Exit Planning Review  
  Exit Planning Information & Education for America's Business Owners  
 


The Exit Planning Review is an opt-in,
bi-monthly newsletter published by Business Enterprise Institute, Inc.

This issue is provided to you by Business Exit Planners, LLC Exit Planning Specialist, Michael C. Valdez, CFP, CLU, REBC, AIF.

For an overview of Exit Planning, please visit our web site.

View my Executive Briefing schedule



PROVIDED BY:
Issue 99

Using Short-Term Incentive Plans to Retain Key Employees during the Transfer of a Business
Lifetime Stay Bonus Plan Considerations

In the last issue (for a copy of Issue 98, please contact Michael C. Valdez, CFP, CLU, REBC, AIF), we introduced you to a short-term incentive plan that provides for important employees to be compensated for their time and for their commitment to continue working after a company has been sold to a third party or perhaps transferred to an insider. These employee incentive plans — Lifetime Stay Bonuses — are integral in maintaining the continuity of your company as you prepare to leave it.

We also introduced you to fictional owner John Ewing, who realized the importance of providing key employees with cash incentives to continue with the new company after John sold or transferred his company. John also understood that the efforts of key employees to maintain cash flow is critical to maximizing the eventual sale price of his business. Similar to typical selling owners, John had the following three objectives with respect to his key employees.

  1. To motivate them to increase the company’s cash flow in the period leading up to the sale.
  2. To keep them on board before, during, and after the transition.
  3. To reward them when the business is sold, (provided that the award is not so great and so immediate that there is no incentive to continue working with the new owner).

Using a sound and thoughtful incentive-based plan for key employees, you can help achieve these key employee objectives, as well as your overall Exit Planning objectives. Prior to beginning the Stay Bonus Plan creation process, it is important for you to address the following four Lifetime Stay Bonus considerations.

  1. Keeping key employees is not only desirable — it is necessary if the business is to be sold and sold at the highest possible price.
  2. Plans designed for short timeframes must provide a substantial benefit in a short period of time, contingent upon the business being sold.
  3. Not only are the key employees’ efforts to maintain cash flow critical to maximizing the eventual sale price of the business, but these key employees also may need to shoulder extra duties as the owner’s attention wanes or is diverted by the sale process.
  4. Given that few sales to third parties are all-cash sales, owners are usually exposed to post-sale financial risk.

After addressing the four considerations highlighted above, the next step is to begin formulating the Stay Bonus Plan. In the next Exit Planning Review™ article, we will look at the steps and the approach John Ewing took to develop a Stay Bonus program that helps accomplish John’s vital Exit Planning objectives, as well as the objectives of his management team.

Subsequent issues of The Exit Planning Review™ discuss all aspects of Exit Planning. The provider of this Newsletter (Michael C. Valdez, CFP, CLU, REBC, AIF) offer you unbiased information about what you may need to know — How To Run Your Business So You Can Leave It In Style™.

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DISCLAIMER: The information contained in this article is general in nature and is not legal advice. For information regarding your particular situation, contact an attorney or tax advisor. This newsletter is believed to provide accurate and authoritative information related to the subject matter. The accuracy of the information is not guaranteed and is provided with the understanding that none of the providers of this newsletter, including Business Enterprise Institute, Inc., is rendering legal, accounting or tax advice. In specific cases, clients should consult their legal, accounting or tax advisors.

The example provided is hypothetical and for illustrative purposes only. It includes ficticious names and does not represent any particular person or entity.



Circular 230 Disclosure: To ensure compliance with requirements imposed by the IRS under circular 230, we inform you that any U.S. Federal tax advice contained in this communication, unless otherwise specifically stated, was not intended or written to be used, and cannot be used, for the purpose of (1) avoiding penalties under the Internal Revenue Code or (2) promoting, marketing, or recommending to another party any matters addressed herein.

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Exit Planning Information & Education for America's Business Owners

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