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    How To Make The Most Out Of Interactive Web Conferencing
    In order to get the most value out of interactive web conferencing sessions try the following simple steps in order to keep it affordable.1. To save money, save time. A well-planned conference with an agenda is the conference that doesn't use up a lot of time answering questions over what is going to be covered or what has already been discussed. If someone joins in late and it will take more then a few minutes to catch them up to speed, either send them the notes of the meeting later, or hold a separate phone call with them at a later date.2. Minimize unnecessary services. If recording the conference isn't all that necessary, don't bother signing up for a service that offers the option to record it. While, recording a session is a useful tool, it certainly isn't a necessary one. Make sure everyone is prepared and designate someone to keep track of notes and the minutes of the meeting. Other premium services like video conferencing may also add to the expense. If video isn't necessary or advantageous, leave it out.3. Search the Internet for free services. To keep interactive web conferencing cheap look for a service provider that adds in a lot of extras for "free". That usually means that there is a higher flat rate, but factoring i
    nization files its return - is also reported here, unless the amounts were reported in column (C).

    3. Column (E) includes both taxable and nontaxable fringe benefits (other than de minimis fringe benefits), and expense allowances or reimbursements that the recipients must report as income on their separate income tax returns. This includes payments made under indemnification arrangements, the value of the personal use of housing, automobiles, or other assets owned or leased by the organization (or provided for the organization's use without charge), as well as any other taxable and nontaxable fringe benefits.

    Form 990 Challenges

    In theory, the compensation information disclosed in the Form 990 filings of not-for-profit organizations represents a true and accurate depiction of the elements of compensation that comprise each named executive’s total compensation package. However, many NFPs have had trouble completing these forms correctly. While Columns (C) and (D) are relatively straightforward, experience has shown that some organizations don’t accurately disclose the value of fringe benefits and non-cash compensation, which makes a true calculation of market compensation less likely. Some other ch

    Earning Extra Income
    Extra income is something that we all need and want but are we willing to work a second job or earn extra income in other ways? Most people like the idea but after working a full time job would find it hard to work evenings as well.More often than not extra income is something that comes in the form of a windfall and is used to pay off outstanding debts or to buy those extra additions to your home you have been longing to buy.With the cost of living increasing everyday you may however find that you have no choice other than to find some form of extra income to keep a roof over your head or to simply get by each day with out spiraling into debt.If you are looking for extra income the best place to start is the internet which will provide you with ideas and tips on how to earn extra income. There are many successful ways to do this including network marketing, affiliate marketing, advertising, writing and many other ways.Of course this will depend on what your skills are and the time you have free to dedicate to the extra work load you will be taking on.People today find it hard to survive on one income and should that income dry up then it is time to start looking for something new to fall back on. Even if you do not lose an i
    Satisfying the ‘rebuttable presumption of reasonabess’

    An ECS reader recently asked about where to find reliable data that can be used to compare non-cash compensation among executives within the not-for-profit (NFP) sector: Compensation Committees need to evaluate this component of the pay package for purposes of satisfying the “rebuttable presumption of reasonableness” under Section 4958 of the Internal Revenue Code. In this article, ECS Editorial Advisory Board member Paul Dorf identifies a number of potential sources – Ed.

    The analysis of executive compensation within the not-for-profit organization(NFPs) is relatively systematic in its methodology. The IRS allows for the use of for-profit and not-for-profit compensation data to determine reasonable pay, based on the evaluation of comparably situated organizations. The first question of determining reasonable comparisons isn’t difficult per se, but it does require some thought on the part of the Compensation Committee and the organization’s top management.

    There are a number of criteria to consider, including the characteristics of the organization (foundation, health care, public charity); the organization’s current financial condition and over financial stability; the geographic area in which the organization operates; and the scope of the position for which data is sought.

    Once these criteria have been defined, compensation information can be sourced from the following materials:

    · Published compensation surveys that provide data on the not-for-profit industry, either specifically or with specialized cuts

    · Compensation surveys that cover for-profit participants, but with cuts that delineate compensation data specific to the organization

    · Form 990 data from a representative group of comparably situated not-for-profit peer organizations, that fit the criteria listed above

    · Proxy data from a group of comparably situated, for-profit organizations that also compare on the criteria listed above. This method, however, can only be used in very limited situations, and when utilized, must be evaluated cautiously so as not to over-inflate the overall assessment of market compensation

