📄 Extracted Text (881 words)
[FREEZE ENTITY NAME]
VOTING REQUIREMENTS
DECISION'
MANAGING PREFERRED RESIDUAL
TRUSTEE
UNITS UNITS UNITS
Determine alternative names under which Trust operates 11.1 None 50%-l- None None
Determine activities of Trust 11.2 None 50%-l- None None
Location of Trust offices ¶1.3(a) Sole None None None
Use certificates to represent Units ¶ L4 Sole None None None
Change classification of Trust as a partnership for federal income tax purposes 11.6 Yes 500/0+ 50%+ 50%-
None, but exercises
Election and removal of Investment Managers, who exercise investment powers over
investment powers if no 50%+ None None
Trust assets to the exclusion of holders and Trustee ¶ 2.2
Investment Manager
Compensation is
required for any Trust 50%-l- may
Company and any other contract with
Compensation to Trustee ¶ 2.3 Trustee if specified in Trustee for None None
the instrument of different
appointment; expenses compensation
are reimbursed
Selected and
Tax Matters Partner (must be a Managing Unit holder) 12.6 None None None
directed by 50%-1-
Family Member' [or a Charitable Organization] transferee allowed as Unit holder in a None None None None
transfer permitted under Article 6 ¶3.3(a)
The default percentage required in the decision by any class of Unit holders or by Unit holders generally is defined in paragraph 2.8.
2 Family Members include [names of individuals], their mutual descendants, the spouses and surviving spouses of those descendants, fiduciary arrangements (estates, trusts,
guardianships) for the benefit of family members and business organizations owned and controlled by them. See 112.19.
CH199 4882405-3.079337.0011
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[FREEZE ENTITY NAME], cont. Page 2
VOTING REQUIREMENTS
DECISION'
MANAGING PREFERRED RESIDUAL
TRUSTEE
UNITS UNITS UNITS
One or more 50%+ can block
Family Member issued Preferred or Residual Units holders must issuance of more Can Block by
Yes Contributing
in exchange for a capital contribution 3 ¶3.3(b) agree to contribute Preferred Units.
1%. See 13.5 See ¶3.4 Capital. See 13.4
Non-Family Member allowed as a Unit holder ¶ 3.3(c) If capital contribution 100% 100% 100%
Distribution of Income Flow (subject to priority distributions to Preferred
Sole None None None
Unit holders) 4 ¶ 4.2
Yes; sole for Tax
Discretionary Capital Distributions (subject to priority distribution
Distributions to None 50%+ None
to Preferred Unit holders and Tax Distributions? ¶ 4.3
Residual Unit holders
Redemption of future profits interest° held by Preferred Unit holder ¶ 4.4(a) Sole None None None
Redemption of Residual Units to extent a particular year's income tax liability exceeds Only holder of
¶4.4(b) Yes None None
distributions on such Residual Units during that year redeemed units
Only holder of
Redemption of Managing Units at holder's request ¶4.5(a) Yes None None
redeemed units
Redemption of Preferred Units at holder's request 1143(b)(1) Yes None 50°Ari- None
Redemption of Residual Units at holder's request 14.5(b)(2) Yes 50%+ 50%+ 50%—
1 Existing Residual Unit holders have a preemptive right to contribute capital to avoid dilution. The Trustee determines the need for capital.
4 Income Flow (subject to the requirement of cumulative net tax profits) is distributed annually, or more often a the Trustee's discretion. Trustee has a right to create reserves for
investment or other specified purposes out of cash that otherwise would be Income Flow. See ¶12.22.
5
Capital Proceeds are distributed annually, or more often at the Trustee's discretion, while any preferred payment is outstanding (except that such mandatory distribution cannot
exceed cumulative net tax profits). Trustee has a right to create reserves for investment or other specified purposes out of cash that otherwise would be Capital Proceeds. See
¶12.6. Discretionary Capital Distributions also can include Trust assets selected by the Trustee.
6
The future profits interest is the cumulative undistributed priority amount of the Preferred Units.
CH199 4882405-3.079337.0011
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[FREEZE ENTITY NAME], cont. Page 3
VOTING REQUIREMENTS
DECISION'
MANAGING PREFERRED RESIDUAL
TRUSTEE
UNITS UNITS UNITS
Determination of Trust assets to be distributed? 14.6 Sole None None None
Transfer of Managing Units to a new Family Member not already a Managing Unit
No 50%+ 50°4+ 50%+
holder ¶6.2(a)
Transfer of Preferred or Residual Units to a Family Member [or Charitable
None None None None
Organization] not already a Unit holder ¶6.2(b)
• [If proposed Transfer is bona fide 3rd party sale for cash
and Trust and holders do not block Transfer by exercising their
Transfer to any other Person not already a Unit holder ¶ 6.1. 6.2 None rights of first refusal: None]
• Any other Unauthorized Transfer: 100% by all Unit
holders
If Managing Unit Holders do not call
Meeting of Unit Holders ¶ 7.3 None 50°4+ meeting within prior 6 months:
30%+ Unit Holders in either class
Forced Dissolution of Trust ¶ 9.1 Yes 100% 100% 100%
Disposition of assets upon dissolution of the Trust ¶ 9.2 Sole None None None
Removal of Trustee ¶10.2 N/A 50°4+ 50%+ 50%+
Appointment of Successor Trustee 110.3 N/A 50%+ None None
Amendment to Trust Agreement ' Article 13 Yes 50%+ 50%+ 50%+
7 Subject to limitations: no Partner is required to accept any non-pro-rata distribution of partnership property unless all property being distributed is readily marketable.
Amendment to (i) any provision which affects a holder's share of liabilities or distributions requires that holder's approval and (ii) any provision requiring the action of partners
owning more than the required percentage to amend requires the approval of such greater number to amend that provision.
CH199 4882405-3.079337.0011
EFTA00742429
ℹ️ Document Details
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e78b15400f516ee07c3bfe52669e6aad7ffba46a838246e7b66b574b79370a3c
Bates Number
EFTA00742427
Dataset
DataSet-9
Document Type
document
Pages
3
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