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GL0US140 Lawrence Hirsch Proprietary and Confidential Defaulting
United States and another country (or local country legislation enacted pursuant to such intergovernmental agreement). Any feeder fund (including the Offshore Access Fund) that may be formed to invest all of the subscriptions made by the limited partners of such feeder fund in the Partnership and that is designated a
GLDUS140 Lawrence Hirsch Fund, which together with any expenses of
ors that do not wish to receive any UBTI and are willing to forgo claiming U.S. treaty benefits and Non- U.S. Investors should consider investing in the Offshore Access Fund (as defined below). See "Tax. Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations" and "— Certain ERISA C
GLDUS140 Lawrence Hirsch unpaid portion of such Limited Partner's
U.S. Tax-Exempt Investors that do not wish to receive any USTI and are willing to forgo claiming U.S. treaty benefits should consider investing in the Offshore Access Fund. The Access Fund is not being offered to Non-U.S. Investors and Non-U.S. Investors shall not be eligible to invest in the Access Fund. Non-U.S. In
Entities connected to both Lawrence Krauss and the Offshore Access Fund
Lawrence Hirsch
PERSON
United States
LOCATION
Samantha Power
PERSONAccess Fund
ORGANIZATION
Eric Holder
PERSON
European Union
ORGANIZATIONthe District of Columbia
LOCATIONU.S. Internal Revenue Service
ORGANIZATIONKeogh
ORGANIZATIONNon-U.S. Investors
ORGANIZATIONU.S. Investors
ORGANIZATIONGlendower Access Secondary Opportunities IV
ORGANIZATION
Michael Shannon
PERSONthe City of New York
LOCATION
Cayman Islands
LOCATION
Gerald Ford
PERSONNonrecourse Liability
ORGANIZATIONthe Certificate of Limited Partnership
ORGANIZATIONPatrick Gerschel
PERSON