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efta-efta01192105DOJ Data Set 9OtherFrom: Richard Joslin
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DOJ Data Set 9
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efta-efta01192105
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From: Richard Joslin
To: Jeffrey Epstein <[email protected]>
Subject: Re:
Date: Sat, 22 Mar 2014 03:13:35 +0000
Attachments: Tax-Free Exchanges_of Art and Other Collectibles - Borden_2012.pdf;
Tax Def&red_Exchanges_olArCand_dther_Collectibis.pdf
Re Loan and Re Disqualified QI
A loan to a QI or Exchange Accomodation Titleholder is permitted in a reverse exchange based on Rev Proc
2000-37.
.03 Permissible Agreements. Property will not fail to be treated as being held in a QEAA as a result of any one or
more of the following legal or contractual arrangements, regardless of whether such arrangements contain terms
that typically would result from arm's length bargaining between unrelated parties with respect to such
arrangements:\
(1) An exchange accommodation titleholder that satisfies the requirements of the qualified intermediary safe
harbor set forth in §1.1031(k)-1(g)(4) may enter into an exchange agreement with the taxpayer to serve as the
qualified intermediary in a simultaneous or deferred exchange of the property under § 1031;
(2) The taxpayer or a disqualified person guarantees some or all of the obligations of the exchange
accommodation titleholder, including secured or unsecured debt incurred to acquire the property, or indemnifies
the exchange accommodation titleholder against costs and expenses;
(3) The taxpayer or a disqualified person loans or advances funds to the exchange accommodation titleholder or
guarantees a loan or advance to the exchangeaccommodation titleholder;
Re Disqualifed QI
I am looking to see if Gagosian transacted with Blacks within 2 year window. The Bryan Cave article references
the Weirbicki article and expands analysis
http://www.bryancave.corn/files/Publicationfite2abb2a-1093-490f-af90-
Ocec7496697e/Presentation/PublicationAttachment/961d6f73-1c5c-43cb-88e6-
1295b5942efd/Tax°420News%20and°420Developments%20(Fall%202013).pdf
I attach articles by same author (one a panel discussion with Treasury/IRS) re 1031 and art. I am researching
sales tax NY issue and reading excahnge doc to see complience with Rev Proc and QI/ EAT safe harbor.
On Fri, Mar 21, 2014 at 5:30 PM, Jeffrey Epstein <[email protected]> wrote:
http://www.aristitle.corn/news/docs/TrustandEstatesArticle.pdf appears to eliminate gagosian as a QI
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referencesRelated Documents (6)
DOJ Data Set 10CorrespondenceUnknown
EFTA Document EFTA01937741
0p
DOJ Data Set 11OtherUnknown
EFTA02583525
3p
DOJ Data Set 10CorrespondenceUnknown
EFTA Document EFTA01943844
0p
DOJ Data Set 11OtherUnknown
EFTA02582981
3p
DOJ Data Set 10CorrespondenceUnknown
EFTA Document EFTA01935096
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DOJ Data Set 10CorrespondenceUnknown
EFTA Document EFTA01936384
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