This document is page 5 of an Offering Memorandum for an entity identified as 'KUE' (likely an Epstein-related entity). It details legal disclaimers and statutory rights for purchasers of securities in Canadian provinces (Ontario, Nova Scotia, New Brunswick), specifically regarding rights of rescission in cases of misrepresentation. It also includes a disclaimer regarding Canadian Federal Income Tax and a section defining Forward-Looking Statements related to the future performance of KUE and its General Partner.
| Name | Type | Context |
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| KUE |
Mentioned in the Forward Looking Statements section regarding performance and operations. Likely refers to an Epstein...
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| House Oversight Committee |
Source of the document via Bates stamp 'HOUSE_OVERSIGHT_024438'
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| General Partner |
Mentioned alongside KUE regarding operations and strategies.
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| Location | Context |
|---|---|
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Canadian province mentioned regarding statutory rights for purchasers.
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Nova Scotia
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Canadian province mentioned regarding statutory rights for purchasers.
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New Brunswick
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Canadian province mentioned regarding statutory rights for purchasers.
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Jurisdiction for federal income tax considerations.
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"SUCH PURCHASERS WHO PURCHASE A SECURITY OFFERED BY THE OFFERING MEMORANDUM DURING THE PERIOD OF DISTRIBUTION ARE DEEMED TO HAVE RELIED ON SUCH MISREPRESENTATION IF IT WAS A MISREPRESENTATION AT THE TIME OF PURCHASE."Source
"THIS MEMORANDUM DOES NOT DISCUSS THE CANADIAN FEDERAL INCOME TAX CONSIDERATIONS RELEVANT TO A HOLDER OF THE UNITS RESIDENT IN CANADA FOR PURPOSES OF THE INCOME TAX ACT (CANADA)"Source
"STATEMENTS CONCERNING THE PLANS, OBJECTIVES, GOALS, STRATEGIES AND FUTURE OPERATIONS AND PERFORMANCE OF KUE AND THE GENERAL PARTNER"Source
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