EFTA01898487.pdf
dataset_10 PDF 126.7 KB • Feb 4, 2026 • 2 pages
To: Jeffrey EpsteinUeeyacationagmail.comj
From: McGraw, Thomas
Sent Tue 3/19/2013 4:17:32 PM
Subject: RE:
Assuming first that the partnership, the option contract & capital account positions/values are
respected, then I think an option written that deeply in the money (in return for the economic interest of
preferred cash flow on the units) would raise issues not only as to sale of the art for income tax purposes
depending on capital account provisions & subsequent distributions out of the partnership but also as to
a sale for NY sales tax purposes which as I'm sure you are aware is a rather liberal definition in NY
including precedents on various conditional sales transactions
IRS Circular 230 Disclosure:
JPMorgan Chase & Co. and its affiliates do not provide tax advice. Accordingly, any discussion of
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From: Jeffrey Epstein [mailto:jeevacation@gmail.com)
Sent: Monday, March 18, 2013 2:46 PM
To: McGraw, Thomas
Subject:
if i could seperate title from value, it seems to me easy to exchange the value in my art for the
partnership interest. llc with two classes one holds title. ( vote ) ,the other full value, if i
contributed an option at 50 million for the value, currently at 2 billion , I might have a disguised
sale purpose for federal , grantor trust no issue, but i can't imaginge a disguised sales tax ?
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