chapter 38 employee benefit & retirement planning restricted stock plan copyright 2009, the...

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Copyright 2009, The National Underwriter Company 1 Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan An arrangement to compensate executives by giving them shares of stock subject to certain restrictions or limitations Usually is stock of employer corporation or subsidiary What is it?

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Page 1: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

1

Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

An arrangement to compensate executives by giving them shares of stock subject to certain restrictions or limitations

Usually is stock of employer corporation or subsidiary

What is it?

Page 2: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

1. employee can defer taxation until year restricted stock option becomes ‘substantially vested’

2. employee gains interest in increased value of company stock

3. grants an equity interest that can be removed if executive leaves prematurely or goes t work for competitor

4. executive has advantages of stock ownership, but not taxed until substantially vested

Advantages

Page 3: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

1. employer does not get tax deduction until employee becomes substantially vested in plan

2. employer may have no control over amount and timing of tax deduction

3. S corporations must be careful to not create a second class of stock, causing loss of S election

4. issue of new shares of stock can dilute company ownership

5. market value of stock may bear little relationship to executive performance

Disadvantages

Page 4: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

1. Employee retention2. Discourage misconduct3. Provide incentives

What Can be Accomplished With Restrictions on Stock

Page 5: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

1. under Section 83, value of restricted property tax deferred to employee until ‘substantially vested’ unless employee makes Section 83(b) election to include it in income in year received

Tax Implications

Page 6: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

Substantial vesting property is NOT vested as long as property is

– subject to ‘substantial risk of forfeiture’– not transferable to a third party free of this risk of forfeiture

Tax Implications

Page 7: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

Substantial risk of forfeiture generally exists IF– employee must return property unless complete specific

term of service– employee fails to meet incentive targets– employee goes to work for competitor

a forfeiture due to unlikely event does not constitute a

substantial risk of forfeiture, e.g. commit embezzlement

Tax Implications

Page 8: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

2. IRC Section 83(b): executive can elect within 30 days of property receipt to recognize as income when received

3. stock may have restriction that reduces stock value rather than forfeiture provision, if so, value of stock included in income when received, but at reduced value

Tax Implications

Page 9: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

4. value of stock taxed as compensation income in year employee becomes substantially vested

5. gain on subsequent sale taxed as capital gain

6. employer receives tax deduction when employee becomes substantially vested

Tax Implications

Page 10: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

1. Equity based compensation is very useful as an executive incentive in high growth companies.

2. A stock plan can be more valuable than cash compensation.

3. A restricted stock plan can be used to keep a recent retiree available for consulting services for a specified length of time.

True or False?

Page 11: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

4. An employee may have to pay tax when restricted stock is received even though, under state law, the employee does not completely own the stock.

5. The ability to treat subsequent gains in stock value at favorable capital gain rates makes a Section 83(b) attractive to executives.

True or False?

Page 12: Chapter 38 Employee Benefit & Retirement Planning Restricted Stock Plan Copyright 2009, The National Underwriter Company1 An arrangement to compensate

Copyright 2009, The National Underwriter Company

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Chapter 38Employee Benefit & Retirement Planning

Restricted Stock Plan

Hoes does a restricted stock plan affect an employer’s accounting statements?

Discussion Question