EFTA00590766.pdf
dataset_9 pdf 267.5 KB • Feb 3, 2026 • 6 pages
PWRW&G LLP DRAFT 12/29/1601/03/17
PRIVILEGED AND CONFIDENTIAL
Taxpayers: Leon Black and Debra Black
SSN:
Tax Form: 1040X
Tax Year: 2010
Statement of Reasonable Cause for Failure to Timely File Forms 5471, 8865, and 8858
Leon and Debra Black, (the "Taxpayers"), are husband and wife, and are voluntarily filing the
attached Form 1040X (the "Amended Return") for the sole purpose of filing Forms 5471,
8858, and 8865 (the "International Information Returns") for 2010. The Amended Return,
along with the International Information Returns, are being filed voluntarily under the Internal
Revenue Service's (the "IRS") 2014 Delinquent International Information Return Submission
Procedures. This statement, pursuant to Treas. Reg. §§ 1.6038-2(k)(3) and 1.6038-3(k)(4), is
intended to show that the failure to file the International Information Returns with the original
Form 1040 for 2010 (the "Original Return") was due to reasonable cause and not willful
neglect. The only change reflected in the Form 1040X filed today is the inclusion of the
International Information Returns, and there is no change in taxable income reported by the
Taxpayers, or in the tax liability owed by the Taxpayers, for 2010. The Original Return, the
Amended Return and the accompanying International Information Returns were prepared by
the Taxpayers' professional accountants at Raich Ende Malter & Co. LLP ("REM-Co").
Background
The Taxpayers are indirect owners of a wide variety of entities related to Apollo Global
Management, LLC ("Apollo"), the publicly traded alternative asset manager, through their
interest in BRH Holdings, I ) ("BRH" or the "Partnership"). Since the
inception of BRH, employees of Apollo have assisted with the preparation of the tax returns of
BRH as well as all the other controlled foreign partnerships, controlled foreign corporations
and foreign disregarded entities (the "Foreign Entities") listed on the enclosed Exhibit A.
The Taxpayers were provided with a Schedule K-1 for 2010 from the Partnership that included
all items of taxable income and loss attributable to the Taxpayers' interest in the Partnership.
The Schedule K-1, however, did not indicate any obligation to file the International Information
Returns with respect to BRH or the many other Foreign Entities held through BRH. In
addition, the Foreign Entities are indirectly or constructively owned, in whole or in part, by
BRH, and the tax information of such Foreign Entities is not directly reported to the Taxpayers
or their tax advisors, but instead rolled into the tax reporting of BRH. As a result, neither the
Taxpayers nor their professional accountants at REM-Co were aware that these filings were
required and, in any case, they did not receive the information required to properly complete
the International Information Returns. All income reported on the Schedule K-I from the
Partnership was properly and timely reported on the Original Return.
The Taxpayers remained unaware of their obligation to file the International Information
Returns until August 2016. At such time the Taxpayers and their representatives were
informed, for the first time, by the Partnership's tax department, that the Taxpayers likely had
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EFTA00590766
an obligation to file the International Information Returns with respect to BRH and the other
Foreign Entities-for-2044. Upon learning this information, the Taxpayers immediately requested
additional information from the Partnership and diligently reviewed the history and factual
circumstances with their accountants and other tax advisors. As a result of that review, it was
determined that the Taxpayers were obligated to file the International Information Returns with
respect to the Foreign Entities for 2010, which the Taxpayers are now doing via the filing of
Form 1040X today.
The Taxpayers are neither accountants nor lawyers, and because the Taxpayers' ownership
arrangements related to the Partnership and other Foreign Entities are very complex, the
Taxpayers have engaged and relied on experienced accountants and other tax advisors to
prepare their tax returns based upon the information and records provided to them. This
includes information provided by the Partnership's tax department, which is responsible for
overseeing tax compliance and reporting for an extremely complex business enterprise, as well
as the Partnership's tax advisors at Ernst & Young who prepared the applicable Schedule K-1.
