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Treasury Announces Issuance of Final Regs on Nonqualified Deferred Compensation

APR. 10, 2007

Treasury Announces Issuance of Final Regs on Nonqualified Deferred Compensation

DATED APR. 10, 2007
DOCUMENT ATTRIBUTES
  • Institutional Authors
    Treasury Department
  • Cross-Reference
    For T.D. 9321, see Doc 2007-9167 2007 TNT 70-2: IRS Final Regulations [PDF]. For Notice 2007-34, see

    Doc 2007-9168 2007 TNT 70-3: Internal Revenue Bulletin [PDF].
  • Code Sections
  • Subject Area/Tax Topics
  • Jurisdictions
  • Language
    English
  • Tax Analysts Document Number
    Doc 2007-9176
  • Tax Analysts Electronic Citation
    2007 TNT 70-31
TREASURY, IRS ISSUE FINAL REGULATIONS ON NONQUALIFIED DEFERRED COMPENSATION
WASHINGTON, DC -- The Treasury Department and the IRS today issued final regulations on the treatment of nonqualified deferred compensation plans and arrangements under section 409A of the Internal Revenue Code.

"Since the enactment of section 409A in 2004, Treasury and the IRS have worked hard to develop these regulations on the treatment of nonqualified deferred compensation plans," said Treasury Assistant Secretary for Tax Policy Eric Solomon. "These regulations comprehensively address how employers can identify nonqualified deferred compensation plans and arrangements subject to section 409A and provide rules to help employers and employees comply."

The regulations provide guidance regarding the requirements for deferral elections and payment timing under section 409A. Affected plans and arrangements are required to comply with documentation requirements established in the final regulations by December 31, 2007.

The final regulations generally implement the rules provided in the proposed regulations published on September 30, 2005, but include revisions reflecting numerous comments received from the public. The regulations are in response to legislation enacted by Congress in 2004 to address concerns involving reported abuses of nonqualified deferred compensation plans.

Published along with the regulations was Notice 2007-34, which includes additional guidance regarding the application of section 409A to split-dollar life insurance arrangements and provides that certain amendments of such arrangements to comply with section 409A will not be treated as a material modification.

A copy of the final section 409A regulations and a copy of Notice 2007-34 are attached.

DOCUMENT ATTRIBUTES
  • Institutional Authors
    Treasury Department
  • Cross-Reference
    For T.D. 9321, see Doc 2007-9167 2007 TNT 70-2: IRS Final Regulations [PDF]. For Notice 2007-34, see

    Doc 2007-9168 2007 TNT 70-3: Internal Revenue Bulletin [PDF].
  • Code Sections
  • Subject Area/Tax Topics
  • Jurisdictions
  • Language
    English
  • Tax Analysts Document Number
    Doc 2007-9176
  • Tax Analysts Electronic Citation
    2007 TNT 70-31
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