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Section 409A Material

For further information on the section 409A rules affecting deferred compensation, please contact any of the following Pillsbury Winthrop Shaw Pittamn LLP lawyers, Susan P. Serota or Peter J. Hunt (both in our New York office), Kurt L. P. Lawson (Washington, D.C.), Howard L. Clemons (Northern Virginia), Cindy V. Schlaefer (Palo Alto), Christine L. Richardson (San Francisco) or Jan Harden Webster (San Diego–North County).

The section 409A material listed below is part of the Pillsbury Winthrop Shaw Pittman LLP Tax Page, a World Wide Web demonstration project. Comments are welcome on the design or content of this material.

The information presented is only of a general nature, intended simply as background material, omits many details and special rules and cannot be regarded as legal or tax advice.

Pillsbury Commentary

Source Material

This material is not intended to constitute a complete analysis of all tax considerations. Internal Revenue Service regulations generally provide that, for the purpose of avoiding United States federal tax penalties, a taxpayer may rely only on formal written opinions meeting specific regulatory requirements. This material does not meet those requirements. Accordingly, this material was not intended or written to be used, and a taxpayer cannot use it, for the purpose of avoiding United States federal or other tax penalties or of promoting, marketing or recommending to another party any tax-related matters.

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