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ne or more U.S. persons have the authority to control all substantial decisions of the trust or (ii) has a valid election in effect under applicable U.S. Treasury Regulations to be treated as a U.S. person. If an entity treated as a partnership for U.S. federal income tax purposes holds the Interests, the U.S. federal in
isors regarding the United States income tax consequences of an investment in the Access Fund. For purposes of this summary, a person" generally is Sr U.S. federal income tax purposes (I) an individual citizen or resident of the United States; (2) a corporation (or other entity treated as a corporation
ne or more U.S. persons have the authority to control all substantial decisions of the trust or (ii) has a valid election in effect under applicable U.S. Treasury Regulations to be treated as a U.S. person. If an entity treated as a partnership for U.S. federal income tax purposes holds the Interests, the U.S. federal in
isors regarding the United States income tax consequences of an investment in the Access Fund. For purposes of this summary, a person" generally is Sr U.S. federal income tax purposes (I) an individual citizen or resident of the United States; (2) a corporation (or other entity treated as a corporation
ne or more U.S. persons have the authority to control all substantial decisions of the trust or (ii) has a valid election in effect under applicable U.S. Treasury Regulations to be treated as a U.S. person. If an entity treated as a partnership for U.S. federal income tax purposes holds the Interests, the U.S. federal in
isors regarding the United States income tax consequences of an investment in the Access Fund. For purposes of this summary, a person" generally is Sr U.S. federal income tax purposes (I) an individual citizen or resident of the United States; (2) a corporation (or other entity treated as a corporation
ne or more U.S. persons have the authority to control all substantial decisions of the trust or (ii) has a valid election in effect under applicable U.S. Treasury Regulations to be treated as a U.S. person. If an entity treated as a partnership for U.S. federal income tax purposes holds the Interests, the U.S. federal in
isors regarding the United States income tax consequences of an investment in the Access Fund. For purposes of this summary, a person" generally is Sr U.S. federal income tax purposes (I) an individual citizen or resident of the United States; (2) a corporation (or other entity treated as a corporation
ne or more U.S. persons have the authority to control all substantial decisions of the trust or (ii) has a valid election in effect under applicable U.S. Treasury Regulations to be treated as a U.S. person. If an entity treated as a partnership for U.S. federal income tax purposes holds the Interests, the U.S. federal in
isors regarding the United States income tax consequences of an investment in the Access Fund. For purposes of this summary, a person" generally is Sr U.S. federal income tax purposes (I) an individual citizen or resident of the United States; (2) a corporation (or other entity treated as a corporation
ne or more U.S. persons have the authority to control all substantial decisions of the trust or (ii) has a valid election in effect under applicable U.S. Treasury Regulations to be treated as a U.S. person. If an entity treated as a partnership for U.S. federal income tax purposes holds the Interests, the U.S. federal in
isors regarding the United States income tax consequences of an investment in the Access Fund. For purposes of this summary, a person" generally is Sr U.S. federal income tax purposes (I) an individual citizen or resident of the United States; (2) a corporation (or other entity treated as a corporation
ne or more U.S- persons have the authority to control all substantial decisions of the trust or (ii) has a valid election in effect under applicable U.S. Treasury Regulations to be treated as a U.S. person. If an entity treated as a partnership for U.S. federal income tax purposes holds the Interests, the U.S- federal in
isors regarding the United States income tax consequences of an investment in the Access Fund. For purposes of this summary, a person" generally is Sr U.S. federal income tax purposes (1) an individual citizen or resident of the United States; (2) a corporation (or other entity treated as a corporation
ne or more U.S. persons have the authority to control all substantial decisions of the trust or (ii) has a valid election in effect under applicable U.S. Treasury Regulations to be treated as a U.S. person. If an entity treated as a partnership for U.S. federal income tax purposes holds the Interests, the U.S. federal in
isors regarding the United States income tax consequences of an investment in the Access Fund. For purposes of this summary, a person" generally is Sr U.S. federal income tax purposes (I) an individual citizen or resident of the United States; (2) a corporation (or other entity treated as a corporation
ne or more U.S. persons have the authority to control all substantial decisions of the trust or (ii) has a valid election in effect under applicable U.S. Treasury Regulations to be treated as a U.S. person. If an entity treated as a partnership for U.S. federal income tax purposes holds the Interests, the U.S. federal in
isors regarding the United States income tax consequences of an investment in the Access Fund. For purposes of this summary, a person" generally is Sr U.S. federal income tax purposes (I) an individual citizen or resident of the United States; (2) a corporation (or other entity treated as a corporation
ne or more U.S. persons have the authority to control all substantial decisions of the trust or (ii) has a valid election in effect under applicable U.S. Treasury Regulations to be treated as a U.S. person. If an entity treated as a partnership for U.S. federal income tax purposes holds the Interests, the U.S. federal in
isors regarding the United States income tax consequences of an investment in the Access Fund. For purposes of this summary, a person" generally is Sr U.S. federal income tax purposes (I) an individual citizen or resident of the United States; (2) a corporation (or other entity treated as a corporation
Entities connected to both U.S. Treasury Regulations and Sr U.S.