Reasonableness of Compensation. If such National Tax Counsel so requests in connection with the opinion required by this Section 4.16, the Employee and the Company shall obtain, at the Company’s expense, and the National Tax Counsel may rely on, the advice of a firm of recognized executive compensation consultants as to the reasonableness of any item of compensation to be received by the Employee solely with respect to its status under IRC §280G.
Appears in 9 contracts
Samples: Employment Agreement (Service Corp International), Employment Agreement (Service Corp International), Employment Agreement (Service Corp International)
Reasonableness of Compensation. If such National Tax Counsel so requests in connection with the opinion required by this Section 4.164.15, the Employee and the Company shall obtain, at the Company’s expense, and the National Tax Counsel may rely on, the advice of a firm of recognized executive compensation consultants as to the reasonableness of any item of compensation to be received by the Employee solely with respect to its status under IRC §280G.
Appears in 7 contracts
Samples: Employment Agreement (Service Corp International), Employment Agreement (Service Corp International), Employment Agreement (Service Corp International)
Reasonableness of Compensation. If such National Tax Counsel so requests in connection with the opinion required by this Section 4.166, the Employee Executive and the Company shall obtain, at the Company’s expense, and the National Tax Counsel may rely on, the advice of a firm of recognized executive compensation consultants as to the reasonableness of any item of compensation to be received by the Employee Executive solely with respect to its status under IRC §Code Section 280G.
Appears in 5 contracts
Samples: Executive Employment and Severance Agreement (Imperial Holdings, LLC), Executive Employment and Severance Agreement (Imperial Holdings, LLC), Executive Employment and Severance Agreement (Imperial Holdings, LLC)
Reasonableness of Compensation. If such National Tax Counsel so requests in connection with the opinion required by this Section 4.164.5, the Employee Executive and the Company shall obtain, at the Company’s expense, and the National Tax Counsel may rely on, the advice of a firm of recognized executive compensation consultants as to the reasonableness of any item of compensation to be received by the Employee Executive solely with respect to its status under IRC §Code Section 280G.
Appears in 5 contracts
Samples: Employment Agreement (C&J Energy Services, Inc.), Employment Agreement (C&J Energy Services, Inc.), Employment Agreement (C&J Energy Services, Inc.)
Reasonableness of Compensation. If such National Tax Counsel so requests in connection with the opinion required by this Section 4.168, the Employee and the Company shall obtain, at the Company’s expense, and the National Tax Counsel may rely on, the advice of a firm of recognized executive compensation consultants as to the reasonableness of any item of compensation to be received by the Employee solely with respect to its status under IRC §280G.section 280G of the Code.
Appears in 4 contracts
Samples: Employment Agreement (Emergent Capital, Inc.), Employment Agreement (Imperial Holdings, Inc.), Employment Agreement (Imperial Holdings, Inc.)
Reasonableness of Compensation. If such National Tax Counsel so requests in connection with the opinion required by this Section 4.165, the Employee and the Company shall obtain, at the Company’s expense, and the National Tax Counsel may rely on, the advice of a firm of recognized executive compensation consultants as to the reasonableness of any item of compensation to be received by the Employee solely with respect to its status under IRC §280G.section 280G of the Code.
Appears in 3 contracts
Samples: Severance Agreement (Imperial Holdings, Inc.), Severance Agreement (Imperial Holdings, Inc.), Severance Agreement (Imperial Holdings, Inc.)