To: Jeffrey[jeevacation@gmail.com]
From: Eileen Alexanderson
Sent: Thur 7/5/2012 7:02:02 PM
Subject: RE: follow up
See Article II on pgs 1-2 of the 2006 Trust Doc attached to my last email for
language related to distribution of 'trust accounting income' from operating
profits of 'relevant companies' which you will see detailed in II(A)3. The
'relevant companies' are the Apollo entities Leon had ownership interests in that
he contributed into the GRATs that poured into the 2006 Trust. There isn't
specific language surrounding the principal. The trusts owns the interests in
Black Family Partners and the monetization of the value of the BRH interests
would not constitute 'trust accounting income' from 'operating profits' and would
therefore remain in the trust.
I will next forward a summary entitled 'History/Structure' that I wrote for
myself early on as I was trying to come up to speed on what had been put in
place. I believe I left you a hard copy which was behind the org chart of Black
Family Partners. There is a section on the first page with comments on FLPs-I was
in an education mode and, with hindsight, did not fully understand the control
issues but I think otherwise this will help you understand where we came from.
Importantly, you will see there were 2 sets of GRATs. The termination of GRATs A-
K went as planned. But the second set, GRATs L-O lacked sufficient cash to make
the final annuity payment to Leon so we did an inkind transfer of the Black
Family Partners these GRATs owned to Leon and then he contributed these into a
new GRAT, the Judah 2009 Trust. We made that a 4 year GRAT instead of 2 years
like the original ones we did because I felt we would not have generated enough
cash in 2 years to make the annuity payments to Leon.
Original Message
From: Jeffrey [mailto:jeevacation@gmail.com]
Sent: Thursday, July 05, 2012 1:46 PM
To: Eileen Alexanderson
Subject: Re: follow up
Send me grat docs that separate income from capital appreciation
Sorry for all the typos .Sent from my iPhone
On Jul 5, 2012, at 12:09 PM, Eileen Alexanderson
wrote:
> 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 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.
EFTA_R1_00284649
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> Best,
•
> Eileen
• Original Message
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