Foini 8858
gley. December 2013)
Information Return of U.S. Persons With Respect To Foreign Disregarded Entities
Ile Information about Form 8858 and Its separate Instructions Is at vAvw.Irs.gov/form8858.
OMB No. 1545-1910
Oepartment of the TleavoY
Information furnished for the foreign disregarded entitys annual accounting period (see instructions)
Attachment
Internal Revenue Service beginning JAN 1 .2013 . and ending DEC 31 . 20 1 3 Sequence No. 140
Name of person filing this retu n Filer's identifying number
LEON D. & DEBRA BLACK
Number. stree and room or suite no. or P.O. box number it mail is not delivered to street address)
Filer's tax year beginning JAN 20 13 , and ending DEC 31 .2013
Important Fill in all applicable lines and schedules. All information must be in English. All amounts must be stated in U.S. dollars unless otherwise indicated.
to Name and address of foreign disregarded entity bey, if any
JMWT TOPCO LIMITED
REGENTS WHARF, ALL SAINTS ST
b(2) Reference ID number (see instructions)
LONDON FC N1 9
UNITED KINGDOM
c Country(ies) under whose laws organized and entity type under local tax law d Date(s) of organization e Effective date as foreign
UNITED KINGDOM CORPORATION 09 28 12 disregarded entity
09/28/12
f If benefits under a U.S. tax treaty were claimed with respect to income g Country in which principal h Principal business I Functional currency
of the foreign disregarded entity, enter the treaty and article number business activity is conducted activity
INVESTMENT UNITED
UNITED KINGDOM INVESTMENT KINGDOM,POUND
2 Provide the following information for the foreign disregarded entity's a counting period stated above.
a Name, address, and identifying number of branch office or agent (if any) in the b Name and addrmn Mowing corpecatO depalment. It amenable) of person(e)with CIAStOdY
or the b00kd cgOortZ: Ct tha ttypOn adeggardni entity. and the location al such bOOKS
United States and records. i1°event
ANDREW PRICE
REGENTS WHARF, ALL SAINTS ST
LONDON, FC N1 9PA
UNITED KINGDOM
3 For the tax owner of the foreign disregarded entity (if different from the filer) provide the following:
a Name and address b Annual accounting period covered by the return (see instructions)
c(1) U.S. identifying number, if any
02) Reference ID number (see instructio s)
f?% d Country under whose laws organized
4 For the direct owner of the foreign disregarded entity (if different from the tax owner provide the following:
a Name and address b Country under whose laws organized
e Functional currency
JMWT ACQUISITION LLP
REGENTS WHARF, ALL SAINTS ST UNITED KINGDOM
LONDON, FC N1 9PA
UNITED KINGDOM if any I d Functional currency
'UNITED KINGDOM,PO
5 Attach en I:idolization,' chart that identities the name. placement. percentageof ownership. tax classification. andcounty cd organization of all entities in the chain of ownership behtten the tax
Peeler and the loreIgn disregarded entity. and the chore ol ownership between the loreir dieregarded entity end each entity In which the Welch disregarded entity Ninth% or more direct or
:Wiwi Interco'. See inelluclicne.
SEE STATEMENT 77
For Paperwork Reduction Act Notice, see the separate instructions. Form 8858 (Rev. 12-2013)
312411 12-10.13 LHA
518
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114674
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 2
lSchedule C [ Income Statement (see instructions)
Important Report ail information in functional currency in accordance with U.S. GAAP. Also, report each amount in U.S. dollars translated from functional
currency (using GAAP translation rules or the average exchange rate determined under section 989(b)). If the functional currency is the U.S. dollar.
complete only the U.S. Dollars column. See instructions for specialrules for foreign disregarded entities that use DAS TM.
If you are using the average exchange rate (determined under section 989(b)), check the following box
Functional Currency U.S. Dollars
I Gross receipts or sales (net of returns and allowances) 1
2 Cost of goods sold 2
3 Gross profit (subtract line 2 from line 1) 3
4 Other income 4
5 Total income (add Ines 3 and 4) 5
6 Total deductions 6
7 Other adjustments 7
8 Net income (loss) per books 8
Schedule C-1 I Section 987 Gain or Loss Information
(a) (b)
Note. See the instructions if there are multiple recipients of remittances Amount stated in Amount stated in
from the foreign disregarded entity. functional currency of functional currency
foreign disregarded entity of recipient
1 Remittances from the foreign disregarded entity
2 Section 987 gain (loss) of recipient 2
Yes No
3 Were all remittances from the foreign disregarded entity treated as made to the direct owner?
4 Did the tax owner change its method of accounting for section 987 gain or loss with respect to remittances from the gweign disregarded
entity during the tax year?
Schedule F I Balance Sheet
Important Report all amounts kt U.S. dollars computed in functional currency and translated into U.S. dollars in accords with U.S. GAAP.
See instructions for an exception for foreign disregarded entities that use DASTM.
Assets Beginning annual End of annual
accounting period accounting period
I Cash and other current assets 1
2 Other assets 2 44,449,838. 45,404,959.
3 Total assets 3 44,449,838. 45,404,959.
Liabilities and Ova y
4 Liabilities 4
"iv y N ,
5 Owner's equity 5 44,449,838. 45,404,959.
6 Total liabilities and oymer's equity 1 6 44,449,838. 45,404,959.
Schedule G I Other Information
Yes No
I During the tax year, did the foreign disregarded entity own an interest in any trust? X
2 During the tax year, did the foreign disregarded entity own at least a 10% interest, directly or indirectly, in any foreign partnership? X
3 Answer the following question only if the foreign disregarded entity made its Section to be treated as disregarded from
Its owner during the tax year: Did the tax owner claim a loss with respect to stock or debt of the foreign disregarded entity as a
result of the election?
4 If the interest in the foreign disregarded entity is a separate unit under Reg. 1.1503(d)-1(bX4) or part of a combined separate unit
under reg. 1.1503(d)-1(bX4)(ii) does the separate unit or combined separate unit have a dual consoidated loss as defined in Reg.
1.1503(d)-1(b)(5)(10? N /A
If 'Yes: enter the amount of the dual consolidated $ Answer question 5a.
Form 8858 (Rev. 12-2013)
519
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114675
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 3
Schedule G I Other Information (continued)
Yes No
5a Was any portion of the dual consolidated loss in question 4 taken into account in computing consolidated taxable income for the
year? If "Yes; go to 5b. 'No; skip 5b and 5c
b Was this permitted domestic use of the dual consolidated loss under Reg. 1.1503(d)-6? If 'Yes, see instructions and skip 5c.
It"No," go to 5c
c If this was not a permitted domestic use, was the dual consolidated loss used to compute consolidated taxable income as provided
under Reg. 1.503(d)-4?
If "Yes; enter the separate unit's contribution to the cumulative consolidated Taxable income (cumulative register) as of the
beginning of the lax year Ne. $ See Instructions.
6 During the tax year, did the foreign disregarded entity pay or accrue any foreign tax that was disqualified for credit under
section 901(m)?
7 During the tax year, did the foreign disregarded entity pay or accrue foreign taxes to which section 909 applies, or treat foreign
taxes that were previously suspended under section 909 as no longer suspended?
8 Answer the following question only if the tag owner of the foreign disregarded entity k a controlled foreign corporation
(CFC): Were there any intracompany transactions between the foreign disregarded entity and the CFC or any other branch of the
CFC during the tax year, in which the foreign disregarded entity acted as a manufacturing, selling, or purchasing branch?
Schedule H Current Earnings and Profits or Taxable Income (see instructions)
Important Enter the amounts on lines 7 through 6 in functional currency.
I Current year net income or (loss) per foreign books of account 1
2 Total net additions 2
3 Total net subtractions 3
4 Current earnings and profits (or taxable income — see instructions) (Iine 1plus ire 2 us line 3) 4
5 DASTM gain or loss (if applicable) 5
6 Combine lines 4 and 5 6
7 Current earnings and profits (or taxable income) in U.S. doNars eine 6 translated at the average exchange rate determined under
section 989(b) and the related regulations (see instructions)) 7
Enter exchange rate used for line 7 ► 40;7
Form 8858 (Rev. 12-2013)
31,413
V-10.13
520
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114676
Information Return of U.S. Persons With Respect To Foreign Disregarded Entities I
Foini 8858
December 2013)
Ile Information about Form 8858 and its separate Instructions Is at vAvw.irs.gov/form8858.
