0001171843-18-003340 Sample Contracts

Mr. Steven H. Temares [Address 1] [Address 2] Re: Amendment to Employment Letter Agreement Dear Steven:
Employment Letter Agreement • May 2nd, 2018 • Bed Bath & Beyond Inc • Retail-home furniture, furnishings & equipment stores

The purpose of this letter is to memorialize our prior understanding to amend the employment letter agreement provided to you by BED BATH & BEYOND INC. dated as of December 1, 1994, as amended (the “Agreement”), with the intent of facilitating compliance with Section 409A of the Internal Revenue Code of 1986, as amended (the “Code”), and the applicable regulations thereunder (“Section 409A”). All capitalized terms not defined herein shall have the meaning set forth in the Agreement.

AutoNDA by SimpleDocs
Name] [Address 1] [Address 2] Re: Amendment to Employment Letter Agreement Dear ______:
Employment Agreement • May 2nd, 2018 • Bed Bath & Beyond Inc • Retail-home furniture, furnishings & equipment stores

The purpose of this letter is to amend the employment letter agreement provided to you by BED BATH & BEYOND INC. dated as of December 1, 1994 (the “Agreement”) with the intent of facilitating compliance with Section 409A of the Internal Revenue Code of 1986, as amended (the “Code”), and the applicable regulations thereunder. We intend that the changes in the time and form of payment of the benefits payable under the Agreement comply with the transition rule provided under Notice 2005-1, Q&A 19(c), as modified by subsequent proposed regulations under Section 409A of the Code. All capitalized terms not defined herein shall have the meaning set forth in the Agreement.

Mr. Eugene A. Castagna [Address 1] [Address 2] Re: Amendment to Employment Letter Agreement Dear Eugene:
Employment Letter Agreement • May 2nd, 2018 • Bed Bath & Beyond Inc • Retail-home furniture, furnishings & equipment stores

The purpose of this letter is to amend the employment letter agreement provided to you by BED BATH & BEYOND INC. dated as of March 1, 2000 (the “Agreement”) with the intent of facilitating compliance with Section 409A of the Internal Revenue Code of 1986, as amended (the “Code”), and the applicable regulations thereunder. We intend that the changes in the time and form of payment of the benefits payable under the Agreement comply with the transition rule provided under Notice 2005-1, Q&A 19(c), as modified by subsequent proposed regulations under Section 409A of the Code. All capitalized terms not defined herein shall have the meaning set forth in the Agreement.

Draft better contracts in just 5 minutes Get the weekly Law Insider newsletter packed with expert videos, webinars, ebooks, and more!