    A Thorough Evaluation

    Identifying a group of peer organizations requires a thorough evaluation of the characteristics of each organizations targeted for comparison. The first step in this process is to consider direct competitors for services: For example, if a mental health provider located in the New York metropolitan area was seeking to identify peers, the organization would target similar providers within a reasonable radius of its service area, with those providers having similar financials to the organization. This provides the most relevant comparator data for determining reasonable market compensation for an organization’s positions. In addition, other not-for-profits in the overall industry sector that may compete for the same talent can also be targeted. Using this same example, crisis centers, hospitals, primary care providers, etc. can also compare to a mental health facility, since the talent needed to mange one of these organizations is generally transferable to any of the others. Lastly, NFPs that don’t otherwise compare from an industry/service standpoint but have similar financials to the organization seeking the data, can also be targeted for some of the more interchangeable positions (Chief Financial Officer, General Counsel, etc.), but this data should be used more cautiously.

    Published surveys provide for a readily available, often cost-effective means by which to collect data. Although the data is not always presented in a format that allows for a definitive match to the organization seeking comparator numbers, published surveys provide a good starting point for the collection of data. Form 990s, on the other hand, provide actual compensation data against which to compare the organization’s pay package and can serve to validate the findings from the published surveys. Relevant data can be found within Part V-A — Current Officers, Directors, Trustees, and Key Employees, under the following three components:

    1. Column (C) reports salary, fees, bonuses, and severance payments paid, as well as current-year payments of amounts reported or reportable as deferred compensation in any prior year.

    2. Column (D) includes all forms of deferred compensation and future severance payments (funded and unfounded, vested and non-vested, qualified and non-qualified), as well as payments to welfare benefit plans (medical, dental, life insurance, severance pay, disability) on behalf of the officers, etc. The IRS allows for reasonable estimates to be used if precise cost figures are not readily available. Deferred compensation, such as salaries and other compensation earned during the period covered by the return but not yet paid date the organization files its return - is also reported here, unless the amounts were reported in column (C).

    3. Column (E) includes both taxable and nontaxable fringe benefits (other than de minimis fringe benefits), and expense allowances or reimbursements that the recipients must report as income on their separate income tax returns. This includes payments made under indemnification arrangements, the value of the personal use of housing, automobiles, or other assets owned or leased by the organization (or provided for the organization's use without charge), as well as any other taxable and nontaxable fringe benefits.

    Form 990 Challenges

    In theory, the compensation information disclosed in the Form 990 filings of not-for-profit organizations represents a true and accurate depiction of the elements of compensation that comprise each named executive’s total compensation package. However, many NFPs have had trouble completing these forms correctly. While Columns (C) and (D) are relatively straightforward, experience has shown that some organizations don’t accurately disclose the value of fringe benefits and non-cash compensation, which makes a true calculation of market compensation less likely. Some other cha

    How To Ask For A Raise
    ASKING for A RAISE.First find out from old-timers what is the usual procedure about this. If everyone gets a raise once a year, better wait it out. If there is no “usual,” then you begin your research. What are the salaries of similar positions in your company? What are the salaries of similar positions in other companies? What is the national average for your position? (You may turn up a promising new job in all this research).Make a list of all your accomplishments in your present job. Find at least one that stands out. Now you are ready. Unless this next move is really weird, make an appointment with your boss.Give one reason you deserve a raise, then request the raise in these words or similar words; For example:“I’ve solved the problem in the mailroom that was costing us $4,000 a month, and I would like you to consider giving me an increase in salary.” Or “I can’t buy gas for my car and I need a raise in pay.” Or “The national average salary for EA’s is______and mine is _____. I believe I deserve an increase in my pay.” When you begin the request, hand your boss your list of outstanding accomplishments. This should be written with bullet points. Wait quietly while he looks over the list and thinks, then listen
    r financial stability; the geographic area in which the organization operates; and the scope of the position for which data is sought.

    Once these criteria have been defined, compensation information can be sourced from the following materials:

    · Published compensation surveys that provide data on the not-for-profit industry, either specifically or with specialized cuts

    · Compensation surveys that cover for-profit participants, but with cuts that delineate compensation data specific to the organization

    · Form 990 data from a representative group of comparably situated not-for-profit peer organizations, that fit the criteria listed above

    · Proxy data from a group of comparably situated, for-profit organizations that also compare on the criteria listed above. This method, however, can only be used in very limited situations, and when utilized, must be evaluated cautiously so as not to over-inflate the overall assessment of market compensation

    A Thorough Evaluation

    Identifying a group of peer organizations requires a thorough evaluation of the characteristics of each organizations targeted for comparison. The first step in this process is to consider direct competitors for services: For example, if a mental health provider located in the New York metropolitan area was seeking to identify peers, the organization would target similar providers within a reasonable radius of its service area, with those providers having similar financials to the organization. This provides the most relevant comparator data for determining reasonable market compensation for an organization’s positions. In addition, other not-for-profits in the overall industry sector that may compete for the same talent can also be targeted. Using this same example, crisis centers, hospitals, primary care providers, etc. can also compare to a mental health facility, since the talent needed to mange one of these organizations is generally transferable to any of the others. Lastly, NFPs that don’t otherwise compare from an industry/service standpoint but have similar financials to the organization seeking the data, can also be targeted for some of the more interchangeable positions (Chief Financial Officer, General Counsel, etc.), but this data should be used more cautiously.