OMB No. 1545-1910
Oepartment of the if esan
Information furnished for the foreign disregarded entitys annual accounting period (see instructions)
men
Internal Revenue Service beginning JAN 1 .2013 .and ending DEC 31
Name of person filing this retu n
LEON D. & DEBRA BLACK
number if mail is not delivered to street address)
Filers tax year beginning , 20 13 , and ending DEC 31 .20 13
Important Fill in all applicable lines and schedules. All information must be in English. All amounts must be stated in U.S. dollars unless otherwise indicated.
to Name and address of foreign disregarded entity b 1 U.S. iden " n number if any
JMWT MIDCO LIMITED
REGENTS WHARF, ALL SAINTS ST
b(2) Reference ID number (see instructions)
LONDON FC Ni 9
UNITED KINGDOM
c Coo ntry(ies) under whose laws organized and entity type under local tax law d Date(s) of organization e Effective date as foreign
UNITED KINGDOM CORPORATION 09 12 12 disregarded entity
09/12/12
1 If benefits under a U.S. tax treaty were claimed with respect to income g Country in which principal h Principal business I Functional currency
of the foreign disregarded entity, enter the treaty and article number business activity is conducted activity
INVESTMENT UNITED
UNITED KINGDOM KINGDOM,POUND
2 Provide the following information for the foreign disregarded entity's a counting period stated above.
a Name, address, and identifying number of branch office or agent (if any) in the b Name and addrmn Mowing corpecatO d.palmant. appladable) 01person(S) with CufStOclY
CA MO bOOkdani .A0OftZ: CI Cho ttypOn LICAggard9CI entity. and the Iccallon a such WOKS
United States and recycle. if afferent
ANDREW PRICE
REGENTS WHARF, ALL SAINTS ST
LONDON, FC Ni 9PA
UNITED KINGDOM
3 For the tax owner of the foreign disregarded entity (if different from the filer) provide the (okaying:
a Name and address b Annual accounting period covered by the return (see instructions)
c(1) U.S. identifying number, if any
c(2) Reference ID number (see instructio s)
P d Country under whose laws organized
4 For the direct owner of the foreign disregarded entity (if different from the tax owner provide the following:
a Name and address b Country under whose laws organized
e Functional currency
JMWT TOPCO LIMITED
REGENTS WHARF, ALL SAINTS ST ITED KINGDOM
LONDON, FC Ni 9PA
UNITED KINGDOM c U.S. identi n number, if any K TFunctional currency
ITED KINGDOM,PO
5 Attach an cifprizatronal chart that identifies the note. placement. percentage of ownership. tax asssilication, and county of crganization of all entities in the chain of ownership betwaen the tax
owner and the lorggn disregarded entity. and the chain al CumerilhiP between the loreigi disregarded entity and each entity In which the foreir disregarded entity hese 10% or more direct or
:Wiwi 'Mortal. See inatiuclicns.
SEE STATEMENT 78
For Paperwork Reduction Act Notice, see the separate Instructions. Form 8858 (Rev. 12-2013)
312411 12-10.13 IHA
521
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114677
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 2
Schedule C I Income Statement (see instructions)
Important Report all information in functional currency in accordance with U.S. GAAP. Also, report each amou —nitn U.S. dollars transla functional
currency (using GAAP translation rules or the average exchange rate determined under section 989(b)). If the functional currency is the U.S. dollar.
complete only the U.S. Dollars column. See instructions for specialrules for foreign disregarded entities that use DASTM.
If you are using the average exchange rate (determined under section 989(b)), check the following box
Functional Currency U.S. Dollars
1 Gross receipts or sales (net of returns and allowances) 1
2 Cost of goods sold 2
3 Gross profit (subtract line 2 from line 1) 3
4 Other income 4
5 Total income (add Ines 3 and 4) 5
6 Total deductions 6
7 Other adjustments 7
8 Net income (loss) per books 8
I-Schedule C-1 I Section 987 Gain or Loss Information
(a) (b)
Note. See the instructions if there are multiple recipients of remittances Amount stated in Amount stated in
from the foreign disregarded entity. functional currency of functional currency
foreign disregarded entity of recipient
1 Remittances from the foreign disregarded entity
2 Section 987 gain (loss) of recipient 2
Yes No
3 Were all remittances from the foreign disregarded entity treated as made to the direct owner?
4 Did the tax owner change its method of accounting for section 987 gain or loss with respect to remittances from the foreign disregarded
entity during the tax year? ..
Schedule F I Balance Sheet
Important Report all amounts in U.S. dollars computed in functional currency and translated into U.S. dollars in accordance with U.S. GAAP.
See instructions loran exception for foreign disregarded entities that use DASTM.
(
Assets Beginning of annual End ofannual
accounting period accounting period
1 Cash and other current assets 1
kiimut
2 Other assets 2 66,674,757. 68,107,438.
3 Total assets 3 66,674,757. 68,107,438.
Liabilities and Car:nefifty %
4 Liabilities 4 22,882,533. 25,426,777.
5 Owner's equity 5 43,792,224. 42,680,661.
6 Total liabilities and owner's equity 6 66,674,757. 68,107,438.
Schedule G I Other Information
Yes No
1 During the tax year, did the foreign disregarded entity own an interest in any trust? X
2 During the tax year, did the foreign disregarded entity own at least a 10% interest, directly or indirectly, in any foreign partnership? X
3 Answer the following question only if the foreign disregarded entity made its Section to be treated as disregarded from
its owner during the tax year: Did the tax owner claim a loss with respect to stock or debt of the foreign disregarded entity as a
result of the election?
4 If the interest in the foreign disregarded entity is a separate unit under Reg. 1.1503(d)-1(bX4) or part of a combined separate unit
under reg. 1.1503(d)-1(bX4)(ii) does the separate unit or combined separate unit have a dual consoidated loss as defined in Reg.
1.1503(d)-1(b)(5)(10? N/A
If "Yes; enter the amount of the dual consolidated loss► $ Answer question 5a.
Form 8858 (Rev. 12-2013)
31,412
12-10.13
522
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
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LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 3
Schedule G I Other Information (continued)
Yes No
5a Was any portion of the dual consolidated loss in question 4 taken into account in computing consolidated taxable income for the
year? If "Yes; go to 5b. 'No; skip 5b and 5c
b Was this permitted domestic use of the dual consolidated loss under Reg. 1.1503(d)-6? If 'Yes, see instructions and skip 5c.
It"No," go to 5c
c If this was not a permitted domestic use, was the dual consolidated loss used to compute consolidated taxable income as provided
under Reg. 1.503(d)-4?
If "Yes; enter the separate unit's contribution to the cumulative consolidated Taxable income (cumulative register) as of the
beginning of the lax year Ne. $ See Instructions.
6 During the tax year, did the foreign disregarded entity pay or accrue any foreign tax that was disqualified for credit under
section 901(m)?
7 During the tax year, did the foreign disregarded entity pay or accrue foreign taxes to which section 909 applies, or treat foreign
taxes that were previously suspended under section 909 as no longer suspended?
8 Answer the following question only if the tag owner of the foreign disregarded entity k a controlled foreign corporation
(CFC): Were there any intracompany transactions between the foreign disregarded entity and the CFC or any other branch of the
CFC during the tax year, in which the foreign disregarded entity acted as a manufacturing, selling, or purchasing branch?
Schedule H Current Earnings and Profits or Taxable Income (see instructions)
Important Enter the amounts on lines 7 through 6 in functional currency.
I Current year net income or (loss) per foreign books of account 1
2 Total net additions 2
3 Total net subtractions 3
4 Current earnings and profits (or taxable income — see instructions) (Iine 1plus ire 2 us line 3) 4
5 DASTM gain or loss (if applicable) 5
6 Combine lines 4 and 5 6
7 Current earnings and profits (or taxable income) in U.S. doNars eine 6 translated at the average exchange rate determined under
section 989(b) and the related regulations (see instructions)) 7
Enter exchange rate used for line 7 ► 40;7
Form 8858 (Rev. 12-2013)
31,413
V-10.13
523
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114679
Information Return of U.S. Persons With Respect To Foreign Disregarded Entities
Form8858
0a.ey. December 2013)
lb. Information about Form 8858 and its separate instructions Is at vAvw.lrs.gov/form885&
OMB No. 1545-1910
Department of the Treasury
Information furnished for the foreign disregarded entitys annual accounting period (see instructions)
Attachment
Internal Revenue Service beginning JAN 1 .2013 . and ending DEC 31 .20 13 $80taance No 140
Name of person filing this return Flier's Identifying number
LEON D. & DEBRA BLACK
x number it mail is not delivered to street address)
Filer's tax year beginning JAN , 20 13 , and ending DEC 31 ,2013
Important Fill in all applicable lines and schedules. All information must be in English. All amounts must be stated in U.S. dollars unless otherwise indicated.
la Name and address of foreign disregarded entity 6(1) U.S. identifying number, if any
MARLYEBONE RETAIL LIMITED
REGENTS WHARF, ALL SAINTS ST
b(2) Reference ID number (see instructions)
LONDON N1 9PA
UNITED KINGDOM
e Country(ies) under whose laws organized and entity type under local tax law d Date(s) of organization e Effective date as foreign
UNITED KINGDOM CORPORATION 10 03 12 disregarded entity
10/03/12
If benefits under a U.S. tax treaty were claimed with respect to income g Country in which principal it Principal business I Functional currency
of the foreign disregarded entity, enter the treaty and article number business activity is conducted activity
RETAIL BOOKS UNITED
UNITED KINGDOM KINGDOM, POUND
2 Provide the following information for the foreign disregarded entity's a counting period stated above.
a Name, address, and identifying number of branch office or agent (if any) in the b NAT,. and adotwn Procuring corporato dapxtrnant. It applwab90 01PerS0001with mated/
44 tne books are records of the tenser, oegegardeci entity. AM MA location 01 such books
United States - amirecvos.uoe4gem
ANDREW PRICE
REGENTS WHARF, ALL SAINTS ST
LONDON, N1 9PA
UNITED KINGDOM
3 For the tax owner of the foreign disregarded entity (if different from the filer) provide the following:
a Name and address b Annual accounting period covered by the return (see instructions)
e(l) U.S. identifying number, if any
e(2) Reference ID number (see instructio s)
d Country under whose laws organized e Functional currency
4 For the direct owner of the foreign disregarded entity (if different from the tax owner provide the following:
a Name and address ti Country under whose laws organized
PHAIDON PRESS LTD.
