Case File
efta-02646406DOJ Data Set 11OtherEFTA02646406
Date
Unknown
Source
DOJ Data Set 11
Reference
efta-02646406
Pages
2
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0
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Extracted Text (OCR)
EFTA DisclosureText extracted via OCR from the original document. May contain errors from the scanning process.
From:
Barry J. Cohen
Sent:
Thursday, June....
To:
Jeffrey E.
Subject:
Art/DAFs--PRIVILEGED AND CONFIDENTIAL
When Leon wants to sell art at a gain, I think he sh=uld first give it to a donor advised fund (DAF), and let the DAF
consummat= the sale. Then he can use the proceeds to make charitable his norma= donations through the DAF. He
avoids all capital gains taxes. He gets to deduct only his basis (because o= the tax rules on donating collectibles), but I
think he's still bet=er off.
Right now, he sells art with a gain and pays taxes, =nd donates to charities with after tax dollars.
Downsides
•
He can't use a DAF to pay off charitable pledges. However=he has plenty of non-pledge charitable activity
•
If =he charity is an art charity and will accept a painting, it might be bette= for him to donate the painting
directly to the charity.
The charity actually gets the donation from the DAF, not LDB. Mos= DAFs let the donor establish a named
foundation or fund ("Leon Blac= Family Fund") and the transmittal letters have both the OAF name and the donor
suppled names on them.
•
The DAF actually has to sell it through Sotheby's or whatever=and will charge a little extra to make that happen.
In reality, we w=11 set up the entire sale with Sotheby's, and the DAF will just collect a check. The handling charge from
the OAF shou=d be small.
Am I missing anything?
Barry J. Cohen =
President and Speci=l Counsel I
Elysium ManagementALC I
445 Park Avenue Suite 1401
New York, NY 1002284=bsP;
1
EFTA_R1_01883192
EFTA02646406
Tel. (646) 589.0322 I Cell
> &n=sp;
2
EFTA_R1_01883193
EFTA02646407
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