EFTA02036022
EFTA02036029 DataSet-10
EFTA02036030

EFTA02036029.pdf

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To: jeevacation©gmail.com[jeevacation©gmail.com]; Jeffrey Epsteinbeevacation©gmail.com] From: Peter Mandelson Sent Wed 3/30/2011 3:41:59 PM Subject: on - A lawyer in Rio has pointed out two problems in Reinaldo purchasing the Rio flat by means of a cash transfer from me: we would be liable to taxes in both UK and Brazil, and the purchase itself would be liable for two forms of property taxation in Brazil, 4% and 6% respectively of the full purchase price. This would be prohibitively expensive. The lawyer suggests the following scheme which he has operated for others. He would buy/create an offshore company in Panama and this company would open an account with HSBCPB in London. We would also create a Brazilian company which would have the Panamanian company as a partner (shares held by Reinaldo and me). The Brazilian company, managed by Reinaldo, would purchase the flat. The flat purchase would be financed by means of a loan from the Panamanian company's account in London to justify the offshore (non-taxable) origin of the money. The lawyer proposes that I invest US$50,000 to buy the shares of the Brazilian company (making a residence permit in Brazil also possible). The company would be liable for tax at 2% on the property purchase (rather than 4% and 6%). The company would have a Brazilian bank account (Safra or HSBC ?). The lawyer would have power of attorney to sign legal documents etc. As directors of the Brazilian company, Reinaldo and I would have joint control over the property. EFTA_R1_00548856 EFTA02036029
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20de1ac4fb99a7594d18edf17615f8878e0a8f4fd47c8854c80276d3e974d663
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EFTA02036029
Dataset
DataSet-10
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document
Pages
1

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