References to 'Limited Partner's share of KUE losses' and 'distributions from KUE'.
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This page is part of a legal or financial document (page 143) detailing the tax implications for Limited Partners in an entity named 'KUE'. It outlines technical rules regarding nonrecourse liabilities, in-kind distributions, the calculation of tax basis for Common LP Units, limitations on deducting company losses, and specific withholding requirements (30%) for Non-U.S. persons. The document bears a House Oversight Committee Bates stamp.
Entities connected to both MOF VI Limited Partnership (Seller) and KUE
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