DataSet-10
EFTA01356767
1 pg
…outside of
the required statute of limitations.
• In NY state debt collectors are required to file default judgements subject to the
statute of limitations in the state where the credit accrual occurred (i.e. if it
occurred in DE, statute…
DataSet-10
EFTA01394148
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01366323
1 pg
…the closing of this offering is
not considered a liquidation distribution under Delaware law and such redemption distribution is deemed to be
unlawful, then pursuant to Section 174 of the DGCL. the statute of limitations for claims of creditors could…
DataSet-10
EFTA01382665
1 pg
…facts and circumstances change (including a resolution of an issue or statute of limitations expiration). these
reserves arc adjusted through the provision for income taxes in the period of change. As the result of interest and amortization expenses that we
…
DataSet-10
EFTA01382821
1 pg
…deferred tax assets. The increase to the valuation allowance of $196 million in 2014 was primarily due to current year federal, state,
and foreign net operating losses which may not be utilized within the statute of limitations. Included in the…
DataSet-10
EFTA01392013
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01390782
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01354203
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01392375
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01355182
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01354634
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01352015
27 pg
…Trusts: An action for breach of trust based upon matters disclosed
in a trust accounting or written report of the trustee may be subject to a 6-
month statute of limitations from the receipt of the trust accounting or
other…
DataSet-10
EFTA01351994
21 pg
…Trusts: An action for breach of trust based upon matters disclosed
in a trust accounting or written report of the trustee may be subject to a 6-
month statute of limitations from the receipt of the trust accounting or
other…
DataSet-10
EFTA01355391
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01389722
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01394550
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01355002
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01393861
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01382991
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
DataSet-10
EFTA01386593
1 pg
…General
Partner will take primary responsibility for contesting U.S. federal income tax adjustments proposed by the
IRS, to extend the statute of limitations as to all investors and, in certain circumstances, the General Partner
may be able to bind…
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