consistent with §409A restrictions About Fulcrum Partners LLC: Fulcrum Partners LLC is one of the nation's leading and largest executive benefits consultancy. Its consultants focus on an integrated approach to the design, financing and plan administration of executive benefit programs. Fulcrum Partners offers its clients a unique combination of industry experts with diverse skill sets, targeted experience, and in-depth expertise in executive compensation and benefits consulting. Fulcrum Partners is a wholly independent, member- owned firm dedicated to help clients enhance their Total Rewards Strategy. About AALU: The AALU's mission to promote, preserve and protect advanced life insurance planning for the benefit of our members, their clients, the industry and the general public reflects each of our primary issue priorities. Contact: Fulcrum Partners Bruce Brownell 904.296.2563 mailto:press@fulcrumpartnersllc.com AALU James Lee 703.641.8128 lee@aalu.org Disclaimers Fulcrum Partners does not provide legal, tax, and/or accounting consulting and/or advice. We have provided you with this material strictly in its capacity as an employee benefits consulting firm. The information contained herein is based on our interpretation of the existing Internal Revenue Code, and the application of relevant statutes, regulations, court rulings, and familiarity with this material as it currently exists. Based on the legal and accounting complexity of employee benefit issues, along with the changing statutory and regulatory environment, we strongly recommend that you consult with, and seek the advice of, your legal and/or accounting advisor(s) regarding this material.
  • 6. This information is intended solely for information and education and is not intended for use as legal or tax advice. Reference herein to any specific tax or other planning strategy, process, product or service does not constitute promotion, endorsement or recommendation by AALU. Persons should consult with their own legal or tax advisors for specific legal or tax advice. This email contains proprietary information of Fulcrum Partners and possession of this information is not deemed a waiver of our rights. In addition, this material has been created for your exclusive use, and distribution of this information to a non-affiliated party is strictly prohibited. Securities offered through Registered Representatives of ValMark Securities, Inc. Member FINRA, SIPC, 130 Springside Drive, Suite 300, Akron, OH 44333-2431, Tel: 1-800-765-5201. Investment Advisory Services offered through ValMark Advisers, Inc., which is an SEC Registered Investment Advisor. Fulcrum Partners LLC is a separate entity from ValMark Securities, Inc. and ValMark Advisers, Inc.