EFTA02401956.pdf
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From:
McCaffrey, Carlyn <
Sent:
Thursday, January 31, 2013 9:32 PM
To:
Jeffrey Epstein
Cc:
Heller, Amy; Yopp, Mark; Kirschner, Elyse
Subject:
FW: Re:
Here's a =hought from Amy Heller, one of my partners.
Carlyn S. McCaffreywww.mwe.com
<=pan style=lont-size:10.0pt;font-family:"Tahoma","sans-serif"'>From: =eller, Amy
Sent: Thursday, January 31, 2013 4:29 PM To:</=> McCaffrey, Carlyn
Subject: RE: Re:
=/div>
<=span>
Amy E. Heller
McDermott Will & Emery LLP I 3=0 Madison Avenue, New York, NY 10173
(p) <=pan
+style=lont-size:10.0ptfont-family:"Arial","sans-serif";color:bluel= I
(f) I
I =/span>www.mwe.com
+<http://www.mwe.com>
From: McCaffrey, Carlyn
Sent: Thursday, January 31, 2013 4=24 PM
To: Yopp, Mark
Cc: Rosen, Arthur; Heller, Amy; K=rschner, Elyse
Subject: FW: Re:
Can =ou find any authority under the NY sales tax law thats/=>
EFTA_R1_01439060
EFTA02401956
1. A sale between a grantor trust and its grantor is eithe= subject to or not subject to the sales tax. or
2. If a grantor retained annuity trust is funded with art a=d the annuity payments to the grantor are subsequently
funded with interes=s in that same art that:
=o:p>
&=bsp;
a.&=bsp; the transfer to the grantor annuity trust is either subject to or not=subject to the sales tax
=o:p>
&=bsp;
b. =he annuity payments made with interests in the art are either subject to o= not subject to the sales
tax
I know there i= authority that grantor retained annuity payments funded with real estate =nterests will be subject to the
real property transfer tax.
If you don't know what a grantor retained annuity trust is =ou can call either me, Elyse or Amy and we'll explain it.
Carlyn S. McCaffrey I P=rtner
McDermott Will & Emery LLP I 340 Madison Avenue, New =ork, NY 10173
<mailto
> I www.mwe.com
From: J=ffrey Epstein (mailto:jeevacation=gmail.com <mailto:jeevacation@gmail.com>
Sent: Thursday, January 31, 2013 4:11 PM
T=: McCaffrey, Carlyn
Subject: Re: Re:
</=iv>
On Th., Jan 31, 2013 at 5:05 PM, McCaffrey, Carlyn <
<mailto
wrote:=/p>
Yes - the trust pays and then leon would pay if=he took it back.
> >
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Remember when you're thinking about this issue that it'= not really a substitution power. We refer to it as that but if
you =ook at the trust language, you will see that that's not what it says. = It says that the settlor has the power to
reacquire and acquire trust pro=erty by substituting therefore other property of an equivalent value.
Carlyn S. McCaffrey I Partner
McDermott Wi=I & Emery LLP I 340 Madison Avenue, New York, NY 10173
I </=pan
<mailto
<http://www.mwe.com= target=>
&nbs=;
From: Jeffrey Epstein (mailto:jeevacation@gmail.com</=>J
Sent: Thursday, January 31, 2013 4:03 PM
To: McCaf=rey, Carlyn
Subject: Re:
> I www.mwe.com
so that the trust pays? then if leon wantss to=substitutiie cash he pays.
i am aware of 1031 = but I spoke to a calif
sales tax person and she said not under substruion=provision. but could not point to authority either<=p>
On Thu, Jan 31, 2013 at 4:56 PM, McCaffrey, Carlyn
g=; wrote:
the person who pays the sal=s tax is the person who is acquiring the tangible personal property, i.e.,=the paintings. yes -
it could happen multiple times just like it can=happen with individuals. If, for example, I hold a painting for inve=tment
purposes and make a section 1031 exchange, I pay sales tax. If=l make a second 1031 exchange, I pay another sales tax,
etc.</=:p>
<=>Carlyn S. McCaffrey I Partner
McDermott Will & =mery LLP 1340 Madison Avenue, New York, NY 10173
<te
I From: Jeffrey Epstein (mailto:jeevacation@gmail.comj
=b>Sent: Thursday, January 31, 2013 3:45 PM
To: McCaffrey, Ca=lyn
Subject:
my irs people , also now can't see substitution provision=causing sales tax , as it could happen multiple times over the
life of the=trust, setllor could not be liable for sales tax , or is the trust t=e seller and the settlor the buyer?
The informa=ion contained in this communication is
confidential, may be attorney-cl=ent privileged, may
constitute inside information, and is intended only=for
the use of the addressee. It is the property of
Jeffrey Epstein =br>Unauthorized use, disclosure or copying of this
communication or any=part thereof is strictly prohibited
3
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EFTA02401958
and may be unlawful. If you have re=eived this
communication in error, please notify us immediately by
r=turn e-mail or by e-mail to jeevacation@gmail.com <mailto:jeevacation@gmail.com> , and
destroy this communication a=d all copies thereof,
including all attachments. copyright -all rights =eserved
IRS Circular 230 =isclosure: To comply with requirements imposed by the IRS, we inform you t=at any U.S. federal tax
advice contained herein (including any attachments=, unless specifically stated otherwise, is not intended or written to
be u=ed, and cannot be used, for the purposes of (i) avoiding penalties under t=e Internal Revenue Code or (ii)
promoting, marketing or recommending to an=ther party any transaction or matter herein.
This message =s a PRIVILEGED AND CONFIDENTIAL communication. This message and all attach=ents are a private
communication sent by a law firm and may be confidentia= or protected by privilege. If you are not the intended
recipient, you are=hereby notified that any disclosure, copying, distribution or use of the i=formation contained in or
attached to this message is strictly prohibited.=Please notify the sender of the delivery error by replying to this
message= and then delete it from your system. Thank you.
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Please visit http://www.mwe.com/ for more information about our Firm.<=span>
rrrr_
The information =ontained in this communication is
confidential, may be attorney-client =rivileged, may
constitute inside information, and is intended only for<=r>the use of the addressee. It is the property of
Jeffrey Epstein
U=authorized use, disclosure or copying of this
communication or any part=thereof is strictly prohibited
and may be unlawful. If you have receive= this
communication in error, please notify us immediately by
return=e-mail or by e-mail to jeevacation@gmail.com <mailto:jeevacation@gmail.com> , and
destroy this communication and al= copies thereof,
including all attachments. copyright -all rights reser=ed
confidential, may be=attorney-client privileged, may
constitute inside information, and is i=tended only for
the use of the addressee. It is the property of
Jeff=ey Epstein
4
EFTA_R1_01439063
EFTA02401959
Unauthorized use, disclosure or copying of this
communic=tion or any part thereof is strictly prohibited
and may be unlawful. If=you have received this
communication in error, please notify us immedia=ely by
return e-mail or by e-mail to jeevacation@gmail.com <mailto:jeevacation@gmai..com> , and
destroy this com=unication and all copies thereof,
including all attachments. copyright =all rights reserved
5
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EFTA02401960
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| Filename | EFTA02401956.pdf |
| File Size | 329.1 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 7,121 characters |
| Indexed | 2026-02-12T16:17:31.477603 |