REGENTS WHARF, ALL SAINTS ST UNITED KINGDOM
LONDON, N1 9PA
UNITED KINGDOM e U.S. identifying number, if any IJN Functional currency
ITED KINGDOM,PO
5 Attach an organizational chart that identities the name. placement percentage of ownership. tax dassilication. wadcountry of organization of all entities in Ihe chain of ownership between the tax
ma and the foreign disregarded entity. and the cheil of ernership between the lorelgi disregarded entity end each entity In which the Sorelr disregarded entity Wise 1094 or more direct or
ndieci nterest See. instructions.
SEE STATEMENT 79
For Paperwork Reduction Act Notice, see the separate instructions. 1- 07118858 (Rev. 12-2013)
512411 12-10.15 IHA
524
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114680
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 2
Schedule C I Income Statement (see instructions)
Important Report all information in functional currency in accordance with U.S. GAAP. Also, report each amou —nitn U.S. dollars transla functional
currency (using GAAP translation rules or the average exchange rate determined under section 989(b)). If the functional currency is the U.S. dollar.
complete only the U.S. Dollars column. See instructions for specialrules for foreign disregarded entities that use DASTM.
If you are using the average exchange rate (determined under section 989(b)), check the following box w
Functional Currency U.S. Dollars
1 Gross receipts or sales (net of returns and allowances) 1 160,322.
2 Cost of goods sold 2 73,344.
3 Gross profit (subtract line 2 from line 1) 3 86,978.
4 Other income 4
5 Total income (add Ines 3 and 4) 5 86,978.
6 Total deductions 6 109,200.
7 Other adjustments 7
8 Net income (loss) per books 8 -22,222.
'Schedule C-1 I Section 987 Gain or Loss Information
(a) (b)
Note. See the instructions if there are multiple recipients of remittances Amount stated in Amount stated in
from the foreign disregarded entity. functional currency of functional currency
foreign disregarded entity of recipient
1 Remittances from the foreign disregarded entity 1
2 Section 987 gain (loss) of recipient 2
Yes No
3 Were all remittances from the foreign disregarded entity treated as made to the direct owner?
4 Did the tax owner change its method of accounting for section 987 gain or loss with respect to remittances from the foreign disregarded
entity during the tax year? ..
Schedule F I Balance Sheet
Important Report all amounts in U.S. dollars computed in functional currency and translated into U.S. dollars in accordance with U.S. GAAP.
See instructions loran exception for foreign disregarded entities that use DASTM.
Beginning of annual End of annual
accounting period accounting period
1 Cash and other current assets 1 6,572. 28,824.
2 Other assets e 2 38,038. 32,871.
3 Total assets 3 44,610. 61,695.
Liabilities and Ov:n filty %C O
4 Liabilities 4 547,898. 599,168.
5 Owner's equity 5 -503,288. —537,473.
6 Total liabilities and owner's equity 6 44,610. 61,695.
Schedule G I Other Information
Yes No
1 During the tax year, did the foreign disregarded entity own an interest in any trust? X
2 During the tax year, did the foreign disregarded entity own at least a 10% interest, directly or indirectly, in any foreign partnership? X
3 Answer the following question only if the foreign disregarded entity made its Section to be treated as disregarded from
its owner during the tax year: Did the tax owner claim a loss with respect to stock or debt of the foreign disregarded entity as a
result of the election?
4 If the interest in the foreign disregarded entity is a separate unit under Reg. 1.1503(d)-1(bX4) or part of a combined separate unit
under reg. 1.1503(d)-1(bX4)(ii) does the separate unit or combined separate unit have a dual consoidated loss as defined in Reg.
1.1503(d)-1(b)(5)(10? N/A
If "Yes; enter the amount of the dual consolidated loss► $ Answer question 5a.
Form 8858 (Rev. 12-2013)
31,412
12-10.13
525
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114681
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 3
Schedule G I Other Information (continued)
Yes No
5a Was any portion of the dual consolidated loss in question 4 taken into account in computing consolidated taxable income for the
year? If "Yes; go to 5b. 'No; skip 5b and 5c
b Was this permitted domestic use of the dual consolidated loss under Reg. 1.1503(d)-6? If 'Yes, see instructions and skip 5c.
It"No," go to 5c
c If this was not a permitted domestic use, was the dual consolidated loss used to compute consolidated taxable income as provided
under Reg. 1.503(d)-4?
If "Yes; enter the separate unit's contribution to the cumulative consolidated Taxable income (cumulative register) as of the
beginning of the lax year Ne. $ See Instructions.
6 During the tax year, did the foreign disregarded entity pay or accrue any foreign tax that was disqualified for credit under
section 901(m)?
7 During the tax year, did the foreign disregarded entity pay or accrue foreign taxes to which section 909 applies, or treat foreign
taxes that were previously suspended under section 909 as no longer suspended?
8 Answer the following question only if the tag owner of the foreign disregarded entity k a controlled foreign corporation
(CFC): Were there any intracompany transactions between the foreign disregarded entity and the CFC or any other branch of the
CFC during the tax year, in which the foreign disregarded entity acted as a manufacturing, selling, or purchasing branch?
Schedule H Current Earnings and Profits or Taxable Income (see instructions)
Important Enter the amounts on lines 7 through 6 in functional currency.
I Current year net income or (loss) per foreign books of account 1
2 Total net additions 2
3 Total net subtractions 3
4 Current earnings and profits (or taxable income — see instructions) (Iine 1plus ire 2 us line 3) 4
5 DASTM gain or loss (if applicable) 5
6 Combine lines 4 and 5 6
7 Current earnings and profits (or taxable income) in U.S. doNars eine 6 translated at the average exchange rate determined under
section 989(b) and the related regulations (see instructions)) 7
Enter exchange rate used for line 7 ► 40;7
Form 8858 (Rev. 12-2013)
31,413
V-10.13
526
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114682
Foreign Disregarded Entities
Form8858
geev.D 2013)
Information Return of U.S. Persons With Respect To
► Information about Form 8858 and its separate instructions Is at vAvw.Irs.gov/fortn885&
OMB No. 1545-1910
Information furnished for the foreign disregarded entitys annual accounting period (see instructions)
Oepartment of the Tie...laity Attechinent
internal Revenue Service beginning JAN 1 ,m13 . and ending DEC 31 . 2013 Dacitaance No 140
Name of person filing this return Filer's Identifying number
LEON D. & DEBRA BLACK
x number it mail is not delivered to street address)
year egin , 20 1 3 ,and ending DEC 31 ,20 13
Important Fill in all applicable lines and schedules. All information must be in English. All amounts must be stated in U.S. dollars unless otherwise indicated.
la Name and address of foreign disregarded entity 6(1) U.S. identifying number, if any
PHAIDON VERLAG GMBH
INNSTRA030
b(2) Reference ID number (see instructions)
BERLIN 12043
GERMANY
e Country(ies) under whose laws organized and entity type under local tax law d Date(s) of organization e Effective date as foreign
GERMANY CORPORATION 10 03 12 disregarded entity
10/03/12
If benefits under a U.S. tax treaty were claimed with respect to income g Country in which principal h Principal business I Functional currency
of the foreign disregarded entity, enter the treaty and article number business activity is conducted activity
PUBLISHING EUROPEAN
GERMANY UNION, EURO
2 Provide the following information for the foreign disregarded entity's a counting petdd stated above.
a Name, address, and identifying number of branch office or agent (if any) in the b NAT,. and adotmc tincturing corporate depalmant. It appicatae) of P.S00(e) wen mated/
ot the books ar+i concede of Ihe forcer owegarded entity. AM the location of such boots
United States awreopfus.iice4gem
ANDREW PRICE
REGENTS WHARF, ALL SAINTS ST
LONDON, N1 9PA
UNITED KINGDOM
3 For the tax owner of the foreign disregarded entity (if different from the filer) provide the following:
a Name and address b Annual accounting period covered by the return (see instructions)
e(1) U.S. identifying number, if any
e(2) Reference ID number (see instructio s)
4
a
f?% d Country under whose laws organized
For the direct owner of the foreign disregarded entity (if different from the tax owner provide the following:
Name and address b Country under whose laws organized
e Functional currency
PHAIDON PRESS LTD.
REGENTS WHARF, ALL SAINTS ST UNITED KINGDOM
LONDON, N1 9PA
UNITED KINGDOM e U.S. identifying number, if any 14 1Functional currency
ITED KINGDOM,PO
5 Attach an orepnizational chart that identities the name. placement. percentage of ownership. tax classification. endcounty of orepnization of all entities in the chain of ownership between the tax
onmer and the loreign disregarded entity. and the civil of ownership between the loreir disregarded entity end each entity In which the foreign disregarded entity has a 11)94 or more direct or
ndieci nines,. See. instructions.
