Section 409A's timing restrictions fall into three main categories: • restrictions on the timing of distributions • restrictions against the acceleration of benefits • restrictions on the timing of deferral elections Distributions under a nonqualified deferred compensation plan can only be payable upon one of six circumstances: • the employee's separation from service • the employee's becoming disabled • the employee's death • a fixed time or schedule specified under the plan • a change in ownership or effective control of the corporation, or a change in the ownership of a substantial portion of the assets of the
corporation • the occurrence of an unforeseeable emergency In addition, Section 409A provides that with respect to certain "key employees" of
publicly traded corporations, distributions upon separation from service must be delayed by an additional six months following separation (or death, if earlier). Key employees are generally the top 50 employees with pay above $150,000. The rules restricting the timing of
elections as to the time or form of payment under a nonqualified deferred compensation plan fall into two categories: • initial deferral elections • subsequent deferral elections As a general rule, initial deferral elections must be made no later than the close of the employee's taxable year immediately preceding the service year. The term "initial deferral elections" includes all decisions, whether made by the
employee or
employer, as to the time or form of payment under the plan. Once the initial deferral election is made, a change to the time or form of payment under the plan can only be made under the rules governing subsequent deferral elections. ==Penalties==