| http://www.w3.org/ns/prov#value | - In a notice-of-reportable-event letter dated June 28, 1985, the CF & I plan administrator reported the spin-off to the PBGC as a transaction involving a transfer of ... an ownership interest in a contributing sponsor, pursuant to 29 C.F.R. ?? 2515.23(a)(1)(ii) (1985).4 Rabushka contends that Crane had a duty to report to CF & I's plan administrator that CF & I's spin-off was a transaction to imp
|