Case File
efta-02557035DOJ Data Set 11OtherEFTA02557035
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DOJ Data Set 11
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efta-02557035
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3
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Text extracted via OCR from the original document. May contain errors from the scanning process.
From:
Eileen Alexanderson
Sent:
Thursday, July 5, 2012 7:02 PM
To:
'Jeffrey
Subject:
RE: follow up
See Article II on pgs 1-2 of the 2006 Trust Doc attached to my last email f=r language related to distribution of 'trust
accounting income' from opera=ing profits of 'relevant companies' which you will see detailed in II(A)3.=The 'relevant
companies' are the Apollo entities Leon had ownership intere=ts in that he contributed into the GRATs that poured into
the 2006 Trust. =here isn't specific language surrounding the principal. The trusts owns th= interests in Black Family
Partners and the monetization of the value of t=e BRH interests would not constitute 'trust accounting income' from
'opera=ing profits' and would therefore remain in the trust.
I will next forward a summary entitled 'History/Structure' that I wrote for=myself early on as I was trying to come up to
speed on what had been put i= place. I believe I left you a hard copy which was behind the org chart of=Black Family
Partners. There is a section on the first page with comments =n FLPs-I was in an education mode and, with hindsight, did
not fully under=tand the control issues but I think otherwise this will help you understan= where we came from.
Importantly, you will see there were 2 sets of GRATs. The termination of GR=Ts A-K went as planned. But the second set,
GRATs L-O lacked sufficient ca=h to make the final annuity payment to Leon so we did an inkind transfer o= the Black
Family Partners these GRATs owned to Leon and then he contribut=d these into a new GRAT, the Judah 2009 Trust. We
made that a 4 year GRAT =nstead of 2 years like the original ones we did because I felt we would no= have generated
enough cash in 2 years to make the annuity payments to Leo=.
Original Message
From: Jeffrey (mailto:[email protected]
Sent: Thursday, July 05, 2012 1:46 PM
To: Eileen Alexanderson
Subject: Re: follow up
Send me grat docs that separate income from capital appreciation
Sorry for all the typos .Sent from my iPhone
On Jul 5, 2012, at 12:09 PM, Eileen Alexanderson
rote:
> Jeffrey, thinking back through dialogs with Carlyn & Elyse and looking at=some of my old notes from those dialogs that
relate to our conversation th=s morning I offer the following:
> Regarding the issue of why turning off the income right now works is that=it would be the independent trustees
turning off the income right, not Leo=, and that the 2006 Trust was drafted purposely in anticipation of this. l=believe
this relates to the language on page 30 in the attached.
> Also, Ada (from US Trust) at one point had suggested to Carlyn that we co=sider having the trustees turn of the income
right in the 2006 Trust and t=en decant the assets from the 2006 Trust into a new trust before proceedin= with the Art
Partnership to insure a cleaner transaction.
> Also, on the subject of the 2006 Trust and other trust paying their own t=xes-important implication for Black Family
Partners would be that we no lo=ger have a single taxpayer.
EFTA_R1_01715895
EFTA02557035
> Best,
> Eileen
>
Original Message
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> Sent: Thursday, July OS, 2012 12:06 PM
> To: Eileen Alexanderson
> Subject: Scan from a Xerox Color
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This email and any files transmitted with it are confidential and intended solely for the person or entity to whom they
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