    Published surveys provide for a readily available, often cost-effective means by which to collect data. Although the data is not always presented in a format that allows for a definitive match to the organization seeking comparator numbers, published surveys provide a good starting point for the collection of data. Form 990s, on the other hand, provide actual compensation data against which to compare the organization’s pay package and can serve to validate the findings from the published surveys. Relevant data can be found within Part V-A — Current Officers, Directors, Trustees, and Key Employees, under the following three components:

    1. Column (C) reports salary, fees, bonuses, and severance payments paid, as well as current-year payments of amounts reported or reportable as deferred compensation in any prior year.

    2. Column (D) includes all forms of deferred compensation and future severance payments (funded and unfounded, vested and non-vested, qualified and non-qualified), as well as payments to welfare benefit plans (medical, dental, life insurance, severance pay, disability) on behalf of the officers, etc. The IRS allows for reasonable estimates to be used if precise cost figures are not readily available. Deferred compensation, such as salaries and other compensation earned during the period covered by the return but not yet paid date the organization files its return - is also reported here, unless the amounts were reported in column (C).

    3. Column (E) includes both taxable and nontaxable fringe benefits (other than de minimis fringe benefits), and expense allowances or reimbursements that the recipients must report as income on their separate income tax returns. This includes payments made under indemnification arrangements, the value of the personal use of housing, automobiles, or other assets owned or leased by the organization (or provided for the organization's use without charge), as well as any other taxable and nontaxable fringe benefits.

    Form 990 Challenges

    In theory, the compensation information disclosed in the Form 990 filings of not-for-profit organizations represents a true and accurate depiction of the elements of compensation that comprise each named executive’s total compensation package. However, many NFPs have had trouble completing these forms correctly. While Columns (C) and (D) are relatively straightforward, experience has shown that some organizations don’t accurately disclose the value of fringe benefits and non-cash compensation, which makes a true calculation of market compensation less likely. Some other ch

    Vending Machine Consumer Perceptions
    A recent vending machine industry-wide survey revealed that the vending machine industry is losing many potential consumers due to a lack of consumer education. The study surveyed 2,223 people over the Internet. The objective of the new vending machine industry study was to determine vending machine consumer motives for purchase decisions. The study also examined potential areas to expand vending machine use and the general public's awareness of new vending machine technology and products.The key findings of the vending machine industry survey are listed below.- Reasons for vending machine purchases. Vending machine consumers cited convenience and ease as the top reasons for making vending machine purchases. - Vending machine consumers were hesitant to make vending machine purchases mainly because of poor selection and a misconception that vending machines do no offer healthy options. - Brand recognition is vital to vending machine sales. Vending machine consumers expressed a high brand loyalty. Most vending machine consumers browse vending machines prior to purchase and select a familiar item. - Potential vending machine consumers think vend prices are high in comparison to other retail outlets. Vending machine consumers are un
    s: For example, if a mental health provider located in the New York metropolitan area was seeking to identify peers, the organization would target similar providers within a reasonable radius of its service area, with those providers having similar financials to the organization. This provides the most relevant comparator data for determining reasonable market compensation for an organization’s positions. In addition, other not-for-profits in the overall industry sector that may compete for the same talent can also be targeted. Using this same example, crisis centers, hospitals, primary care providers, etc. can also compare to a mental health facility, since the talent needed to mange one of these organizations is generally transferable to any of the others. Lastly, NFPs that don’t otherwise compare from an industry/service standpoint but have similar financials to the organization seeking the data, can also be targeted for some of the more interchangeable positions (Chief Financial Officer, General Counsel, etc.), but this data should be used more cautiously.

    Published surveys provide for a readily available, often cost-effective means by which to collect data. Although the data is not always presented in a format that allows for a definitive match to the organization seeking comparator numbers, published surveys provide a good starting point for the collection of data. Form 990s, on the other hand, provide actual compensation data against which to compare the organization’s pay package and can serve to validate the findings from the published surveys. Relevant data can be found within Part V-A — Current Officers, Directors, Trustees, and Key Employees, under the following three components:

    1. Column (C) reports salary, fees, bonuses, and severance payments paid, as well as current-year payments of amounts reported or reportable as deferred compensation in any prior year.