SEE STATEMENT 80
For Paperwork Reduction Act Notice, see the separate instructions. Fain 8858 (Rev. 12-2013)
512411 12-10.15 IHA
527
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114683
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 2
Schedule C I Income Statement (see instructions)
Important Report all information in functional currency in accordance with U.S. GAAP. Also, report each amou —nitn U.S. dollars transla functional
currency (using GAAP translation rules or the average exchange rate determined under section 989(b)). If the functional currency is the U.S. dollar.
complete only the U.S. Dollars column. See instructions for specialrules for foreign disregarded entities that use DASTM.
If you are using the average exchange rate (determined under section 989(b)), check the following box D6
Functional Currency U.S. Dollars
1 Gross receipts or sales (net of returns and allowances) 1
2 Cost of goods sold 2
3 Gross profit (subtract line 2 from line 1) 3
4 Other income 4
5 Total income (add Ines 3 and 4) 5
6 Total deductions 6 105,397.
7 Other adjustments 7
8 Net income (loss) per books 8 -105,397.
I-Schedule C-1 I Section 987 Gain or Loss Information
(a) (b)
Note. See the instructions if there are multiple recipients of remittances Amount stated in Amount stated in
from the foreign disregarded entity. functional currency of functional currency
foreign disregarded entity of recipient
1 Remittances from the foreign disregarded entity 1
2 Section 987 gain (loss) of recipient 2
Yes No
3 Were all remittances from the foreign disregarded entity treated as made to the direct owner?
4 Did the tax owner change its method of accounting for section 987 gain or loss with respect to remittances from the foreign disregarded
entity during the tax year? ..
Schedule F I Balance Sheet
Important Report all amounts in U.S. dollars computed in functional currency and translated into U.S. dollars in accordance with U.S. GAAP.
See instructions loran exception for foreign disregarded entities that use DASTM.
Beginning of annual End of annual
accounting period accounting period
1 Cash and other current assets 1 5,0[5. 135,458.
2 Other assets e 2 399,621. 456,389.
3 Total assets 3 404,636. 591,847.
Liabilities and Ov:n filty %C O
4 Liabilities 4 877,925. 1,195,860.
5 Owner's equity 5 -473,289. -604,013.
6 Total liabilities and owner's equity 6 404,636. 591,847.
Schedule G I Other Information
Yes No
1 During the tax year, did the foreign disregarded entity own an interest in any trust? X
2 During the tax year, did the foreign disregarded entity own at least a 10% interest, directly or indirectly, in any foreign partnership? X
3 Answer the following question only if the foreign disregarded entity made its Section to be treated as disregarded from
its owner during the tax year: Did the tax owner claim a loss with respect to stock or debt of the foreign disregarded entity as a
result of the election?
4 If the interest in the foreign disregarded entity is a separate unit under Reg. 1.1503(d)-1(bX4) or part of a combined separate unit
under reg. 1.1503(d)-1(bX4)(ii) does the separate unit or combined separate unit have a dual consoidated loss as defined in Reg.
1.1503(d)-1(b)(5)(10? N/A
If "Yes; enter the amount of the dual consolidated loss► $ Answer question 5a.
Form 8858 (Rev. 12-2013)
31,412
12-10.13
528
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114684
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 3
Schedule G I Other Information (continued)
Yes No
5a Was any portion of the dual consolidated loss in question 4 taken into account in computing consolidated taxable income for the
year? If "Yes; go to 5b. 'No; skip 5b and 5c
b Was this permitted domestic use of the dual consolidated loss under Reg. 1.1503(d)-6? If 'Yes, see instructions and skip 5c.
It"No," go to 5c
c If this was not a permitted domestic use, was the dual consolidated loss used to compute consolidated taxable income as provided
under Reg. 1.503(d)-4?
If "Yes; enter the separate unit's contribution to the cumulative consolidated Taxable income (cumulative register) as of the
beginning of the lax year Ne. $ See Instructions.
6 During the tax year, did the foreign disregarded entity pay or accrue any foreign tax that was disqualified for credit under
section 901(m)?
7 During the tax year, did the foreign disregarded entity pay or accrue foreign taxes to which section 909 applies, or treat foreign
taxes that were previously suspended under section 909 as no longer suspended?
8 Answer the following question only if the tag owner of the foreign disregarded entity k a controlled foreign corporation
(CFC): Were there any intracompany transactions between the foreign disregarded entity and the CFC or any other branch of the
CFC during the tax year, in which the foreign disregarded entity acted as a manufacturing, selling, or purchasing branch?
Schedule H Current Earnings and Profits or Taxable Income (see instructions)
Important Enter the amounts on lines 7 through 6 in functional currency.
I Current year net income or (loss) per foreign books of account 1
2 Total net additions 2
3 Total net subtractions 3
4 Current earnings and profits (or taxable income — see instructions) (Iine 1plus ire 2 us line 3) 4
5 DASTM gain or loss (if applicable) 5
6 Combine lines 4 and 5 6
7 Current earnings and profits (or taxable income) in U.S. doNars eine 6 translated at the average exchange rate determined under
section 989(b) and the related regulations (see instructions)) 7
Enter exchange rate used for line 7 ► 40;7
Form 8858 (Rev. 12-2013)
31,413
V-10.13
529
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114685
Form8858
Ow. December 2013)
Information Return of U.S. Persons With Respect To Foreign Disregarded Entities
► Information about Form 8858 and its separate instructions Is at vAvw.lrs.gov/form885&
OMB No. 1545-1910
Clepartment of the Tit-awry
Information furnished for the foreign disregarded entitys annual accounting period (see instructions)
Attachment
Intanal Revenue Service bernninl JAN 1 2013 .andendin DEC 31 .2013 Sequence No. 140
Name of person filing this return Filer's Identifying number
LEON D. & DEBRA BLACK
Number street. and room or suite no. box number it mail is not delivered to street address)
Filer's tax year beginning JAN 1 20 13 , and ending DEC 31 , 20 13
Important Fill in all applicable lines and schedules. AD information must be in English. All amounts must be stated in U.S. dollars unless otherwise indicated.
la Name and address of foreign disregarded entity big U.S. identifying number, if any
PHAIDON PRESS LTD SARL
VIALE BIANCA MARIE 23
b(2) Reference ID number (see instructions)
MILAN 20122
ITALY
e Country(ies) under whose laws organized and entity type under local tax law d Date(s) of organization e Effective date as foreign
ITALY CORPORATION 10 03 12 disregarded entity
10/03/12
f If benefits under a U.S. tax treaty were claimed with respect to income g Country in which principal h Principal business I Functional currency
of the foreign disregarded entity, enter the treaty and article number business activity is conducted activity
PUBLISHING EUROPEAN
ITALY .1k UNION, EURO
2 Provide the following information for the foreign disregarded entity's a counting period stated above.
a Name, address, and identifying number of branch office or agent (if any) in the b NAT,. and arktm:11ncAkang CCAPCIAIG dap.atroont. It aogewbk0 0111.50001wIth 0.44100,
44 tne books are !cowls of the foremen oaregerded entity. AM the I0Cat1011 ol such books
United States and records. it deerent
ANDREW PRICE
REGENTS WHARF, ALL SAINTS ST
LONDON, Ni 9PA
UNITED KINGDOM
3 For the tax owner of the foreign disregarded entity (if different from the filer) provide the following:
a Name and address b Annual accounting period covered by the return (see instructions)
c(1) U.S. identifying number, if any
e(2) Reference ID number (see instructio s)
d Country under whose laws organized e Functional currency
4 For the direct owner of the foreign disregarded entity (if different from the tax owner provide the following:
a Name and address b Country under whose laws organized
PHAIDON PRESS LTD.
REGENTS WHARF, ALL SAINTS ST UNITED KINGDOM
LONDON, Ni 9PA
UNITED KINGDOM e U.S. identifying number, if any 141Functional currency
ITED KINGDOM,PO
5 Attach en organizational chart that identities the name. placement percentageof ownership. tax classilication. and county of organization of all entities in the chain of ownership between the tax
chmer and the foreign disregarded entity. and the chain of Garnershlp between the lorelr disregarded entity end each entity In which the40441r dieregatcled entity Ilea a 1094 or mote direct or
ndieci interest. See instructions.
SEE STATEMENT 81
For Paperwork Reduction Act Notice, see the separate instructions. Fern 8858 (Rev. 12-2013)
512411 12-10.15 IHA
530
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114686
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 2
ScheduleS4 Income Statement (see instructions)
Important Repon a I information in functional currency in accordance with U.S. GAAP. Also, report each amou —nttn U.S. dollars transla functional
currency (using GAAP translation rules or the average exchange rate determined under section 989(b)). If the functional currency is the U.S. dollar.
complete only the U.S. Dollars column. See instructions for specialrubs for foreign disregarded entities that use DASTM.
If you are using the average exchange rate (determined under section 989(b)), check the following box D6
Functional Currency U.S. Dollars
1 Gross receipts or sales (net of returns and allowances) 1
2 Cost of goods sold 2
3 Gross profit (subtract line 2 from line 1) 3
4 Other income 4
5 Total income (add Ines 3 and 4) 5
6 Total deductions 6 15,041.
7 Other adjustments 7
8 Net income (loss) per books 8 -15,041.
I-Schedule C-1 I Section 987 Gain or Loss Information
(a) (b)
Note. See the instructions if there are multiple recipients of remittances Amount stated in Amount stated in
from the foreign disregarded entity. functional currency of functional currency
foreign disregarded entity of recipient
1 Remittances from the foreign disregarded entity
2 Section 987 gain (loss) of recipient 2
Yes No
3 Were all remittances from the foreign disregarded entity treated as made to the direct owner?
4 Did the tax owner change its method of accounting for section 987 gain or loss with respect to remittances from the foreign disregarded
entity during the tax year? ...
