📄 Extracted Text (283 words)
5/21/14
Tax Receivable Agreement Models
I. Contract Language
A. Section 3.03 "Pro Rata Payments"
(1) To the extent APO Corp.'s deduction with respect to the Basis
Adjustment is limited in a particular Taxable Year ... the limitation on
the deduction ... shall be taken into account and made for each
Applicable Holder on a pro rata basis relative to the total amount of
deductions each holder was entitled to get with respect to the
aggregate Basis Adjustments for all Applicable Holders."
II. Pro Rata Methods
A. Cumulative Pro Rata
All deductions (current and carried forward) are treated as current
deductions. If there is a cut back, it is made "pro rata" based on all
deductions of all holders.
B. Modified FIFO
(1) "Tax Law" method. Current year deductions are taken first and cut
back is pro rata of current deductions.
(2) Carrvforwards are "ear-marked" for each Holder and traced utilizing
the tax law rules of oldest first. Cut back is done at each vintage year
level, pro rata for that year. Unused NOLs expire.
III. Models
A. Common Assumptions
(1) Rowan exchanges 100% of interests as soon as possible under
operable agreements.
(2) Harris exchanges 50% of interests as soon as possible.
(3) Black exchanges 50% of interests, 10% a year beginning in 2014.
(4) AGM stock prices increase 2% a year.
B. Projection Model
(1) Based on Company projections through 2018, thereafter profits grow
2% per year.
DocN: USI:9417840v1
EFTA00595692
2
(2) APO Corp. incurs $80M interest expense annually on $1 billion AGM
(shareholder) loan.
C. Projection Limited Model
(1) Based on Company projections through 2016, then grows at 2% per
year.
(2) Follows other assumption in B above.
Doc$: USI:9417840v1
EFTA00595693
ℹ️ Document Details
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fb51c24b2b4bf3c63f1cd8e3a80e003eb163b744abda11d09827303cced3e2bc
Bates Number
EFTA00595692
Dataset
DataSet-9
Document Type
document
Pages
2
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