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📄 Extracted Text (950 words)
From: Ada Clapp
To: Jeffrey Epstein <[email protected]>
Subject: Re: Question re Restructuring
Date: Thu, 18 Apr 2013 16:25:08 +0000
As partners they would want to ensure they were getting fair value for their interests--but I hear you...
Ada Clapp
Black Family Partners
do Apollo Management
9 W 57th Street
New York NY 10019
phone:
email:
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On Apr 18, 2013, at 12:15 PM, Jeffrey Epstein <[email protected]> wrote:
the trustees would have no role int the redemption , it would be a partnership acct problem, we already have
plenty
On Thu, Apr 18, 2013 at 12:13 PM, Ada Clapp < > wrote:
dang email sent while I was still typing--I was about to type:
We would rely on the Independent Trustees to oversee the fairness of the transaction (to counter deemed gift
issues). If the borrowing by BFP were part of a plan to redeem them out as parters of BFP, the Trustees have a
large incentive to scrutinize the valuations.
Ada Clapp
Black Family Partners
EFTA00680357
do Apollo Management
9 W 57th Street
New York NY 10019
phone:
email:
IRS Circular 230 Disclosure:
Pursuant to IRS regulations, I inform you that any tax advice contained in this communication
(including attachments) is not intended or written to be used, and cannot be used by any person or
entity for the purpose of (i) avoiding tax related penalties imposed by any governmental tax authority,
or (ii) promoting, marketing or recommending to another party any transaction or matter discussed
herein. I advise you to consult with an independent tax advisor on your particular tax circumstances.
This communication, and any attachment, is for the intended recipient(s) only and may contain
information that is privileged, confidential and/or proprietary If you are not the intended recipient,
you are hereby notified that further dissemination of this communication and its attachments is
prohibited. Please delete all copies of this communication and its attachments and notify me
immediately that you have received them in error.
On Apr 18, 2013, at 12:01 PM, Jeffrey Epstein cjeevacation®gmail.com> wrote:
my initial recation is that i would like to use the substitution provison of teh 2006 trust, it is cleaner but let me
think about it, the issues of complex valuations, deemeds gifts , and ap iv , give me pause.
On Thu, Apr 18, 2013 at 11:43 AM, Ada Clapp < wrote:
Hi Jeffrey,
I was wondering out loud with Eileen yesterday: instead of having Leon borrow funds to substitute into the
2006 Trust in exchange for BFP interests, have you considered having BFP borrow funds to be used to
redeem the interests of all partners except Leon? I see the problem as the size of the loan but perhaps we
could consider this as one piece of the solution. What do you think?
Ada Clapp
Black Family Partners
Co Apollo Management
9 W 57th Street
New York NY 10019
phone:
email:
IRS Circular 230 Disclosure:
Pursuant to IRS regulations, I inform you that any tax advice contained in this communication
(including attachments) is not intended or written to be used, and cannot be used by any person or
entity for the purpose of (i) avoiding tax related penalties imposed by any governmental tax
authority, or (ii) promoting, marketing or recommending to another party any transaction or matter
EFTA00680358
discussed herein. I advise you to consult with an independent tax advisor on your particular tax
circumstances.
This communication, and any attachment, is for the intended recipient(s) only and may contain
information that is privileged, confidential and/or proprietary If you are not the intended recipient,
you are hereby notified that further dissemination of this communication and its attachments is
prohibited. Please delete all copies of this communication and its attachments and notify me
immediately that you have received them in error.
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EFTA00680359
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EFTA00680357
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