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Total Articles: 2

IRS Clarifies Rules under §162(m) of Internal Revenue Code on Deductibility of Certain Compensation

The IRS has proposed Treasury Regulations that clarify the performance-based compensation exception under Section 162(m) of the Internal Revenue Code, which generally precludes a deduction by any publicly held corporation of compensation paid to certain high level employees to the extent the compensation exceeds 1MM.

CEO Pay: A Window into Corporate Governance.

Once again, proxy season has revealed some eye-popping numbers in executive compensation packages, generating heat from shareholders, labor organizations and some analysts who contend the links between CEO pay and performance are frayed.
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