    2. Column (D) includes all forms of deferred compensation and future severance payments (funded and unfounded, vested and non-vested, qualified and non-qualified), as well as payments to welfare benefit plans (medical, dental, life insurance, severance pay, disability) on behalf of the officers, etc. The IRS allows for reasonable estimates to be used if precise cost figures are not readily available. Deferred compensation, such as salaries and other compensation earned during the period covered by the return but not yet paid date the organization files its return - is also reported here, unless the amounts were reported in column (C).

    3. Column (E) includes both taxable and nontaxable fringe benefits (other than de minimis fringe benefits), and expense allowances or reimbursements that the recipients must report as income on their separate income tax returns. This includes payments made under indemnification arrangements, the value of the personal use of housing, automobiles, or other assets owned or leased by the organization (or provided for the organization's use without charge), as well as any other taxable and nontaxable fringe benefits.

    Form 990 Challenges

    In theory, the compensation information disclosed in the Form 990 filings of not-for-profit organizations represents a true and accurate depiction of the elements of compensation that comprise each named executive’s total compensation package. However, many NFPs have had trouble completing these forms correctly. While Columns (C) and (D) are relatively straightforward, experience has shown that some organizations don’t accurately disclose the value of fringe benefits and non-cash compensation, which makes a true calculation of market compensation less likely. Some other ch

    Living Proof of The Joint Venture Mindset
    Frank Schroeder was one of the most successful insurance salesmen I ever met. He owned two Porches and two sets of electric drums and lived like a king. We did some business together and I asked him what the secret to his success was. And at this point I must digress. I have sold insurance very successfully in Canada and in South Africa. I no longer sell insurance; I specialize in Joint Ventures. But I have found very few insurance salespeople who share Frank’s philosophy or his success. Many of them have very strange labels and titles that they have concocted for themselves in order to disguise the fact that they sell insurance, yet they should be proud of their important work. And they are so focused on selling that they are proof of the self-fulfilling prophecy syndrome. But let us not waste time discussing what we should not do.Frank was living proof of the power of what I call “The Joint Venture Mindset”. As far as I can recall, I will try to put his approach in his own words: “Robin, I always tell people right up front that I sell insurance. That builds trust and credibility right away. And I NEVER try to sell anything on the first visit, or even the second visit. In fact, I often don’t ever try to sell insurance – they ASK to buy! Why? Well, I foc
    format that allows for a definitive match to the organization seeking comparator numbers, published surveys provide a good starting point for the collection of data. Form 990s, on the other hand, provide actual compensation data against which to compare the organization’s pay package and can serve to validate the findings from the published surveys. Relevant data can be found within Part V-A — Current Officers, Directors, Trustees, and Key Employees, under the following three components:

    1. Column (C) reports salary, fees, bonuses, and severance payments paid, as well as current-year payments of amounts reported or reportable as deferred compensation in any prior year.

    2. Column (D) includes all forms of deferred compensation and future severance payments (funded and unfounded, vested and non-vested, qualified and non-qualified), as well as payments to welfare benefit plans (medical, dental, life insurance, severance pay, disability) on behalf of the officers, etc. The IRS allows for reasonable estimates to be used if precise cost figures are not readily available. Deferred compensation, such as salaries and other compensation earned during the period covered by the return but not yet paid date the organization files its return - is also reported here, unless the amounts were reported in column (C).

    3. Column (E) includes both taxable and nontaxable fringe benefits (other than de minimis fringe benefits), and expense allowances or reimbursements that the recipients must report as income on their separate income tax returns. This includes payments made under indemnification arrangements, the value of the personal use of housing, automobiles, or other assets owned or leased by the organization (or provided for the organization's use without charge), as well as any other taxable and nontaxable fringe benefits.

