EFTA00985730.pdf
dataset_9 pdf 169.7 KB • Feb 3, 2026 • 4 pages
From: Jeffrey Epstein <jeevacation@grnail.com>
To: Melanie Spinella
Subject: Fwd: FW: APO - Exchange Agreement
Date: Thu, 06 Mar 2014 16:59:01 +0000
Attachments: APO_-_(execution version ....doc;
Change-Pro Redline.pdf; Change-Pro_Redlme_-_AR_Exchange_Agreement-
-v23.pdf
Forwarded message
From: Richard Joslin
Date: Thu, Mar 6, 2014 at 11:56 AM
Subject: FW: APO - Exchange Agreement
To: Jeffrey Epstein <jeevacation@gmail.com>
Cc: Eileen Alexanderson
Marc is selling a portion and donating a portion to charity of his AGM interest (BRH) at the current quarterly
opening date.
The initial exchange agreement did not look at the potential for a concurrent sale and donation. Tax issue is as
follow: BRH distributes lower tier entities to Founder and Founder transfers to APO entity (if sale — to APO
Corp so that APO Corp can purchase to get step up; if donation — to AMH — the publicly traded partnership). If
sale/donation take place simultaneously, the gain on sale is added to tax basis of entire partnership interest (there
is unified tax basis in partnership interest), a portion of the gain on sale would need to be allocated to the basis of
the partnership interest transferred to charity. To avoid this gain contaminating the basis of property donated, the
revised agreement puts an 11 business day separation from sale and charity. Sale first, then charity.
Any IRS challenge i.e. step transaction , would be to the Founder not Apollo. Also should have no impact on
TRA given how it is structured — APO buys only managemtn companies. I need to follow up on mechanics as
KG indicated they have made a change in that APO Corp buys all vs two entities (carry partnership by credit/ PE
funds and APO Corp buys AMH/management company entities).
I don't see a issue (to LDB) and I let Katie Gregory know
Changes initiated by PF who is counsel for MR and agreement changes by PW.
EFTA00985730
From: Katie Gregory Newman [mailto:
Sent: Wednesday, March 05, 2014 5:10 PM
To: Richard Joslin; Eileen Alexanderson
Subject: FW: APO - Exchange Agreement
Richard and Eileen,
Following our conversation today, please see below and attached. Happy to get on the phone again and discuss
at your convenience (or else arrange for a discussion with others if that is of interest). We hope to give the green
light to folks tomorrow.
Appreciate your help on this!
Katie
From: Grieve, Brian S [mailto:
Sent: Wednesday, March 05, 2014 4:59 PM
To: Katie Gregory Newman
Cc: Okun, Brad R
Subject: FW: APO - Exchange Agreement
Katie,
The attached should be the final form of the Second A&R Exchange Agreement (along with a redline against the
First A&R Exchange Agreement from May 2013). Also attached is a redline of the First A&R Exchange
Agreement against the original Exchange Agreement.
Let me know if you need anything else.
Thanks
Brian
EFTA00985731
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To ensure compliance with requirements imposed by the IRS, we inform you that any U.S. federal tax advice contained in this
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Brian S. Grieve I Associate
Paul, Weiss, Ritkind, Wharton & Garrison LLP
New York, NY 10019-6064
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EFTA00985733
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