Schedule F I Balance Sheet
Important Report all amounts in U.S. dollars computed in functional currency and translated into U.S. dollars in accordance with U.S. GAAP.
See instructions loran exception for foreign disregarded entities that use DASTM.
(
Assets Beginning of annual End ofannual
accounting period accounting period
1 Cash and other current assets 1
2 Other assets ?lee 2 421,910. 472,692.
3 Total assets 3 421,910. 472,692.
Liabilities and Car:nefifty %
4 Liabilities 4 407,939. 472,914.
5 Owner's equity 5 13,971. -222.
6 Total liabilities and owner's equity 6 421,910. 472,692.
Schedule G I Other Information
Yes No
1 During the tax year, did the foreign disregarded entity own an interest in any trust? X
2 During the tax year, did the foreign disregarded entity own at least a 10% interest, directly or indirectly, in any foreign partnership? X
3 Answer the following question only if the foreign disregarded entity made its election to be treated as disregarded from
Its owner during the tax year: Did the tax owner claim a loss with respect to stock or debt of the foreign disregarded entity as a
result of the election?
4 If the interest in the foreign disregarded entity is a separate unit under Reg. 1.1503(d)-1(bX4) or part of a combined separate unit
under reg. 1.1503(d)-1(bX4)(ii) does the separate unit or combined separate unit have a dual consoidated loss as defined in Reg.
1.1503(d)-1(b)(5)(9)? N/A
If "Yes; enter the amount of the dual consolidated loss► $ Answer question 5a.
Form 8858 (Rev. 12-2013)
31,412
12-10.13
531
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LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 3
Schedule G I Other Information (continued)
Yes No
5a Was any portion of the dual consolidated loss in question 4 taken into account in computing consolidated taxable income for the
year? If "Yes; go to 5b. 'No; skip 5b and 5c
b Was this permitted domestic use of the dual consolidated loss under Reg. 1.1503(d)-6? If 'Yes, see instructions and skip 5c.
It"No," go to 5c
c If this was not a permitted domestic use, was the dual consolidated loss used to compute consolidated taxable income as provided
under Reg. 1.503(d)-4?
If "Yes; enter the separate unit's contribution to the cumulative consolidated Taxable income (cumulative register) as of the
beginning of the lax year Ne. $ See Instructions.
6 During the tax year, did the foreign disregarded entity pay or accrue any foreign tax that was disqualified for credit under
section 901(m)?
7 During the tax year, did the foreign disregarded entity pay or accrue foreign taxes to which section 909 applies, or treat foreign
taxes that were previously suspended under section 909 as no longer suspended?
8 Answer the following question only if the tag owner of the foreign disregarded entity k a controlled foreign corporation
(CFC): Were there any intracompany transactions between the foreign disregarded entity and the CFC or any other branch of the
CFC during the tax year, in which the foreign disregarded entity acted as a manufacturing, selling, or purchasing branch?
Schedule H Current Earnings and Profits or Taxable Income (see instructions)
Important Enter the amounts on lines 7 through 6 in functional currency.
I Current year net income or (loss) per foreign books of account 1
2 Total net additions 2
3 Total net subtractions 3
4 Current earnings and profits (or taxable income — see instructions) (Iine 1plus ire 2 us line 3) 4
5 DASTM gain or loss (if applicable) 5
6 Combine lines 4 and 5 6
7 Current earnings and profits (or taxable income) in U.S. doNars eine 6 translated at the average exchange rate determined under
section 989(b) and the related regulations (see instructions)) 7
Enter exchange rate used for line 7 ► 40;7
Form 8858 (Rev. 12-2013)
31,413
V-10.13
532
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114688
Form8858
tRev. December 2013)
Information Return of U.S. Persons With Respect To Foreign Disregarded Entities
II. Information about Form 8858 and its separate instructions Is at vAvw.lrs.gov/form885&
OMB No. 1545-1910
IDepartment of the Treasury
Information furnished for the foreign disregarded entitys annual accounting period (see instructions)
Attechinent
Internal Revenue Service beginning JAN 1 .2013 . and ending DEC 31 .20 13 Sacitaance No 140
Name of person filing this return Filer's Identifying number
LEON D. & DEBRA BLACK
tuber it mail is not delivered to street address)
Filer's tax year beginning JAN , 20 13 , and ending DEC 31 ,2013
Important Fill in all applicable lines and schedules. AD information must be in English. All amounts must be stated in U.S. dollars unless otherwise indicated.
la Name and address of foreign disregarded entity b(I) U.S. identifying number, if any
PHAIDON PRESS PTY
LEVEL 19 2 MARKET STREE
b(2) Reference ID number (see instructions)
SYDNEY NSW 200
AUSTRALIA
e Country(ies) under whose laws organized and entity type under local tax law d Date(s) of organization e Effective date as foreign
AUSTRALIA CORPORATION 10 03 12 disregarded entity
10/03/12
f If benefits under a U.S. tax treaty were claimed with respect to income g Country in which principal b Principal business I Functional currency
of the foreign disregarded entity, enter the treaty and article number business activity is conducted activity
PUBLISHING AUSTRALIA,
AUSTRIA DOLLAR
2 Provide the following information for the foreign disregarded entity's a counting period stated above.
a Name, address, and identifying number of branch office or agent (if any) in the b NAT,. and eactmo ilnduelng corporate dapdtrnent. It applicalsR0 of ParS0001with O.44t0O,
44 tne books ard wards of the forams oedegarmaa entity. AM Ire location a such books
United States and records. it orfrorent
ANDREW PRICE
REGENTS WHARF, ALL SAINTS ST
LONDON, N1 9PA
UNITED KINGDOM
3 For the tax owner of the foreign disregarded entity (if different from the filer) provide the following:
a Name and address b Annual accounting period covered by the return (see instructions)
e(1) U.S. identifying number, if any
e(2) Reference ID number (see instructio s)
d Country under whose laws organized e Functional currency
4 For the direct owner of the foreign disregarded entity (if different from the tax owner provide the following:
a Name and address b Country under whose laws organized
PHAIDON PRESS LTD.
REGENTS WHARF, ALL SAINTS ST UNITED KINGDOM
LONDON, N1 9PA
UNITED KINGDOM e U.S. identifying number, if any ILINFunctional currency
ITED KINGDOM,PO
5 Attach en oregnizational chart that identities the name. placement. percentage of ownership. tax classification. endcountry of organization of all entities in the chain of ownership between Ihe tax
cremw and the loreign disregarded entity. and the civil of ownership between the loreir disregarded entity end each entity In which the foreign disregarded entity has a 11)% or more direct or
ndieci interest. See. instructions.
SEE STATEMENT 82
For Paperwork Reduction Act Notice, see the separate instructions. Fern 8858 (Rev. 12-2013)
512411 12-10.15 IHA
533
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114689
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 2
lSchedule C [ Income Statement (see instructions)
Important Report ail information in functional currency in accordance with U.S. GAAP. Also, report each amount in U.S. dollars translated from functional
currency (using GAAP translation rules or the average exchange rate determined under section 989(b)). If the functional currency is the U.S. dollar.
complete only the U.S. Dollars column. See instructions for specialrules for foreign disregarded entities that use DAS TM.
If you are using the average exchange rate (determined under section 989(b)), check the following box D6
Functional Currency U.S. Dollars
1 Gross receipts or sales (net of returns and allowances) 1
2 Cost of goods sold 2
3 Gross profit (subtract line 2 from line 1) 3
4 Other income 4
5 Total income (add Ines 3 and 4) 5
6 Total deductions 6
7 Other adjustments 7
8 Net income (loss) per books 8
Schedule C-1 I Section 987 Gain or Loss Information
(a) (b)
Note. See the instructions if there are multiple recipients of remittances Amount stated in Amount stated in
from the foreign disregarded entity. functional currency of functional currency
foreign disregarded entity of recipient
1 Remittances from the foreign disregarded entity 1
2 Section 987 gain (loss) of recipient 2
Yes No
3 Were all remittances from the foreign disregarded entity treated as made to the direct owner?
4 Did the tax owner change its method of accounting for section 987 gain or loss with respect to remittances from the gweign disregarded
entity during the tax year?
Schedule F I Balance Sheet
Important Report all amounts kt U.S. dollars computed in functional currency and translated into U S. dollars in accords with U.S. GAAP.
See instructions for an exception for foreign disregarded entities that use DASTM.
Assets 8eginnin annual End of annual
accounting period accounting period
1 Cash and other current assets 1 3,393. 7,581.
2 Other assets 2
3 Total assets 3 3,393. 7,581.
4 Liabilities 4 9,685. 13,001.
5 Owner's equity 5 -6,292. -5,420.
6 Total liabilities and ovmer's equity 6 3,393. 7,581.
Schedule G I Other Information
Yes No
1 During the tax year, did the foreign disregarded entity own an interest in any trust? X
2 During the tax year, did the foreign disregarded entity own at least a 10% interest, directly or indirectly, in any foreign partnership? X
3 Answer the following question only if the foreign disregarded entity made its Section to be treated as disregarded from
Its owner during the tax year: Did the tax owner claim a loss with respect to stock or debt of the foreign disregarded entity as a
result of the election?
