Blacconiere, Walter G.; Johnson, Marilyn F.; Lewis, … - In: Journal of Accounting and Economics 46 (2008) 1, pp. 101-111
We show that firms with executive bonuses that qualify for deduction under Internal Revenue Code Section 162(m) were less likely to expense stock option compensation (SOC) in 2002. Additionally, the more likely it is that a qualified firm will incur re-contracting costs, the less likely it is...