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efta-efta01876676DOJ Data Set 10CorrespondenceEFTA Document EFTA01876676
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To:
Eileen Alexanderson
From:
Jeffrey Epstein
Sent
Wed 7/11/2012 12:49:59 AM
Subject: Re: FW: follow up
my recoomentation re delaware was wayyyyy „ before all the revelations.
On Tue, Jul 10, 2012 at 7:58 PM, Eileen Alexanderson
wrote:
Hello Jcffrcy,
Leon mentioned that you recommended he put the new Munch into a Delaware LLC to provide
more flexibility in the future. This would otherwise be going into Narrow Holdings LLC, a
New York LLC. Is the point that it's important that the painting is in an LLC by itself or that
it's a Delaware LLC? Not sure at this point that we will proceed with the art partnership but
just want to make sure I understand what you meant on this subject-is your thought this
artwork should not go into the art partnership even if in a separate LLC?
Also, I know you believe the transfer to the kids will be complete only at the time we turn off the
income right but since this is the key issue, I was just wondering if you had a chance to read
through the attached 2006 Trust document and whether you had any thoughts re Carlyn's
defense that we'd be ok if it was the independent trustees that turned off the income right ie.
out of Leon's control?
Still working on the issues you raised in terms the way ownership is titled on various filings-
should have a conclusion on this tomorrow.
Thank you!!
Eileen
From: Eileen Alexanderson
Sent: Thursday, July 05, 2012 12:09 PM
To: Jeffrey Epstein (jeevacationegmail.com)
Subject: follow up
Jeffrey, thinking back through dialogs with Carlyn & Elyse and looking at some of my old notes
from those dialogs that relate to our conversation this morning I offer the following:
Regarding the issue of why turning off the income right now works is that it would be the
independent trustees turning off the income right, not Leon, and that the 2006 Trust was
drafted purposely in anticipation of this. I believe this relates to the language on page 30 in the
attached.
Also, Ada (from US Trust) at one point had suggested to Carlyn that we consider having the
trustees turn of the income right in the 2006 Trust and then decant the assets from the 2006
EFTA_R1_00286221
EFTA01876676
Trust into a new trust before proceeding with the Art Partnership to insure a cleaner
transaction.
Also, on the subject of the 2006 Trust and other trust paying their own taxes-important
implication for Black Family Partners would be that we no longer have a single taxpayer.
Best,
Eileen
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Thanks Caroline. Am glad it went well. Kudos to paul for bringing over the
DOJ EFTA Data Set 10 document EFTA01345023
1p
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