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efta-efta01408677DOJ Data Set 10Correspondence

EFTA Document EFTA01408677

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efta-efta01408677
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EFTA Disclosure
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Subject: RE: Southern Financial - KYC Docs. [I] From: Zack Bunimovich < 1=1> Date: Tue, 08 Ma 2018 12:22:48 -0400 To: Nina Tona Cc: Davide-A Sferrazza Classification: For internal use only Hi Nina, AFC came back with some questions for Martin this morning. Ill loop you in. It's the last step before downstream setups. Thanks, Zack From: Nina Tona Sent: Tuesday, May 08, 2018 12:12 PM To: Zack Bunimovich Cc: Davide-A Sferrazza Subject: RE: Southern Financial - KYC Docs. [I] Classification: For internal use only Hello Zack — please advise where we stand with this. I understand it's with AFC. Thank you Nina Tona KCP products and services are intended and available only for persons who are sophisticated institutional investors within the meaning of the FINRA EFTA01408677 Rule 4512(C)(3), and who are capable of evaluating the strategies, characteristics and investment risks of, and exercising independent judgment in evaluating, the ideas and products discussed herein. Trades and transactions are subject to relevant internal approvals of DBSI or its affiliates prior to execution, and the execution of any transaction or idea discussed herein is conditional on your becoming a client of Deutsche Bank. Key Client Partners (KCP) products, investment ideas and solutions and related matters discussed herein are provided for discussion purposes only, and strictly on a non-advisory basis. The KCP Americas desk does not provide investment advice. The information set forth herein is confidential and personal to you and is being presented for your information and for discussion purposes only. Any reproduction and/or redistribution thereof (in whole or in part) or disclosure of its content without our written consent is strictly forbidden. This communication does not create any legally binding obligation on the part of DBSI or any of its affiliates. From: Aiasha Khokhar Sent: Thursday, April 19, 2018 5:07 PM To: Zack Bunimovich Cc: Liam Osullivan < >• Xavier Avila Subject: RE: Southern Financial - KYC Docs. [I] Classification: For internal use only To add one, ; Martin Zeman ; Davide-A Sferrazza ; Joshua Shoshan For question number 2, the tax form is needed for reporting purposes, it's a requirement to collect tax form as part of KYC and ensures that the client is FATCA compliant as per IRS regulations. EFTA01408678 Please feel free to reach out if you have any questions / concerns. Thx Best Regards, Aiasha Khokhar From: Aiasha Khokhar Sent: Thursday, April 19, 2018 5:00 PM To: Zack Bunimovich ; Martin Zeman Cc: Liam Osullivan < ; Davide-A Sferrazza ; Xavier Avila ; Joshua Shoshan Subject: RE: Southern Financial - KYC Docs. [I] Classification: For internal use only Hi Zack: Please attach the CRS form to review. However the client must reach out to their tax team for clarification as we are not authorized to give tax advice or help. EFTA01408679 Client also has to provide a tax form as well. Thanks Best Regards, Aiasha Khokhar From: Zack Bunimovich Sent: Thursday, April 19, 2018 1:22 PM To: Martin Zeman Khokhar Cc: Liam Osullivan < >; Xavier Avila ; Nina Tona Aiasha ; Davide-A Sferrazza S >; Joshua Shoshan Subject: RE: Southern Financial - KYC Docs. [I] Classification: For internal use only Hi Aiasha, I was told you would be able to assist with the below questions Southern Financial had about our CRS form. Can you take a look? Martin — I will see if this confirmation from Richard works... Thanks, Zack EFTA01408680 From: Martin Zeman Sent: Thursday, April 19, 2018 10:54 AM To: Zack Bunimovich Cc: Liam Osullivan ; ; Nina Tona Davide-A Sferrazza ; Xavier Avila Subject: RE: Southern Financial - KYC Docs. [I] Classification: For internal use only Zack, ; Joshua Shoshan See attached the FATCA + CRS form. Three follow-up questions from the client: 1. Can we clarify the definition of 'Active NFE — other' versus 'Passive NFE' under Part 2 (b). The definition is not very clear to the client. They believe they are 'Active NFE — other' but want clarification 2. Can you say what happens with the information in this form? What does DB do with it and who is it reported to? 3. Do US Virgin Islands also fall under this reporting requirement? On the other points, note the DOB of their legal reps are: Darren Indyke Richard Kahn (see confirmation of this in the attached email from Richard Kahn) Thanks Martin EFTA01408681 From: Zack Bunimovich Sent: Wednesday, A ril 11, 2018 5:50 PM To: Martin Zeman ; Nina Tona ‹ > Subject: RE: Southern Financial - KYC Docs. [I] Classification: For internal use only Hi Martin, Verification asked for two more points of information — see below. DOB for the Legal Reps o Darren K. Indyke o Richard Kahn Clarification of the NOB. o The NOB provided in the Articles of Organization and Operating Agreement is too vague. Please provide more detailed explanation of NOB. Thanks, Zack From: Martin Zeman Sent: Tuesday, April 10, 2018 1:28 PM To: Zack Bunimovich < =:-; Nina Tona ‹ > Subject: RE: Southern Financial - KYC Docs. [I] Classification: For internal use only Zack EFTA01408682 See the attached email chain where we established that a FATCA form was not needed. Martin From: Zack Bunimovich Sent: Monday, April 09, 2018 11:47 AM To: Martin Zeman ffi ; Nina Tona ‹ > Subject: FW: Southern Financial - KYC Docs. [I] Classification: For internal use only Hey Martin / Nina, Southern Financial is with Verification but they noticed that we do not have a CRS Self Certification form on file anymore from previous onboardings. We are usually looking for something similar to the attached format, but it's possible that the client has provided this before and has their own template. Can this be requested from the client? Thanks, Zack From: Anthony Lentini Sent: Monday, April 09, 2018 10:51 AM To: Zack Bunimovich Subject: Southern Financial - KYC Docs. [I] EFTA01408683 Classification: For internal use only Hi Zack, An update on Southern Financial, it is with Verification and they are reviewing right now. While they were going through their review they noticed that the CRS Self Cert file from a previous onboarding is no longer on file/- in the system. Could you please send over a new CRS Self Cert so they can proceed with their review? Apologies for the inconvenience. Kind Regards, {cid:1 [email protected]} Anthony Lentini Client Data Services I COO DBUSA Core Corp. 5201 Gate Parkway Jacksonville FL32256 Tel.: (- E-mail: minute delay NA EFTA01408684

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