EFTA01438710Set 10
2018-04-11132p33,224w
GLDUS133 Georgetown University Endowment
Execution Version
Proprietary and Confidential
AMENDED AND RESTATED LIMITED PARTNERSHIP AGREEMENT
OF
GLENDOWER ACCESS SECONDARY OPPORTUNITIES IV (U.S.), L.P.
(A Delaware Limited Partnership)
Dated ... LIMITED PARTNER INTERESTS (THE "INTERESTS") OF GLENDOWER ACCESS
SECONDARY OPPORTUNITIES IV (U.S.), L.P. (THE "PARTNERSHIP") REPRESENTED BY
THIS
AMENDED AND RESTATED LIMITED PARTNERSHIP AGREEMENT HAVE NOT BEEN
REGISTERED UNDER ... INDEFINITE PERIOD OF TIME.
EXCEPT AS OTHERWISE PROVIDED IN THIS AMENDED AND RESTATED LIMITED
PARTNERSHIP AGREEMENT, A LIMITED PARTNER MAY NOT SELL, ASSIGN, TRANSFER,
PLEDGE OR OTHERWISE DISPOSE
https://www.justice.gov/epstein/files/DataSet%2010/EFTA01438710.pdf
EFTA01126625Set 9
2006-10-20210p79,660w
COMMUNITYFOUNDATION
of Central Florida
r.
• 0. • . es A
1..
I "Family Limited * -
Partnerships
Alive and Kicking"
Special Guest
David Pratt, Esq.
Supported B :
IN
•. , ,..,,,,r:.
AMENcAN
.FINANUAL
Walialg ... EFTA01126625
UPDATE ON
USE OF FAMILY LIMITED PARTNERSHIPS
AND DISCOUNT PLANNING
DAVID PRATT, ESQ.
JENNIFER E. ZAKIN, ESQ.
Proskauer Rose LLP
2255 Glades Road, Suite 340W
Boca Raton ... Exhibits 152
ii
EFTA01126629
UPDATE ON
USE OF FAMILY LIMITED PARTNERSHIPS
AND DISCOUNT PLANNING
I. INTRODUCTION.
A. Over the past several years, the Internal Revenue Service (the "IRS") has used
https://www.justice.gov/epstein/files/DataSet%209/EFTA01126625.pdf
EFTA00593209Set 9
2012-08-3026p10,585w
ANDROCYTE, LLC.
IIIIMI
AVENTURA, R_ "
FEDERAL FORMS
Form 1065 2011 U.S. Return of Partnership Income
Schedule B-1 Information on Partners Owning 50% or More
Schedule K-1 Partner ... INCOME
Total additions 0
SUBTRACTIONS FROM FEDERAL INCOME
Total subtractions 0
Sub-total 0
Partnership income adjustment 0
EFTA00593214
2011 General Information Page 1
ANDROCYTE, LLC. 45-1804323
Forms needed ... instructions. Do not send to the IRS. Keep for your records.
Name of partnership Employer identification number
ANDROCYTE, LLC. 45-1804323
Part I Return Information (Whole dollars only)
1 Gross
https://www.justice.gov/epstein/files/DataSet%209/EFTA00593209.pdf
EFTA01119567Set 9
2009-06-1050p26,600w
current proposals to either
change the definition of capital gains or further complicate the partnership tax
rules.
Associate Professor and 2008-2009 Israel Treiman Faculty Fellow. Washington University
School ... money management),2 and (2) if so, whether the tax rules
applicable to partnerships are the proper fora for addressing this issue.3
Often overlooked in this debate is that ... JOINT COMM. ON TAXATION, PRESENT LAW AND ANALYSIS RELATING TO TAX
TREATNIENT OF PARTNERSHIP CARRIED INTERESTS 6 (2007) [hereinafter JCT CARRIED
INTEREST REPORT]; Bradley T. Borden. Profits-Only Partnership Interests
https://www.justice.gov/epstein/files/DataSet%209/EFTA01119567.pdf
EFTA01086276Set 9
2015-11-03108p35,449w
Valuation Consultants, LLC ("Empire") to estimate the
fair market value of a 1% limited partnership interest (the "Interest") in Black
Family Partners, LP ("BFP" or the "Partnership") as of September ... Conditions, it is our estimate that the fair market value of a 1%
limited partnership interest in Black Family Partners, LP is reasonably stated as
$17,000,000, rounded ... Methodology
BFP has been valued on a going concern basis. Since the Partnership is
closely-held, and thus without a public market for its ownership interests, this
appraisal was conducted
https://www.justice.gov/epstein/files/DataSet%209/EFTA01086276.pdf
EFTA01442366Set 10
342p99,369w
interests (the
"Interests") in Glendower Access Secondary
Opportunities IV (U.S.), L.P., a Delaware limited partnership (the "Access
Fund"). The Access Fund expects
to invest substantially all of its assets ... Glendower Capital Secondary
Opportunities Fund IV, LP, an English
private fund limited partnership (together with its parallel funds and
alternative investment vehicles, if
applicable, the "Underlying Fund").
