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"Limited Partner." If an Investor is a Non-U.S. Holder or becomes a Non-U.S. Holder for U.S. tax purpose
h holder of an Interest in the Offshore Feeder Fund is referred to herein as a "Limited Partner." If an Investor is a Non-U.S. Holder or becomes a Non-U.S. Holder for U.S. tax purposes after investing in the Onshore Feeder Fund, adverse tax consequences could result for the Investor. For purposes of this summ
der Funds. As noted, if an Investor is a Non-U.S. Holder or becomes a Non-U.S. Holder for U.S. tax purpos
tions" for a description of certain tax considerations that may be relevant to their investments in the Feeder Funds. As noted, if an Investor is a Non-U.S. Holder or becomes a Non-U.S. Holder for U.S. tax purposes after investing in the Onshore Feeder Fund, adverse tax consequences could result for the Inves
der Funds. As noted, if an Investor is a Non-U.S. Holder or becomes a Non-U.S. Holder for U.S. tax purpos
tions" for a description of certain tax considerations that may be relevant to their investments in the Feeder Funds. As noted, if an Investor is a Non-U.S. Holder or becomes a Non-U.S. Holder for U.S. tax purposes after investing in the Onshore Feeder Fund, adverse tax consequences could result for the Inves
Entities connected to both Eric Holder and Non-U.S. Holder