4 If the interest in the foreign disregarded entity is a separate unit under Reg. 1.1503(d)-1(bX4) or part of a combined separate unit
under reg. 1.1503(d)-1(bX4)(ii) does the separate unit or combined separate unit have a dual consoidated loss as defined in Reg.
1.1503(d)-1(b)(5)(9)? N /A
If 'Yes; enter the amount of the dual consolidated $ Answer question 5a.
Form 8858 (Rev. 12-2013)
534
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114690
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 3
Schedule G I Other Information (continued)
Yes No
5a Was any portion of the dual consolidated loss in question 4 taken into account in computing consolidated taxable income for the
year? If "Yes; go to 5b. 'No; skip 5b and 5c
b Was this permitted domestic use of the dual consolidated loss under Reg. 1.1503(d)-6? If 'Yes, see instructions and skip 5c.
It"No," go to 5c
c If this was not a permitted domestic use, was the dual consolidated loss used to compute consolidated taxable income as provided
under Reg. 1.503(d)-4?
If "Yes; enter the separate unit's contribution to the cumulative consolidated Taxable income (cumulative register) as of the
beginning of the lax year Ne. $ See Instructions.
6 During the tax year, did the foreign disregarded entity pay or accrue any foreign tax that was disqualified for credit under
section 901(m)?
7 During the tax year, did the foreign disregarded entity pay or accrue foreign taxes to which section 909 applies, or treat foreign
taxes that were previously suspended under section 909 as no longer suspended?
8 Answer the following question only if the tag owner of the foreign disregarded entity k a controlled foreign corporation
(CFC): Were there any intracompany transactions between the foreign disregarded entity and the CFC or any other branch of the
CFC during the tax year, in which the foreign disregarded entity acted as a manufacturing, selling, or purchasing branch?
Schedule H Current Earnings and Profits or Taxable Income (see instructions)
Important Enter the amounts on lines 7 through 6 in functional currency.
I Current year net income or (loss) per foreign books of account 1
2 Total net additions 2
3 Total net subtractions 3
4 Current earnings and profits (or taxable income — see instructions) (Iine 1plus ire 2 us line 3) 4
5 DASTM gain or loss (if applicable) 5
6 Combine lines 4 and 5 6
7 Current earnings and profits (or taxable income) in U.S. doNars eine 6 translated at the average exchange rate determined under
section 989(b) and the related regulations (see instructions)) 7
Enter exchange rate used for line 7 ► 40;7
Form 8858 (Rev. 12-2013)
31,413
V-10.13
535
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114691
Form8858
0%9. December 2013)
Information Return of U.S. Persons With Respect To Foreign Disregarded Entities
IP. Information about Form 8858 and its separate instructions Is at vAvw.Irs.gov/fortn885&
OMB No. 1545-1910
Deportment of the Tit-awry
Information furnished for the foreign disregarded entitys annual accounting period (see instructions)
Atlachinent
Internal Revenue Service beginning JAN 1 .2013 and ending DEC 31 . 2013 $80taencer No 140
Name of person filing this return Flier's Identifying number
LEON D. & DEBRA BLACK
Number. street. and room or suite no. (or P.O. box number it mail is not delivered to street address)
City or state. and ZIP code
,
Filer's tax year beginning JAN 1 , 20 13 , and ending DEC 31 ,2013
Important Fill in all applicable lines and schedules. AD information must be in English. All amounts must be stated in U.S. dollars unless otherwise indicated.
1a Name and address of foreign disregarded entity 6(1) U.S. identifying number, if any
PHAIDON PRESS SOCIETE A RESPONS LIM
55 RUE TRAVERSIERE
b(2) Reference ID number (see instructions)
PARIS 75012
FRANCE
Country(ies) under whose laws organized and entity type under local tax law d Date(s) of organization e Effective date as foreign
FRANCE CORPORATION 10 03 12 disregarded entity
FRANCE CORPORATION 10 03 12 10/03/12
f If benefits under a U.S. tax treaty were claimed with respect to income g Country in which principal b Principal business I Functional currency
of the foreign disregarded entity, enter the treaty and article number business activity is conducted activity
PUBLISHING EUROPEAN
FRANCE UNION, EURO
2 Provide the following information for the foreign disregarded entity's a counting period stated above.
a Name, address, and identifying number of branch office or agent (if any) in the b NAT,. and arktm:11ncAkarto CCAPCIAIG dep.rtrnent. It agoacal590 01CerS0001wIth 0.44100,
44 tne books and !awes of the foremen oegagarded entity. AM the IOCat1011 ol such books
United States and reeves. it caf9rent
ANDREW PRICE
REGENTS WHARF, ALL SAINTS ST
LONDON, N1 9PA
Gar
UNITED KINGDOM
3 For the tax owner of the foreign disregarded entity (if different from the filer) provide the following:
a Name and address b Annual accounting period covered by the return (see instructions)
c(1) U.S. identifying number, if any
c(2) Reference ID number (see instructio s)
d Country under whose laws organized e Functional currency
4 For the direct owner of the foreign disregarded entity (if different from the tax owner provide the following:
a Name and address b Country under whose laws organized
PHAIDON PRESS LTD
REGENTS WHARF, ALL SAINTS ST UNITED KINGDOM
LONDON, N1 9PA
UNITED KINGDOM c U.S. identifying number, if any 141Functional currency
ITED KINGDOM,PO
5 Attach en organizational chart that identities the name. placement percentageof central*. tax classilication. and county of organization of all entities in the chain of ownership between the tax
cr.mar and the foreign disregarded entity. and the chain of erne/ship between the loralr disregarded entity end each entity In which the40441r disregarded entity has a 1094 or more direct or
ndieci interest. See instructions.
SEE STATEMENT 83
For Paperwork Reduction Act Notice, see the separate instructions. kOill 8858 (Rev. 12-2013)
512411 12-10.15 IHA
536
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114692
LEON D. & DEBRA BLACK
Form 8858 (Rev. 12-2013) Page 2
Schedule C I Income Statement (see instructions)
Important Report all information in functional currency in accordance with U.S. GAAP. Also, report each amou —nitn U.S. dollars transla functional
currency (using GAAP translation rules or the average exchange rate determined under section 989(b)). If the functional currency is the U.S. dollar.
complete only the U.S. Dollars column. See instructions for specialrules for foreign disregarded entities that use DASTM.
If you are using the average exchange rate (determined under section 989(b)), check the following box D6
Functional Currency U.S. Dollars
1 Gross receipts or sales (net of returns and allowances) 1
2 Cost of goods sold 2
3 Gross profit (subtract line 2 from line 1) 3
4 Other income 4
5 Total income (add Ines 3 and 4) 5
6 Total deductions 6 652,825.
7 Other adjustments 7
8 Net income (loss) per books 8 -652,825.
I-Schedule C-1J Section 987 Gain or Loss Information
(a) (b)
Note. See the instructions if there are multiple recipients of remittances Amount stated in Amount stated in
from the foreign disregarded entity. functional currency of functional currency
foreign disregarded entity of recipient
1 Remittances from the foreign disregarded entity 1
2 Section 987 gain (loss) of recipient 2
Yes No
3 Were all remittances from the foreign disregarded entity treated as made to the direct owner?
4 Did the tax owner change its method of accounting for section 987 gain or loss with respect to remittances from the foreign disregarded
entity during the tax year? ..
Schedule F I Balance Sheet
Important Report all amounts in U.S. dollars computed in functional currency and translated into U.S. dollars in accordance with U.S. GAAP.
See instructions loran exception for foreign disregarded entities that use DASTM.
Assets • inof annual
Beginning End of annual
accounting period accounting period
1 Cash and other current assets
r L ai
1 351,461. 262,129.
2 Otherr assets 2 2,058,576. 1,830,361.
3 Total assets 3 2,410,037. 2,092,490.
Liabilities and OvOlity %
4 Liabilities 4 2,547,870. 2,854,751.
5 Owner's equity 5 137,833. -762,261.
6 Total liabilities and owner's equity 6 2,685,703. 2,092,490.
Schedule G I Other Information
Yes No
1 During the tax year, did the foreign disregarded entity own an interest in any trust? X
2 During the tax year, did the foreign disregarded entity own at least a 10% interest, directly or indirectly, in any foreign partnership? X
3 Answer the following question only if the foreign disregarded entity made its Section to be treated as disregarded from
its owner during the tax year: Did the tax owner claim a loss with respect to stock or debt of the foreign disregarded entity as a
result of the election?
4 If the interest in the foreign disregarded entity is a separate unit under Reg. 1.1503(d)-1(bX4) or part of a combined separate unit
under reg. 1.1503(d)-1(bX4)(ii) does the separate unit or combined separate unit have a dual consoidated loss as defined in Reg.
1.1503(d)-1(b)(5)(10? N/A
If "Yes; enter the amount of the dual consolidated loss► $ Answer question 5a.
