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From: "Barry J. Cohen" <I
To:"
CC: Tom Turrin , Jeffrey Epstein [email protected]>, Leon Black
Subject: Re: IRS
Date: Mon, 01 May 2017 00:56:26 +0000
Apollo can't answer question #2 (under Apollo) unless we tell them what our assessment is. JEE has asked that
we not do that.
I will be on a plane from 10-4 tomorrow, likely with access to email, but not phone.
Sent from my iPhone
On Apr 30, 2017, at 8:51 PM, " '< > wrote:
Tom, thank you for your more precise comments on my earlier note. Instructive and relevant.
I know my basic questions for agent:
I. Where did these adjustments emanate from?
2. Wasn't 2012 closed?
3. Have they been interacting with the designated tax partner at brh or anyone else at apollo?
4. Are we correct in assuming that this "assessment" moots their first inquiry since they appear to have
answered their own initial question to leon?
For apollo:
I. Have other people been receiving brh assessments.
2. Do they foot with our (apollo's) records of brh ownership.
For our working group:
I. Once we understand where these adjustments came from, assess implications for other years, if any.
I am sure there are other q's and we can all organize in the mom. It seems like we're all on the same page and
you and jeffrey will touch bases in the mom as well. B
Sent from my Verizon Wireless BlackBerry
From: "Barry J. Cohen" <
Date: Sun, 30 Apr 2017 23:35:28 +0000
To: Thomas Turrin
Cc: jeffrey [email protected]>; >; Leon
Black
Subject: IRS
Maybe there was an audit of an entity downstream from BRH. I only asked Apollo about BRH. How else
would 2012 still be open?
Sent from my iPhone
On Apr 30, 2017, at 7:17 PM, Thomas Turrin < wrote:
This audit could have been done internally by IRS. I know that IRS sometimes does examinations internally (client isn't
contacted until "internal" audit is concluded).. Because BRH Holdings LP is mainly a holding entity owning many
EFTA01047857
other flow-through partnership entities, IRS could easily trace all K-1's flowing from these other partnerships to the
BRH return without doing a field audit at Apollo's offices. It would not be difficult for them to undertake such an
internal audit and trace all the K-1's into BRH. The IRS could readily pull this K-1 information from their system.
It is very surprising to me that Deloitte nor anyone Apollo knew of these audits. Also, it's interesting that other non-
founding executives at Apollo were
also recently given assessment notices relating to audits of related Apollo partnerships. The IRS audit was more than
just BRH.
The BRH Holdings LP adjustment of income is likely to have resulted from an audit of one or more of the investee
entities owned by BRH.
From: Jeffrey E. [mailto:jeevacSgmail com
Sent Sunday, April 30, 2017 6:51 PM
To: Barry Cohen; Thomas Turrin;
Cc: Leon Black
Subject: Re:
We were told that neither Deloitte or apollo tax knew of this . That was the first question
On Sun, Apr 30, 2017 at 6:18 PM Thomas Turrin < > wrote:
Please see my comments below in red.
--Original Message
From: [mailto:
Sent: Sunday, April 30, 2017 11:33 AM
To: Jeffrey Epstein; Thomas Turrin; Barry Cohen
Cc: Leon Black
Subject:
Guys-can I just mention and confirm some things:
1. As an fyi, but as I believe you know, RI is pulling together the back-up and presentation on the other items of BRH
income highlighted in the original IRS notice this week end. Hopefully we will not have to submit.
2. As we all know I aint no tax guy but I read the assessment letter very carefully and my "uninformed" view is
exactly torn and jeffrey's first reaction (which may or may not have changed), ie, that the IRS found/acknowledges
378,805,695 of what they believe should be 379,707,381 or a delta of 884,006. (They also found a delta of 17,680 in
itemized deductions.) Definitionally, these numbers have to include BRH numbers and as jeffrey said to me, they
answered the question they posed in the initial notice.
The "delta" in income is not a result of an audit of Leon's tax return. The "delta" is Leon's (BFP's) allocable share
of the adjustment of BRH Holdings, LP ordinary income
as a result of an audit of the tax return of BRH Holdings. The issue is on the BRH partnership return. Suzanne
Wong (or someone at Apollo or Deloitte) should be able to
provide a copy of the IRS audit report explaining the adjustment of BRH. I will not be able to speak to the agent
about BRH specifically since I am not the tax preparer of BRH.
When the IRS audits a partnership and makes an adjustment to the partnership's income or deductions, the IRS
sends adjustment notices to the partners such as the one received late Friday in which they indicate the specific
partner's allocable share of the partnership adjustment. The IRS notice also computes the additional tax and
interest (there was no penalty) related to the adjustment of BRH income.
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The delta in itemized deductions is strictly due to the fact that Leon's gross income increased due to the audit
adjustment of BRH Holdings, LP...no other reason.
There was no disallowance of Leon's deductions claimed on his personal return. Total gross income affects the
amount of miscellaneous itemized deductions subject to the
2% gross income limitation...so the amount of miscellaneous itemized deductions decreased due to increase in
income...it's simple limitation calculation.
3. In that context, my personal view is that torn tries to reach out by phone monday (after he and jeffrey touch base
today or tomorrow morn to coordinate) to confirm that the 360k assessment is the show stopper. Brad, I agree
with this approach. The 360 assessment as a result of the BRH audit in my opinion is the show stopper....if Leon
were to sign off on
adjustment and pay the assessment promptly, that is the end of this.
4. On a parallel basis, I'd have jeffrey and tom edit the "alternate response letter" which, again, would set out our
belief that the "assessment" ends this process, at least for 2012. If we don't hear back from the agent then we
should submit in writing our understanding of the notice and assessment. I believe (and so does my partner Lisa
Goldman) that this notice of adjustment of should "end the process". I can call first thing Monday and confirm
(if the agent takes my call). We can discuss strategy first thing tomorrow.
5. As an aside, if !eon's brh assessment is 884,006 it wld be nice to see if that foots with the overall assessment to
the other BRH partners and cross-check to ownership %'s; although at the end of the day I'm not certain that's
critical.
The audit report issued to BRH Holdings, LP would disclose the reason for the adjustment. It would be
interesting to see whether the audit adjustment is proportional to the other founding partners, it should be.
Thgts? I'm reachable by email or cell phone. Best, b Sent from my Verizon Wireless BlackBerry
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