EFTA00967177.pdf

DataSet-9 4 pages 1,220 words document
👁 1 💬 0
📄 Extracted Text (1,220 words)
From: Jeffrey Epstein <jeevacationggmail.com> To: Alan S Halperin cj > Subject: Re: BFP Valuation 6/7/07 Date: Thu, 15 Aug 2013 14:07:58 +0000 we can discuss when you have more time, a house grat, has the same type issues, On Thu, Aug 15, 2013 at 8:02 AM, Alan S Halperin < > wrote: Thanks, Jeffrey. As for the discount, I have the following comments: 1. I think we may be confusing the discounts taken. Let's see what discount was taken when he created the 2009 GRAT (which occurred after the restructuring). The current discount in fact may be less than that which previously was taken. 2. Ultimately, it will be up to the appraiser as to the appropriate discount. While the appraiser will accept input, the appraiser must feel comfortable with its conclusion. 3. The appraiser will not want to be inconsistent with discounts taken with respect to similar interests. 4. Given the lock-up and other restrictions, I do not feel uncomfortable with the preliminary advise given. 5. Let's wait and see a preliminary report. Since the documentation for the swap -- the substitution document, promissory note and assignment -- can be done now without a set value, we do not need resolve this issue today. I agree that placing art into a GRAT likely is not subject to sales tax. This is so because a sales tax is triggered only if consideration is received. Here, the transfer is a gratuitous transfer, presumably without consideration. However, I recall some old case or ruling in NY where the NY taxing authority took the position that the funding of a CRT or GRAT with real property was an exchange for consideration (the right to receive an annuity) for purposes of the NY real property transfer and gains tax. We could try to track down that case or ruling if relevant. In any event, if the art is used as currency to pay an annuity, I fear the distribution, in-kind, in satisfaction of the annuity will trigger a sales tax. Here, there is an exchange for consideration. Also, we need to consider whether the use of the art during the GRAT term is permitted under the GRAT rules. On the one hand, the regulations anticipate that it is possible for the grantor to retain something greater than just the annuity amount. However, the example in the regs only deals with retaining the greater of the annuity amount and income. Since the GRAT rules are very specific, we should proceed with caution before going outside the specified rules. IRS Circular 230 disclosure: To ensure compliance with requirements imposed by the IRS, we inform you that any U.S. federal tax advice contained in this communication (including any attachments) is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue Code or (ii) promoting, marketing or recommending to another party any transaction or matter EFTA00967177 addressed herein. Click Here for More Information Alan S. Halperin I Partner Paul, Weiss, Rifkind, Wharton & Garrison LLP 1285 Avenue of the Americas I New York, NY 10019-6064 212 373-3313 Direct Phone 212 492-0313 (Direct Fax) From: "Jeffrey Epstein" <jeevacation(komail.com> To: Alan S HalperinfPaufWeiss@PaulWeiss Date: 08/15/2013 09:30 AM Subject: Re: BFP Valuation 6/7/07 as we will use the same discount putting it into the grats, i would prefer a 25 % number, i rarely take that large a discount. i am considering new grats that put in both stock and art. are you comfortable that the art on transfer does not trigger sales tax. On Thu, Aug 15, 2013 at 6:33 AM, Alan S Halperin < > wrote: I suspect that the discounts reflected in the attachment reflect the discounts relating to BFP. The biggest items reflected is AMH. I suspect that, in arriving at the value of AMH, there is a discount embedded in the analysis. IRS Circular 230 disclosure: To ensure compliance with requirements imposed by the IRS, we inform you that any U.S. federal tax advice contained in this communication (including any attachments) is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue Code or (ii) promoting, marketing or recommending to another party any transaction or matter addressed herein. Click Here for More Information Alan S. Halperin I Partner Paul, Weiss, Rifkind, Wharton & Garrison LLP 1285 Avenue of the Americas I New York, NY 10019-6064 1212) 3733313 (Direct Phone) l (212) 492-0313 (Direct Fax) From: 'Eileen Alexandersorr To: Alan S "'Ada Clapp - Jeffrey Epstein' <jeevacationagmail.com>, Jessica Soojian/PaulWeiss@PAULWEISS Date: 08/15/2013 08:25 AM Subject: BFP Valuation 617107 EFTA00967178 Original Message From: NY_730_11_XRX_COPYROOM (mailto:• Sent: Thursday, August 15, 2013 8:06 AM To: Eileen Alexanderson Subject: Scan from a Xerox Color Please open the attached document. It was scanned and sent to you using a Xerox Color. Number of Images: 7 Attachment File Type: PDF Device Name: NY 730_11 XRX COPYROOM Device Location: For more information on Xerox products and solutions, please visit This email and any files transmitted with it are confidential and intended solely for the person or entity to whom they are addressed and may contain confidential and/or privileged material. Any review, retransmission, dissemination or other use of, or taking of any action in reliance upon this information by persons or entities other than the intended recipient is prohibited. If you have received this email in error please contact the sender and delete the material from any computer. Apollo Global Management, LLC This message is intended only for the use of the Addressee and may contain information that is privileged and confidential. If you are not the intended recipient, you are hereby notified that any dissemination of this communication is strictly prohibited. If you have received this communication in error, please erase all copies of the message and its attachments and notify us immediately. The information contained in this communication is confidential, may be attorney-client privileged, may constitute inside information, and is intended only for the use of the addressee. It is the property of Jeffrey Epstein Unauthorized use, disclosure or copying of this communication or any part thereof is strictly prohibited and may be unlawful. If you have received this communication in error, please notify us immediately by return e-mail or by e-mail to [email protected], and destroy this communication and all copies thereof, including all attachments. copyright -all rights reserved This message is intended only for the use of the Addressee and may contain information that is privileged and confidential. If you are not the intended recipient, you are hereby EFTA00967179 notified that any dissemination of this communication is strictly prohibited. If you have received this communication in error, please erase all copies of the message and its attachments and notify us immediately. The information contained in this communication is confidential, may be attorney-client privileged, may constitute inside information, and is intended only for the use of the addressee. It is the property of Jeffrey Epstein Unauthorized use, disclosure or copying of this communication or any part thereof is strictly prohibited and may be unlawful. If you have received this communication in error, please notify us immediately by return e-mail or by e-mail to [email protected], and destroy this communication and all copies thereof, including all attachments. copyright -all rights reserved EFTA00967180
ℹ️ Document Details
SHA-256
e63d56034b83e9c530770d4a729bda0fd882f943b97baab349174c499bf35ce0
Bates Number
EFTA00967177
Dataset
DataSet-9
Type
document
Pages
4

Community Rating

Sign in to rate this document

📋 What Is This?

Loading…
Sign in to add a description

💬 Comments 0

Sign in to join the discussion
Loading comments…
Link copied!