Form 8858 (Rev. 12-2013)
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Form 8858 (Rev. 12-2013) Page 3
Schedule G I Other Information (continued)
Yes No
5a Was any portion of the dual consolidated loss in question 4 taken into account in computing consolidated taxable income for the
year? If "Yes; go to 5b. 'No; skip 5b and 5c
b Was this permitted domestic use of the dual consolidated loss under Reg. 1.1503(d)-6? If 'Yes, see instructions and skip 5c.
It"No," go to 5c
c If this was not a permitted domestic use, was the dual consolidated loss used to compute consolidated taxable income as provided
under Reg. 1.503(d)-4?
If "Yes; enter the separate unit's contribution to the cumulative consolidated Taxable income (cumulative register) as of the
beginning of the lax year Ne. $ See Instructions.
6 During the tax year, did the foreign disregarded entity pay or accrue any foreign tax that was disqualified for credit under
section 901(m)?
7 During the tax year, did the foreign disregarded entity pay or accrue foreign taxes to which section 909 applies, or treat foreign
taxes that were previously suspended under section 909 as no longer suspended?
8 Answer the following question only if the tag owner of the foreign disregarded entity k a controlled foreign corporation
(CFC): Were there any intracompany transactions between the foreign disregarded entity and the CFC or any other branch of the
CFC during the tax year, in which the foreign disregarded entity acted as a manufacturing, selling, or purchasing branch?
Schedule H Current Earnings and Profits or Taxable Income (see instructions)
Important Enter the amounts on lines 7 through 6 in functional currency.
I Current year net income or (loss) per foreign books of account 1
2 Total net additions 2
3 Total net subtractions 3
4 Current earnings and profits (or taxable income — see instructions) (Iine 1plus ire 2 us line 3) 4
5 DASTM gain or loss (if applicable) 5
6 Combine lines 4 and 5 6
7 Current earnings and profits (or taxable income) in U.S. doNars eine 6 translated at the average exchange rate determined under
section 989(b) and the related regulations (see instructions)) 7
Enter exchange rate used for line 7 ► 40;7
Form 8858 (Rev. 12-2013)
31,413
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13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
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Form8858
December 2013)
Information Return of U.S. Persons With Respect To Foreign Disregarded Entities
► Information about Form 8858 and its separate instructions Is at vAvw.lrs.gov/form885&
OMB No. 1545-1910
Department of the Treasury
Information furnished for the foreign disregarded entitys annual accounting period (see instructions)
AtIrchinent
Intrrnal Revenue Service beginning JAN 1 .2013 . and ending DEC 31 .20 13 Dacitaence No 140
Name of person filing this return Flier's Identifying number
LEON D. & DEBRA BLACK
Number, street, and room or suite no. (or P.O. box number it mail is not delivered to street address)
City or state. and ZIP code
,
Filer's tax year beginning JAN 1 , 20 13 , and ending DEC 31 ,2013
Important Fill in all applicable lines and schedules. AD information must be in English. All amounts must be stated in U.S. dollars unless otherwise indicated.
la Name and address of foreign disregarded entity 6(1) U.S. identifying number, if any
PHAIDON PRESS LTD
REGENTS WHARF, ALL SAINTS ST
b(2) Reference ID number (see instructions)
LONDON N1 9PA
UNITED KINGDOM
e Country(ies) under whose laws organized and entity type under local tax law d Date(s) of organization e Effective date as foreign
UNITED KINGDOM CORPORATION 09 28 12 disregarded entity
10/03/12
If benefits under a U.S. tax treaty were claimed with respect to income I g Country in which principal b Principal business I Functional currency
of the foreign disregarded entity, enter the treaty and article number business activity is conducted activity
PUBLISHING UNITED
ITED KINGDOM KINGDOM, POUND
2 Provide the following information for the foreign disregarded entity's a counting period stated above.
a Name, address, and identifying number of branch office or agent (if any) in the b Name and addrm; fincAnIng cor pecatO (10pM1Mant. It applicable) of person(5)with custody
of tne books and !encode of the foregn odiegarded entity. AM the 01 such Wks
United States \ --< and records. it decrent
ANDREW PRICE
REGENTS WHARF, ALL SAINTS ST
LONDON, N1 9PA
UNITED KINGDOM
3 For the tax owner of the foreign disregarded entity (if different from the filer) provide the following:
a Name and address b Annual accounting period covered by the return (see instructions)
c(1) U.S. identifying number, if any
e(2) Reference ID number (see instructio s)
d Country under whose laws organized e Functional currency
4 For the direct owner of the foreign disregarded entity (if different from the tax owner provide the following:
a Name and address ii Country under whose laws organized
JMWT LIMITED
REGENTS WHARF, ALL SAINTS ST UNITED KINGDOM
LONDON, N1 9PA
UNITED KINGDOM
5
e U.S. identifying number, if any
11d Functional currency
ITED KINGDOM,PO
Attach en crgenizational chart that identities the none. placement percentage of ownaship. tax classilicatien. and county of crcpnization of all entities in the chain of ownership between the tax
(ha and the loreign disregarded entity. and the chore 01 Game/ship between the loreir disregarded entity end each entity In which the foreign disregarded entity Meath% or more direct or
ndieci interest. See instructions.
SEE STATEMENT 84
For Paperwork Reduction Act Notice, see the separate instructions. k0ill 8858 (Rev. 12-2013)
512411 12-10.15 IHA
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Form 8858 (Rev. 12-2013) Page 2
ScheduleS4 Income Statement (see instructions)
Important Repon a I information in functional currency in accordance with U.S. GAAP. Also, report each amou —nttn U.S. dollars transla functional
currency (using GAAP translation rules or the average exchange rate determined under section 989(b)). If the functional currency is the U.S. dollar.
complete only the U.S. Dollars column. See instructions for specialrubs for foreign disregarded entities that use DASTM.
If you are using the average exchange rate (determined under section 989(b)), check the following box D6
Functional Currency U.S. Dollars
1 Gross receipts or sales (net of returns and allowances) 1 33,361,248.
2 Cost of goods sold 2 15,349,200.
3 Gross profit (subtract line 2 from line 1) 3 18,012,048.
4 Other income 4 319,082.
5 Total income (add Ines 3 and 4) 5 18,331,130.
6 Total deductions 6 19,922,091.
7 Other adjustments 7
8 Net income (loss) per books 8 -1,590,961.
I-Schedule C-1J Section 987 Gain or Loss Information
(a) (b)
Note. See the instructions if there are multiple recipients of remittances Amount stated in Amount stated in
from the foreign disregarded entity. functional currency of functional currency
foreign disregarded entity of recipient
1 Remittances from the foreign disregarded entity
2 Section 987 gain (loss) of recipient 2
Yes No
3 Were all remittances from the foreign disregarded entity treated as made to the direct owner?
4 Did the tax owner change its method of accounting for section 987 gain or loss with respect to remittances from the foreign disregarded
entity during the tax year? ...
Schedule F I Balance Sheet
Important Report all amounts in U.S. dollars computed in functional currency and translated into U.S. dollars in accordance with U.S. GAAP.
See instructions loran exception for foreign disregarded entities that use DASTM.
Assets Beginning of annual End of nnual
L
accounting period accounting period
1 Cash and other current assets 1 1,028,518.
2 Other assets e 2 29,816,548. 33,227,719.
3 Total assets 3 29,816,548. 34,256,237.
Liabilities and Car:n fifty %C O
4 Liabilities 4 15,409,988. 17,725,782.
5 Owner's equity 5 14,406,560. 16,530,455.
6 Total liabilities and owner's equity 6 29,816,548. 34,256,237.
Schedule G I Other Information
Yes No
1 During the tax year, did the foreign disregarded entity own an interest in any trust? X
2 During the tax year, did the foreign disregarded entity own at least a 10% interest, directly or indirectly, in any foreign partnership? X
3 Answer the following question only if the foreign disregarded entity made its election to be treated as disregarded from
Its owner during the tax year: Did the tax owner claim a loss with respect to stock or debt of the foreign disregarded entity as a
result of the election? X
4 If the interest in the foreign disregarded entity is a separate unit under Reg. 1.1503(d)-1(bX4) or part of a combined separate unit
under reg. 1.1503(d)-1(bX4)(ii) does the separate unit or combined separate unit have a dual consoidated loss as defined in Reg.
1.1503(d)-1(b)(5)(10? N/A
If "Yes; enter the amount of the dual consolidated loss► $ Answer question 5a.
Form 8858 (Rev. 12-2013)
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Form 8858 (Rev. 12-2013) Page 3
Schedule G I Other Information (continued)
Yes No
5a Was any portion of the dual consolidated loss in question 4 taken into account in computing consolidated taxable income for the
year? If "Yes; go to 5b. 'No; skip 5b and 5c
b Was this permitted domestic use of the dual consolidated loss under Reg. 1.1503(d)-6? If 'Yes, see instructions and skip 5c.
It"No," go to 5c
c If this was not a permitted domestic use, was the dual consolidated loss used to compute consolidated taxable income as provided
under Reg. 1.503(d)-4?
If "Yes; enter the separate unit's contribution to the cumulative consolidated Taxable income (cumulative register) as of the
beginning of the lax year Ne. $ See Instructions.
6 During the tax year, did the foreign disregarded entity pay or accrue any foreign tax that was disqualified for credit under
section 901(m)?
