📄 Extracted Text (640 words)
To: Jeffrey EMeevacation@gmaitcomi
From: Larry Cohen
Sent Tue 6/3/2014 3:20:58 PM
Subject: RE: For Jeffrey: supporting organization roadmap
Thanks.
Who else do you have attending today? Lisa Johnson will join us from Foundation
From: jeffrey E. [mailto:[email protected]]
Sent: Tuesday, June 3, 2014 8:20 AM
To: Larry Cohen
Subject: Fwd: For Jeffrey: supporting organization roadmap
----- Forwarded messa e
From: Lesley Groff
Date: Tue, Jun 3, 2014 at 11:00 AM
Subject: Fwd: For Jeffrey: supporting organization roadmap
To: Jeffrey Epstein [email protected]>
Sent from my iPhone
Begin forwarded message:
From: "Russo, Raphael M"
Date: June 3, 2014, 10:54:53 AM EDT
To:'
Cc: "Ezring, Gregory A"
Subject: For Jeffrey: supporting organization roadmap
We took a look over the weekend at the supporting organization roadmap that
you sent us and have the following observations:
Most importantly, there are a number of features described in the roadmap that
suggest a level of oversight by the Parent that could deem it to control the SO. By
way of example:
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• The donor is entitled to appoint only a minority of the board of the SO (pg 2).
The Parent must elect a majority of the SO board (pg 4).
• The SO board may not be controlled by "disqualified persons" which includes
major donors and their related parties (pg 4).
• The SO must be free to accept/ reject any suggestion or request made by the
donor (pg 2) and in the case of NPT, has rejected some grant requests in the past
(pg 5)
• Concentrated positions may be retained by the SO "if good investments" and
"the aggregate public charity asset allocation is prudently diversified" (pg 3). This
suggests a level of investment oversight at the Parent level or at the SO level under
the direction of the Parent.
• Parent may delegate or accept recommendations from the SO subcommittees
with regard to investments and grantmaking (pg 4).
• SO is subject to prudent investing standards (pg 5).
Taken together, these features suggest to us that while it should be possible to
establish information barriers to separate the SOs from each other and the Parent
for insider trading purposes, you would have to aggregate holdings at the parent
level for purposes of Section 13d and Section 16.
Let us know if you want to discuss this further or otherwise prepare for tonight's
call.
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Click Here for More Information
Raphael M. Russo I Partner
Paul, Weiss, Rifkind, Wharton & Garrison LLP
I New York NY 10019-6064
(Direct Phone) I (Direct Fax)
www.patilwciss.com
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ℹ️ Document Details
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daaa8e969b245e778eb47ad04f77593dcdca2dc2ba7e33a1529d9f453fce750c
Bates Number
EFTA01923942
Dataset
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Document Type
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Pages
3
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