DataSet-10
EFTA01520322
1 pg
…JPMSI are members of the Securities Investor Protection Corp ("SIPC"), a not-for-profit membership corporation funded by broker-dealers registered with the Securities and Exchange
Commission. Securities and cash held for a customer at JPMSI and JPMCC are protected…
DataSet-10
EFTA01520292
1 pg
…JPMSI are members of the Securities Investor Protection Corp ("SIPC"), a not-for-profit membership corporation funded by broker-dealers registered with the Securities and Exchange
Commission. Securities and cash held for a customer at JPMSI and JPMCC are protected…
DataSet-10
EFTA01480530
1 pg
…l
Companies 15259971 (NAIC)
Client Legal Entity Type Corporation Client Category Profit
Date of Incorporation/Situs 07/18/1991
(Date of Trust)
Documentary Evidence …
DataSet-10
EFTA01980787
2 pg
…of a recently enacted federal income tax
benefit.
President Obama recently signed into law changes to tax law that may, under certain
circumstances, exempt profits from investments in startup companies from ALL federal income
tax, including alternative minimum tax. Yes…
DataSet-10
EFTA01384689
1 pg
…other than in certain withdrawals of Interests, would be
treated as dividend income when received by the Partners to the extent of the current or
accumulated earnings and profits of the Partnership; and Partners would not be entitled to report…
DataSet-10
EFTA01365233
1 pg
…any
allowance for deductions) would be subject to federal income tax at the usual corporate rate, and possibly to a
branch profits tax of 30%. The imposition of unanticipated taxes could materially impair the Issuer's ability to make
payments…
DataSet-10
EFTA01450066
1 pg
…do not
make any representations.11:—
[1(i)] [Party Al [and] [Party B] [each] makers] the following representation:—
It is fully eligible for the benefits of the "Business Profits" or Industrial and Commercial Profits" provision.
as the case may be…
DataSet-10
EFTA01382819
1 pg
…unrecognized tax benefits (b) 12 4
Prior year adjustments (b) (7) (6) 2
Nondeductible bad debts …
DataSet-10
EFTA01450016
1 pg
…in that jurisdiction;
(b) In respect of all Transactions other than those described in subsection (a) above, it is
fully eligible for the benefits of the "Business Profits" or "Industrial and Commercial
Profits" provision, as the case may be, the …
DataSet-10
EFTA01382772
1 pg
…under the Code.
Any such effectively connected dividends received by a foreign corporation may be subject to an additional "branch profits tax" at a 30% rate or
such lower rate as may be specified by an applicable income tax treaty…
DataSet-10
EFTA01825042
2 pg
…a set dollar amount. I would counter that it makes little
sense it says received four times its money.. what if the co is really profitiable but money has not
been distributed. you should have another hurdle. after the third…
DataSet-10
EFTA01377773
1 pg
…holder
that is a corporation may be subject to an additional "branch profits tax" at a rate of 30% (or such lower rate as may be specified
by an applicable income tax treaty) on its "effectively connected earnings and profits…
DataSet-10
EFTA01378059
1 pg
…within the United States). A distribution will constitute a dividend for V.S. federal
income tax purposes to the extent of our current or accumulated earnings and profits as determined for U.S. federal income tax purposes. Any distribution not
…
DataSet-10
EFTA01366735
1 pg
…respect of shares of our Class A common stock will constitute dmiclends for United Slates federal income tax purposes to the
extent paid from out ourrent or accumulated earrings are profile as determined under United States federal moons tax principles…
DataSet-10
EFTA01382398
1 pg
…provides otherwise. Any such effectively connected dividends received by a foreign corporation may be subject to an additional 'branch
profits tax" at a 30% rate or such lower rate as may be specified by an applicable income tax treaty, on…
DataSet-10
EFTA01389830
1 pg
…and in the descriptions of the priority profit share and carried interest set forth in Section 6: Summery of Terms
and Condtions above are intended to satisfy the disclosure requirements for 'eligible indirect compensation' for which
the alternative reporting option…
DataSet-10
EFTA01451888
1 pg
…Master
Fund, which is also treated as a partnership for U.S. federal income tax purposes.
Taxation of Investors on Onshore Feeder Fund Profits and Losses. The Onshore
Feeder Fund itself generally will not be subject to U.S. federal…
DataSet-10
EFTA01452017
1 pg
…and in the descriptions of the priority profit share and carried interest set forth in Section 7: Summary of Terms
and Conditions above are intended to satisfy the disclosure requirements for 'eligible indirect compensation' for which
the alternative reporting option…
DataSet-10
EFTA01365283
1 pg
…common trust fund.
special trust. pension, profit sharing or other retirement trust fund or plan in which the partners.
beneficiaries or participants, as applicable. may designate the particular investments to be made
and (v) is acquiring its Income Notes in…
DataSet-10
EFTA01510072
1 pg
…JPMS are members of the Securities Investor Protection Corp ("SIPC'), a not-for-profit membership corporation funded by broker-dealers registered with the Securities and Exchange
Commission. Securities and cash held for a customer at JPMS and JPMCC are protected…
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