7 During the tax year, did the foreign disregarded entity pay or accrue foreign taxes to which section 909 applies, or treat foreign
taxes that were previously suspended under section 909 as no longer suspended?
8 Answer the following question only if the tag owner of the foreign disregarded entity k a controlled foreign corporation
(CFC): Were there any intracompany transactions between the foreign disregarded entity and the CFC or any other branch of the
CFC during the tax year, in which the foreign disregarded entity acted as a manufacturing, selling, or purchasing branch?
Schedule H Current Earnings and Profits or Taxable Income (see instructions)
Important Enter the amounts on lines 7 through 6 in functional currency.
I Current year net income or (loss) per foreign books of account 1
2 Total net additions 2
3 Total net subtractions 3
4 Current earnings and profits (or taxable income — see instructions) (Iine 1plus ire 2 us line 3) 4
5 DASTM gain or loss (if applicable) 5
6 Combine lines 4 and 5 6
7 Current earnings and profits (or taxable income) in U.S. doNars eine 6 translated at the average exchange rate determined under
section 989(b) and the related regulations (see instructions)) 7
Enter exchange rate used for line 7 ► 40;7
Form 8858 (Rev. 12-2013)
31,413
V-10.13
541
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114697
Information Return of U.S. Persons With Respect To Foreign Disregarded Entities
Form8858
Om. December 2013)
IP. Information about Form 8858 and its separate instructions Is at vAvw.irs.gov/forn1885&
OMS No. 1545-1910
Oeportment of the Treasury
Information furnished for the foreign disregarded entitys annual accounting period (see instructions)
Attachment
Minimal Revenue Service beginning JAN 1 .2013 . and ending DEC 31 . 2013 Salome* No 140
Name of person filing this return Filer's identifying number
LEON D. & DEBRA BLACK
Number. street. and room or suite no. (or P.O. box number if mail is not delivered to street address)
City or state. and ZIP code
,
Filer's tax year beginning JAN 1 , 20 13 , and ending DEC 31 ,2013
Important Fill in all applicable lines and schedules. AD information must be in English. All amounts must be stated in US. dollars unless otherwise indicated.
fa Name and address of foreign disregarded entity b(1) U.S. identifying number, if any
JMWT ACQUSITION LIMITED PARTNERSHIP 98-1081299
REGENTS WHARF, ALL SAINTS ST
b(2) Reference ID number (see instructions)
LONDON N1 9PA
UNITED KINGDOM
e Country(ies) under whose laws organized and entity type under local tax law d Date(s) of organization e Effective date as foreign
UNITED KINGDOM UK PARTNERSHIP 09 28 12 cfisregarded entity
If benefits under a U.S. tax treaty were claimed with respect to income g Country in which principal b Principal business I Functional currency
of the foreign disregarded entity, enter the treaty and article number business activity is conducted activity
UNITED
KINGDOM, POUND
2 Provide the following information for the foreign disregarded entity's a counting period stated above.
a Name, address, and identifying number of branch office or agent (if any) in the b NAT,. and adctmstlecnating corporate dap.mreent. It applicatain 01P.SOIXO with mated/
ea the and IBCOICA of the forage Owegarded entity, and the location of such bock;
United States and records. it dement
3 For the tax owner of the foreign disregarded entity (if different from the filer) provide the following:
a Name and address b Annual accounting period covered by the return (see instructions)
e(1) U.S. identifying number, if any
e(2) Reference ID number (see instructio s)
d Country under whose laws organized e Functional currency
4 For the direct owner of the foreign disregarded entity (if different from the tax owner provide the following:
a Name and address b Country under whose laws organized
e U.S. identifying number, if any d Functional currency
5 Attach an mganizatianal chart that identities the name. placement. percentage of ownership. tax dassilication. gridcounty of organization of all entities in the chain of ownership between the tax
ma and the loreign disregarded entity. and the chain of ownership between the Inimical disregarded entity end each entity In which theWeir disregarded entity has a ID% or more direct or
edict interest. See. instructions.
SEE STATEMENT 85
For Paperwork Reduction Act Notice, see the separate instructions. F -in 8858 (Rev. 12-2013)
512411 12-10.15 IHA
542
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Form 8858 (Rev. 12-2013) Page 2
ScheduleS4 Income Statement (see instructions)
Important Repon a I information in functional currency in accordance with U.S. GAAP. Also, report each amou —nitn U.S. dollars transla functional
currency (using GAAP translation rules or the average exchange rate determined under section 989(b)). If the functional currency is the U.S. dollar.
complete only the U.S. Dollars column. See instructions for specialrubs for foreign disregarded entities that use DASTM.
If you are using the average exchange rate (determined under section 989(b)), check the following box D6
Functional Currency U.S. Dollars
1 Gross receipts or sales (net of returns and allowances) 1
2 Cost of goods sold 2
3 Gross profit (subtract line 2 from line 1) 3
4 Other income 4
5 Total income (add Ines 3 and 4) 5
6 Total deductions 6
7 Other adjustments 7
8 Net income (loss) per books 8
I-Schedule C-1 I Section 987 Gain or Loss Information
la) (b)
Note. See the instructions if there are multiple recipients of remittances Amount stated in Amount stated in
from the foreign disregarded entity. functional currency of functional currency
foreign disregarded entity of recipient
1 Remittances from the foreign disregarded entity 1
2 Section 987 gain (loss) of recipient 2
Yes No
3 Were all remittances from the foreign disregarded entity treated as made to the direct owner?
4 Did the tax owner change its method of accounting for section 987 gain or loss with respect to remittances from the foreign disregarded
entity during the tax year? ..
Schedule F I Balance Sheet
Important Report all amounts in U.S. dollars computed in functional currency and translated into U.S. dollars in accordance with U.S. GAAP.
See instructions loran exception for foreign disregarded entities that use DASTM.
(
Assets Beginning of annual End ofannual
accounting period accounting period
1 Cash and other current assets 1
2 Other assets 2 67,332,371. 70,831,736.
3 Total assets 3 67,332,371. 70,831,736.
4 Liabilities 4
5 Owners equity 5 67,332,371. 70,831,736.
6 Total liabilities and owner's equity 6 67,332,371. 70,831,736.
Schedule G I Other Information
Yes No
1 During the tax year, did the foreign disregarded entity own an interest in any trust? X
2 During the tax year, did the foreign disregarded entity own at least a 10% interest, directly or indirectly, in any foreign partnership? X
3 Answer the following question only if the foreign disregarded entity made its election to be treated as disregarded from
Its owner during the tax year: Did the tax owner claim a loss with respect to stock or debt of the foreign disregarded entity as a
result of the election?
4 If the interest in the foreign disregarded entity is a separate unit under Reg. 1.1503(d)-1(bX4) or part of a combined separate unit
under reg. 1.1503(d)-1(bX4)(ii) does the separate unit or combined separate unit have a dual consoidated loss as defined in Reg.
1.1503(d)-1(b)(5)(10? N/A
If 'Yes; enter the amount of the dual consolidated $ Answer question 5a.
Form 8858 (Rev. 12-2013)
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12-10.13
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Form 8858 (Rev. 12-2013) Pane 3
Schedule G I Other Information (continued)
Yes No
5a Was any portion of the dual consolidated loss in question 4 taken into account in computing consolidated taxable income for the
year? If "Yes; go to 5b. 'No; skip 5b and 5c X
b Was this permitted domestic use of the dual consolidated loss under Reg. 1.1503(d)-6? If 'Yes, see instructions and skip 5c.
It"No," go to 5c
c If this was not a permitted domestic use, was the dual consolidated loss used to compute consolidated taxable income as provided
under Reg. 1.503(d)-4?
If "Yes; enter the separate unit's contribution to the cumulative consolidated Taxable income (cumulative register) as of the
beginning of the lax year Ne. $ See Instructions.
6 During the tax year, did the foreign disregarded entity pay or accrue any foreign tax that was disqualified for credit under
section 901(m)?
7 During the tax year, did the foreign disregarded entity pay or accrue foreign taxes to which section 909 applies, or treat foreign
taxes that were previously suspended under section 909 as no longer suspended?
8 Answer the following question only if the tag owner of the foreign disregarded entity k a contioNed foreign corporation
(CFC): Were there any intracompany transactions between the foreign disregarded entity and the CFC or any other branch of the
CFC during the tax year, in which the foreign disregarded entity acted as a manufacturing, selling, or purchasing branch? X
Schedule H I Current Earnings and Profits or Taxable Income (see instructions)
Important Enter the amounts on lines 7 through 6 in functional currency.
I Current year net income or (loss) per foreign books of account 1
2 Total net additions 2
3 Total net subtractions 3
4 Current earnings and profits (or taxable income — see instructions) (Iine 1plus ire 2 us line 3) 4
5 DASTM gain or loss (if applicable) 5
6 Combine lines 4 and 5 6
7 Current earnings and profits (or taxable income) in U.S. doNars eine 6 translated at the average exchange rate determined under
section 989(b) and the related regulations (see instructions)) 7
Enter exchange rate used for line 7 ► 40;7
Form 8858 (Rev. 12-2013)
31,413
V-10.13
544
13061007 133415 T-1009 2013.04030 BLACK, LEON T-10094
EFTA01114700