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efta-efta01854031DOJ Data Set 10CorrespondenceEFTA Document EFTA01854031
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efta-efta01854031
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To:
Jeffrey EMeevacation©gmail.comj
From:
Eileen Alexanderson
Sent
Wed 7/30/2014 5:53:08 PM
Subject: acquisition structure
Per advice from Paul Weiss:
-APO 1 would form and fund a Bermuda or Cayman company (which would be disregarded if we
`check the box')
-The foreign company would set up a Delaware LLC as a US subsidiary of the foreign company
-that US Subsidiary would then merge with Artspacc Inc
-Artspace Inc is the surviving entity
-we would convert Artspace Inc to an LLC, thereby allowing the benefit of losses it generates to
flow up to Leon
If desired we can add another layer by having APO form a Delaware LLC which then forms the
foreign company
Rationale for foreign company rather than a foreign trust relates to avoiding need for trustee and
yet still has the attribute of it being tough to enforce a US judgment and harder to get jurisdiction
over a foreign corp.
Does this cover our needs?
Thanks, E.
EFTA_R1_00249963
EFTA01854031
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