Case File
efta-02608615DOJ Data Set 11OtherEFTA02608615
Date
Unknown
Source
DOJ Data Set 11
Reference
efta-02608615
Pages
2
Persons
0
Integrity
Extracted Text (OCR)
Text extracted via OCR from the original document. May contain errors from the scanning process.
From:
jeffrey E. <[email protected]>
Sent:
Friday, September 22, 2017 5:18 PM
To:
Barry J. Cohen; Melanie Spinella
Subject:
Re: Art in CLATs--PRIVILEGED AND CONFIDENTIAL
there is a reason i have not engaged on this subject:40=AD and have no intention of doing so. =C2* one point.
barry, as this is really a waste =f time. the main goal is not to avoid estate tax. =eons goal is to ulimately transfer the
most value to the kids. =. silly beyond belief. sorry
On Fri, Sep 22, =017 at 12:32 PM, Barry J. Cohen
wrote=
Conversation with Heather and Alan:
•
Art is valued on the same=date for the estate as it is for a testamentary CLAT, even if the CLAT is =ot
funded for years after death.
`
If the 6-month valuation =s lower for the non-CLAT art, we will be obligated to use that
valuation f=r everything, including the CLAT.
`
Therefore, there is =o chance of the art being valued at a high price for estate tax purposes a=d a lower
price for the CLAT.
•
Accordingly, we don't really care how long =t takes the art advisory board to value the art.
•
Because the 2-year statut= of limitations cannot be extended, even with taxpayer consent, the
IRS mu=t come up with a valuation within 2 years of filing.
•
We do prefer a lower=valuation for the CLAT so there is a greater likelihood of something
going=to the kids.
There is a risk that the art could be sold for an amount below the v=luation. Two mitigants:
If it is sold below our t=ntative valuation before filing, it is common to change such
valuation in =he filing.
If it is sold below the art board's valuation, that would be b=d, but always a risk that is
run with an estate selling assets.<=u>
•
Agree that paying ta= on art in fractional interests could be better, but it would lead to payi=g
estate tax, whereas the CLAT route pays no tax.
•
Giving=fractional interests to the CLAT might also be attractive. We are no= sure of LDB's
appetite to put more art into the art partnership o= other fractional interest mechanisms. Among other things, it
creates
=C24>
financing issues.<=li>
•
Agree that LDB is pro=ably the best seller of art, so he should seriously consider doing it befo=e
death. Not sure he is amenable.
Barry J. Cohen*.A0 I
EFTA_R1_01801397
EFTA02608615
President and Speci=l Counsel I
Elysium Management,=LLC
445 =ark Avenue Suite 1401
<https://maps.google.com/?q=445+Park+Ave=ue+Suite+1401%0D+New+York,+NY+10022&entry=gmail&source=g>
New =ork, NY 10022
<https://maps.google.com/?q=445+Park+Ave=ue+Suite+1401%0D+New+York,+NY+10022&entry=gmail&source=g>
1=/u>
4>=A0
please note
The information contained i= this communication is
confidential, may be attorney-client privileged =may
constitute inside information, and is intended only for
the use =f the addressee. It is the property of
JEE
Unauthorized use, disclos=re or copying of this
communication or any part thereof is strictly pro=ibited
and may be unlawful. If you have received this
communication =n error, please notify us immediately by
return e-mail or by e-mail to =a href="mailto:[email protected]"
target="_blank">jeevacation@gmai=.com, and
destroy this communication and all copies thereof,
inc=uding all attachments. copyright -all rights reserved
--001a114f5bea03b41c0559ca6526-- conversation-id 30465 date-last-viewed 0 date-received
1506100696 flags 8590195713 gmail-label-ids 7 6 remote-id 752367
2
EFTA_R1_01801398
EFTA02608616
Technical Artifacts (5)
View in Artifacts BrowserEmail addresses, URLs, phone numbers, and other technical indicators extracted from this document.
Email
[email protected]Phone
2608615Phone
2608616Phone
6100696URL
https://maps.google.com/?q=445+Park+Ave=ue+Suite+1401%0D+New+York,+NY+10022&entry=gmail&source=gForum Discussions
This document was digitized, indexed, and cross-referenced with 1,400+ persons in the Epstein files. 100% free, ad-free, and independent.
Annotations powered by Hypothesis. Select any text on this page to annotate or highlight it.