    Form 990 Challenges

    In theory, the compensation information disclosed in the Form 990 filings of not-for-profit organizations represents a true and accurate depiction of the elements of compensation that comprise each named executive’s total compensation package. However, many NFPs have had trouble completing these forms correctly. While Columns (C) and (D) are relatively straightforward, experience has shown that some organizations don’t accurately disclose the value of fringe benefits and non-cash compensation, which makes a true calculation of market compensation less likely. Some other ch

    Business Debt Settlement - Choosing the Right Service Provider for Business Debt Settlement
    Accumulating debt is a part of starting and running a venture. Every enterprise has some debt to suppliers, and many owe mortgages for their office or retail space. Maintaining a certain level of business debt can even be healthy for your credit rating, when good-sized payments are regularly made.But what happens when these payments become fewer and farther in between because the business is no longer generating enough income? Do you, as an entrepreneur consider filing a Chapter 11 business bankruptcy? Isn’t there a better, less drastic solution that will do less harm to your credit rating and business reputation?Fortunately there is. With business debt settlement, a negotiated settlement can be made with all of your creditors to reduce the amount of unsecured financial obligations. This form of financial relief is aimed only at unsecured loans and will not be applicable to loans on secured property, such as cars, mortgages, or equipment. However, all other form of debt can be negotiated such as credit card, business or commercial loans, loan defaults and charge offs, and pre and post court judgment settlements.Business debt settlement can provide relief in as few as a couple of days, or as long as it takes to form an agreement with
    nization files its return - is also reported here, unless the amounts were reported in column (C).

    3. Column (E) includes both taxable and nontaxable fringe benefits (other than de minimis fringe benefits), and expense allowances or reimbursements that the recipients must report as income on their separate income tax returns. This includes payments made under indemnification arrangements, the value of the personal use of housing, automobiles, or other assets owned or leased by the organization (or provided for the organization's use without charge), as well as any other taxable and nontaxable fringe benefits.

    Form 990 Challenges

    In theory, the compensation information disclosed in the Form 990 filings of not-for-profit organizations represents a true and accurate depiction of the elements of compensation that comprise each named executive’s total compensation package. However, many NFPs have had trouble completing these forms correctly. While Columns (C) and (D) are relatively straightforward, experience has shown that some organizations don’t accurately disclose the value of fringe benefits and non-cash compensation, which makes a true calculation of market compensation less likely. Some other challenges in obtaining data from 990s include:

    · Effectively define which other NFPs represent a “peer” of the organization seeking data from the operational and/or financial standpoint.

    · Actually obtaining Form 990 copies. Generally, requests for Form 990s can be made to the Internal Revenue Service and/or the organization itself, but you should expect a significant waiting period, assuming that the forms themselves are even available.

    · Determining which positions disclosed in the Form 990 match the “incumbent position” for which data is sought, since only titles are provided in the filing. It’s expected that better, more accurate and certainly more timely information will soon be available as electronic filing becomes more commonplace (as per IRS reporting requirements).

    Focusing On Non-Cash Comp

    Assuming that all cash compensation elements are reported accurately (base salary, bonus, deferred compensation, etc.), how then can accurate data be obtained for non-cash compensation? Ideally, if public disclosure of compensation data for not-for-profits mimicked the requirements set forth by the Securities and Exchange Commission for publicly-traded companies, an accurate assessment can be made. Until that time, however, a more resourceful method must be used to gather such data.

    Back to published compensation surveys. Many published surveys not only provide not only statistics covering cash compensation elements, but also data on the prevalence of a variety of other elements of the compensation package, such as automobile allowances, memberships, etc. These studies can help you determine if, in fact, the benefit is something that’s prevalent among top executives in comparable organizations. In some instances, average dollar values may also be disclosed, and these can provide a basis for comparison. Rather than rely on one source compensation planners for the organization should look at few such studies in order to provide a broader, more comprehensive picture of the marketplace.

    Industry associations are also a good source of compensation data. The professional organizations that govern the NFP sector often publish compensation and benefits studies that are available to its members, and these reports can provide valuable peer data that you can use in evaluating compensation elements.

    Many organizations also rely on their own network of contacts within the industry, as well as professional service firms that assist them (accountants, lawyers, etc.), to obtain pay and benefits data. However, information gathered in this manner is the least reliable, since individuals may not always be as forthcoming in their disclosures of their own compensation packages.

    More Art Than Science

    Ultimately, the collection of non-cash compensation is an art form that requires the evaluator to consider all possible resources, then to make a reasonable assertion that the data accurately reflects the marketplace. Any questions on the validity of the information received should necessitate a reevaluation of the data collected, as well as determining if this is an element of the compensation package that should truly be included in a calculation of reasonable pay.

    Determining the reasonable value of the compensation package for NFP executives while adhering to IRS regulations on Intermediate Sanctions is a complicated task. The organization’s Compensation Committee and/or Board of Director must act prudently and professionally when determining reasonable compensation for executives, and that means seeking out information from a variety of sources, and then utilizing the resulting data to determine the elements of a competitive executive compensation package.

    Finally, it’s also the responsibility of the organization’s Board or Committee to challenge any elements of the pay package that may be unclear, unbalanced or suspect, and to take decisive action to correct anything that could potentially be perceived as overcompensation.

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