The Confidential Private ... Memorandum is qualified in its entirety
by the Underlying Fund PPM and
the limited partnership agreement of the Underlying Fund (as may be amended
or otherwise supplemented from
time
https://www.justice.gov/epstein/files/DataSet%2010/EFTA01442366.pdf
EFTA00911927Set 9
2011-06-019p5,341w
From: Jeffrey Epstein <jeevacation@gmail.com>
To:
Subject: Fwd: FW: Preferred Partnership Freezes by N. Todd Angkatavanich & Edward A. Vergara
Date: Wed, 01 Jun 2011 11:12:17 +0000
Attachments ... Date: Thu, May 26, 2011 at 3:51 PM
Subject: FW: Preferred Partnership Freezes by N. Todd Angkatavanich & Edward A. Vergara
To: Jeffrey Epstein <jeevacation@gmail.com>
Thought you might want ... Rebecca
Sent: Wednesday, May 18, 2011 12:22 PM
To: McGraw, Thomas
Subject: Preferred Partnership Freezes by N. Todd Angkatavanich & Edward A. Vergara
May 1, 2011 12:00 PM
Preferred
https://www.justice.gov/epstein/files/DataSet%209/EFTA00911927.pdf
EFTA01075600Set 9
2022-12-3159p5,912w
accounting
(Sch A-2 • pgs 36-50)
DESCRIPTION 2007 2008 2009 2010 2011 2012
Partnership Distributions
Apollo Credit Opp Fund ... 05/31/2008 Interest 23,770.49
06/30/2008 Interest 8,548.54
883,649.17
Apollo Credit Mgmt
02/29/2012 Partnership Distribution 79,719.97
04/30/2012 Partnership Distribution 61,188.83
07/31/2012 Partnership Distribution 59,550.89
10/31/2012 Partnership ... Continued)
Apollo Credit Mgmt (Continued)
279,519.45
Apollo Credit Opp Fund I
06/30/2009 Partnership Distribution $ 3,954,832.00
08/31/2009 Partnership Distribution 14,000,000.00
10/31/2009 Partnership Distribution
https://www.justice.gov/epstein/files/DataSet%209/EFTA01075600.pdf
EFTA00797433Set 9
2007-07-1351p18,487w
Principals", and each individually, a "Principal") Black Family Partners, L.P.,
a Delaware limited partnership, MJR Foundation LLC, a New York limited liability company,
AP Professional Holdings, L.P., a Cayman Islands ... exempted limited partnership ("Intermediate
Holdings"), and BRH Holdings, L.P., a Cayman Islands exempted limited partnership
("Holdings").
WHEREAS, the Principals and other members of their respective Principal Groups (as
defined herein ... Unit" refers to a unit in the Apollo Operating Group, which represents one limited
partnership interest in each of the limited partnerships that comprise the Apollo Operating Group
https://www.justice.gov/epstein/files/DataSet%209/EFTA00797433.pdf
EFTA00598102Set 9
2007-12-1731p20,075w
expenses under Code Sec. 183. The three couples contributed interests in their family limited partnerships (FU's) to a charity. The
FLPs held shares of stock in the families' closely ... Smith, are entitled to charitable contribution deductions with respect to interests in family
limited partnerships contributed to a charitable organization and, if so, what the values of the charitable
contributions ... Each couple claimed deductions for noncash charitable contributions of interests in their family limited partnership
(FLPs) which, essentially, was to hold interests in their closely held, family-owned Arizona
https://www.justice.gov/epstein/files/DataSet%209/EFTA00598102.pdf
EFTA01124027Set 9
2015-03-233p1,127w
this day of Getebedanuary, 2015 2016
("Effective Date"), between Sum (E.B.) 2015 - Limited Partnership, a limited partnership
incorporated in Israel ("Partnership"), by its general partner, Ergo ... amount of US$ 1,000,000 ("Principal Amount") to be used by the Partnership to purchase
Series A Preferred Shares of Reporty Homeland Security Ltd., a private company incorporated ... between Reporty, the Founders (as such term is defined
therein) and the Partnership ("SPA");
WHEREAS, the Partnership was registered following that certain Partnership Agreement,
dated April 6, 2015, between
https://www.justice.gov/epstein/files/DataSet%209/EFTA01124027.pdf
EFTA00585331Set 9
2015-11-306p1,527w
AGREEMENT (the "Agreement") is made by and between AP
Narrows LP, a Delaware limited partnership (the "Partnership"); Bany J. Cohen and John
J. Hannan, as the trustees ... together with the Trustees and Holdings,
the "Partners"). and Debra R. Black ("DRB") (the Partnership, the Partners and DRB,
collectively, the "Parties").
WHEREAS, the Partnership owns the items ... attached Schedule
A (the "Art");
WHEREAS, by Section 8.1.1 of the Limited Partnership Agreement of the
Partnership, dated February 24, 2015, the Class B General Partners have full authority
https://www.justice.gov/epstein/files/DataSet%209/EFTA00585331.pdf
EFTA01106843Set 9
2013-06-1717p7,366w
Whether a short-term capital loss that was recognized upon the sale of
partnership property to certain grantor trusts, under the facts described below,
may be disallowed under §§ 267 and/or ... Whether a short-term capital loss that was recognized upon the sale of
partnership property to certain grantor trusts, under the facts described below,
may be disallowed under § 165?
CONCLUSIONS ... short-term capital loss that was recognized upon the sale of partnership
property to certain grantor trusts, under the facts described below, may be
disallowed under §§ 267 and/or
https://www.justice.gov/epstein/files/DataSet%209/EFTA01106843.pdf
called the "Memorandum") of Glendower Access Secondary Opportunities IV
(U.S.), L.P., a Delaware limited partnership (the "Partnership"); (ii) the Amended and Restated Limited
Partnership Agreement (such limited partnership agreement, together ... with any amendments or supplements
thereto, being herein called the "Partnership Agreement") of the Partnership, in each case as furnished to
the undersigned with respect to the offering of limited ... partnership interests in the Partnership; and (iii) this
Limited Partner Subscription Agreement (this -Agreement"), by and among Glendower Access Secondary
Opportunities IV GP LLC, a Delaware limited liability company
https://www.justice.gov/epstein/files/DataSet%2010/EFTA01392147.pdf