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To: Jeffrey Epsteinueevacation©gmail.com]
From: McCaffrey, Carlyn
Sent: Thur 1/31/2013 9:05:25 PM
Subject: RE: Re:
Yes - the trust pays and then leon would pay if he took it back.
Remember when you're thinking about this issue that it's not really a substitution power. We refer to it
as that but if you look at the trust language, you will see that that's not what it says. It says that the
settlor has the power to reacquire and acquire trust property by substituting therefore other property of
an equivalent value.
Carlyn S. McCaffrey I Partner
McDermott Will & Emery LLP 1340 Madison Avenue, New York, NY 10173
www.mwe.com
From: Jeffrey Epstein [mailto:[email protected]]
Sent: Thursday, January 31, 2013 4:03 PM
To: McCaffrey, Carlyn
Subject: Re:
so that the trust pays? then if Icon wantss to substitutiie cash he pays. i am aware of 1031 but
I spoke to a calif sales tax person and she said not under substniion provision. but could not
point to authority either
On Thu, Jan 31, 2013 at 4:56 PM, McCaffrey, Carlyn > wrote:
the person who pays the sales tax is the person who is acquiring the tangible personal property, i.e., the
paintings. yes - it could happen multiple times just like it can happen with individuals. If, for example, I
hold a painting for investment purposes and make a section 1031 exchange, I pay sales tax. If I make a
second 1031 exchange, I pay another sales tax, etc.
Carlyn S. McCaffrey I Partner
McDermott Will & Eme LLP 340 Madison Avenue, New York, NY 10173
www.mwe.com
From: Jeffrey Epstein [mailto:[email protected]]
Sent: Thursday, January 31, 2013 3:45 PM
EFTA_R1_00336352
EFTA01904431
To: McCaffrey, Carlyn
Subject:
my irs people , also now can't see substitution provision causing sales tax , as it could happen
multiple times over the lift of the trust, setllor could not be liable for sales tax , or is the trust
the seller and the settlor the buyer?
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