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sd-10-EFTA01451898Dept. of JusticeOtherEFTA Document EFTA01451898
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Dept. of Justice
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sd-10-EFTA01451898
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Summary
SOF III - 1081 Southern Financial LLC the Master Fund purchase and sell stocks and securities. The Onshore Feeder Fund, the Offshore Feeder Fund or their respective Investors may be required to file tax returns in particular countries or to provide information regarding beneficial ownership or certification that they are eligible for a reduced rate of taxation (e.g., treaty benefits) in particular countries. If appropriate, the Onshore Feeder Fund or the Offshore Feeder Fund may organize
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SOF III - 1081 Southern Financial LLC
the Master Fund purchase and sell stocks and securities. The Onshore Feeder Fund, the
Offshore Feeder Fund or their respective Investors may be required to file tax returns in
particular countries or to provide information regarding beneficial ownership or
certification that they are eligible for a reduced rate of taxation (e.g., treaty benefits) in
particular countries.
If appropriate, the Onshore Feeder Fund or the Offshore Feeder Fund may organize
intermediate vehicles through which it will invest in the Master Fund (or stocks and
securities), or may take other steps, in order to, for example, mitigate any requirement that
Investors file tax returns in, or provide information to, countries in which the Master Fund
makes investments. However, no assurances can be made that these mitigation steps will
be effective. Moreover, countries other than the United States may impose transfer, stamp,
documentary or other similar taxes in respect of an investment in the Onshore Fund or the
Offshore Feeder Fund by certain Investors. For Investors in the Onshore Feeder Fund,
such taxes will be treated as an expense of Investors to the extent such taxes are borne by
the Onshore Feeder Fund. Investors may not be able to claim any tax credits with respect
to these taxes.
Investors in the Onshore Feeder Fund and the Offshore Feeder Fund may be required to
include the gross amount (before imposition of taxes) of dividends, interest and gains in
their income in their home jurisdiction and, depending on the tax rules of their home
jurisdiction, may be entitled to claim either a credit (in the case of U.S. Holders, subject,
however, to various limitations on foreign tax credits, as discussed above under "Foreign
Tax Credit Limitations") or a deduction (in the case of U.S. Holders, subject to the
limitations generally applicable to deductions) for their share of such foreign taxes in
computing their tax liability in their home jurisdiction. Because the Cayman Islands is not
a party to treaties that provide for the reduction of withholding taxes, any such taxes on the
Offshore Feeder Fund may be imposed at a higher rate than would be the case if an investor
had acquired such securities directly.
Because the Offshore Feeder Fund will elect to be treated as a corporation for U.S. federal
income tax purposes, U.S. Tax-Exempt Investors will not be entitled to claim a credit for
any non-U.S. income taxes paid by the Offshore Feeder Fund or the Master Fund and, in
general, will not be eligible to claim the benefits of any income tax treaty between the
United States and a foreign country to reduce such taxes.
Cayman Islands Tax Considerations
Under current Cayman Islands law, there are no taxes on income or gains and distributions
made by the Offshore Feeder Fund will not be subject to withholding tax in the Cayman
Islands. The Cayman Islands currently imposes stamp duty on certain categories of
documents; however the contemplated operations of the Offshore Feeder Fund do not
involve the payment of stamp duties in any material amount.
51
CONFIDENTIAL - PURSUANT TO FED. R. CRIM. P. 6(e)
DB-SDNY-0108746
CONFIDENTIAL
SONY GM_00254830
EFTA01451898
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