Basis for Reasonable Cause
The Taxpayers believe they have exercised ordinary business care and prudence by engaging
and relying on several experienced tax professionals in making a good faith effort to comply
with an intricate set of information reporting rules relating to a complex business enterprise.
When the Taxpayers signed and filed the Original Return, on the advice of their experienced
tax advisors at REM-Co, the Taxpayers believed the Original Return was accurate and
complete. In addition, the Taxpayers acted as promptly as practicable upon learning of the
filing oversight to gather all relevant records and information, determine appropriate filing
requirements with their tax advisors, and file Form 1040X with the International Information
Returns. The Taxpayers have a long history of being compliant taxpayers and have never been
subject to tax penalties. The Taxpayers are not under a civil examination or a criminal
investigation by the IRS. The IRS has not contacted the Taxpayers about any of the delinquent
International Information Returns that are the subject of this statement. The Foreign Entities
that are the subject of the International Information Returns were not engaged in tax evasion.
Taxpayers are voluntarily filing Form 1040X today in order to ensure that all International
Information Returns for 2010 are properly filed. Finally, Taxpayers also note that they have
timely filed all required International Information Returns for the 2015 taxable period and will
continue to ensure that all required International Information Returns are properly and timely
filed in future taxable periods.
Conclusion
Based on the above, the Taxpayers believe, in good faith, that reasonable cause exists for their
failure to file the International Information Returns with respect to the Foreign Entities with the
Original Return. Therefore, the Taxpayers respectfully request that the IRS exercise its
discretionary, regulatory authority to grant reasonable cause relief and not assert any penalties
under Section 6038 of the Internal Revenue Code of 1986 or Treas. Reg. §§ I.6038-2(k)(1) or
1.6038-3(k)(3).
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EFTA00590767
Under penalties of perjury, the Taxpayers declare that each of the statements and facts
contained in this letter is, to the best of their knowledge and belief, true, correct and complete.
Leon Black Debra Black
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EFTA00590768
2010-EXHIBIT A
FOREIGN ENTITIES
FORMS 8865
BRH HOLDINGS, LP
APOLLO ADVISORS VI (EH) LP
APOLLO ADVISORS VI (APO FC) LP
AP PROFESSIONAL HOLDINGS LP
APOLLO PRINCIPAL HOLDINGS III LP
APOLLO PRINCIPAL HOLDINGS IV LP
APOLLO PRINCIPAL HOLDINGS VII LP
APOLLO PRINCIPAL HOLDINGS VIII LP
APOLLO PRINCIPAL HOLDINGS IX LP
AAA ASSOCIATES LP
FORMS 8858
AAA GUERNSEY LIMITED
ADIC LIFE ADVISORS LP
APOLLO CO-INVESTORS VI (EH-D) LP
APOLLO ANGUILLA B LW
AAA LIFE RECARRY LP
APOLLO SOMA II ADVISORS LP
APOLLO STRATEGIC ADVISORS LP
APOLLO CO-INVESTORS VII (FC-D) LP
APOLLO CO-INVESTORS VI (FC-D) LP
APOLLO ADVISORS VI (APO FC-GP) LW
APOLLO ADVISORS VII (APO FC-GP) LLC
APOLLO EPF CO-INVESTORS (B) LP
FORMS 5471
AAA MIP LIMITED
APH III (SUB I) LTD
APOLLO ADMINISTRATION GP LTD
APOLLO ADVISORS VI (EH-GP) LTD
APOLLO ADVISORS VII (EH-GP) LTD
GREENHOUSE HOLDINGS LTD
APH I (SUB I) LTD
APH HFA HOLDINGS GP LTD
APOLLO EPF CAPITAL MANAGEMENT LIMITED
APOLLO LIFE ASSET LTD
APOLLO GAUCHO GENPAR LTD
CPI CAPITAL PARTNERS EUROPE GP LTD
CPI CCP EU-T SCOTS GP LTD
Doe: USI:I0997747v82
EFTA00590769
BRH HOLDINGS GP LTD
Doe: USI:I0997747.42
EFTA00590770
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EFTA00590771
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- Feb 3, 2026