52
Total Mentions
52
Documents
104
Connected Entities
Organization referenced in documents
EFTA01353939
s from treatment of the Partnership as an entity subject to corporate income tax. The Investor either: (1) is not a partnership. grantor trust, or Subchapter S corporation for United States federal income tax purposes; or (2) is a partnership. grantor trust, or Subchapter S corporation for United States f
EFTA01354363
GLOUS143 Henry Nicholas (A) is not a partnership, grantor trust, or Subchapter S corporation for United States federal income tax purposes: or (B) is a partnership, grantor trust, or Subchapter S corporation for United States
EFTA01354362
s from treatment of the Partnership as an entity subject to corporate income tax. The Investor either: (1) is not a partnership. grantor trust, or Subchapter S corporation for United States federal income tax purposes; or (2) is a partnership. grantor trust, or Subchapter S corporation for United States f
EFTA01354790
s from treatment of the Partnership as an entity subject to corporate income tax. The Investor either: (1) is not a partnership. grantor trust, or Subchapter S corporation for United States federal income tax purposes; or (2) is a partnership. grantor trust, or Subchapter S corporation for United States f
EFTA01354791
GLOUS12S Gerald Ford (A) is not a partnership, grantor trust, or Subchapter S corporation for United States federal income tax purposes: or (B) is a partnership, grantor trust, or Subchapter S corporation for United States
EFTA01355259
s from treatment of the Partnership as an entity subject to corporate income tax. The Investor either: (1) is not a partnership. grantor trust, or Subchapter S corporation for United States federal income tax purposes; or (2) is a partnership. grantor trust, or Subchapter S corporation for United States f
EFTA01355504
s from treatment of the Partnership as an entity subject to corporate income tax. The Investor either: (1) is not a partnership. grantor trust, or Subchapter S corporation for United States federal income tax purposes; or (2) is a partnership. grantor trust, or Subchapter S corporation for United States f
EFTA00313286
pt From Income Tax, or Form 990-PF, Return of Private Foundation or Section 4947(a)(1) Nonexempt Charitable Trust Treated as a Private Foundation. Subchapter S subsidiaries should see Form 8869, Qualified Subchapter S Subsidiary Election. CAUTION Do not file Form 966 for a deemed liquidation (such as a
EFTA00803788
er certain regulations from treatment as an entity subject to corporate income tax. Either: (a) Subscriber is not a partnership, grantor trust, or Subchapter S corporation for U.S. federal income tax purposes, or (b) Subscriber is a partnership, grantor trust, or Subchapter S corporation, but (i) as of the
EFTA00806065
lations from treatment of the Partnership as an entity subject to corporate income tax. The Investor either is not a partnership, grantor trust, or Subchapter S corporation for United States federal income tax purposes; or (2) is a partnership, grantor trust, or Subchapter S corporation for United States
EFTA00806036
s from treatment of the Partnership as an entity subject to corporate income tax. The Investor either: (1) is nor a partnership, grantor trust, or Subchapter S corporation for United States federal income tax purposes; or (2) is a partnership, grantor trust, or Subchapter S corporation for United States
EFTA00810362
ulations from treatment of the Fund as an entity subject to corporate income tax. Either: (1) The Investor is not a partnership, grantor trust, or Subchapter S corporation for U.S. federal income tax purposes, or (2) The Investor is a partnership, grantor trust, or Subchapter S corporation for U.S. federal
EFTA00690288
ir securities holdings, individual retirement accounts or qualified pension plans or investors in pass-through entities, including partnerships and Subchapter S corporations that invest in the Notes. In addition, this discussion is limited to holders who are the initial purchasers of the Notes at their orig
EFTA01364876
GLDUS238 SOUTHERN FINANCIAL LLC (A) is not a partnership, grantor trust, or Subchapter S corporation for United States federal income tax purposes: or (B) is a partnership, grantor trust, or Subchapter S corporation for United States
EFTA01364875
s from treatment of the Partnership as an entity subject to corporate income tax. The Investor either: (1) is not a partnership. grantor trust, or Subchapter S corporation for United States federal income tax purposes; or (2) is a partnership. grantor trust, or Subchapter S corporation for United States f
EFTA01383104
s from treatment of the Partnership as an entity subject to corporate income tax. The Investor either: (1) is not a partnership. grantor trust, or Subchapter S corporation for United States federal income tax purposes; or (2) is a partnership. grantor trust, or Subchapter S corporation for United States f
EFTA01383105
GLDUS238 SOUTHERN FINANCIAL LLC (A) is not a partnership, grantor trust, or Subchapter S corporation for United States federal income tax purposes: or (B) is a partnership, grantor trust, or Subchapter S corporation for United States
EFTA01389452
s from treatment of the Partnership as an entity subject to corporate income tax. The Investor either: (1) is not a partnership. grantor trust, or Subchapter S corporation for United States federal income tax purposes; or (2) is a partnership. grantor trust, or Subchapter S corporation for United States f
EFTA01389453
GLDUS133 Georgetown University Endowment (A) is not a partnership, grantor trust, or Subchapter S corporation for United States federal income tax purposes: or (B) is a partnership, grantor trust, or Subchapter S corporation for United States
EFTA01353940
GLDUS183 Dimension Capital Management (A) is not a partnership, grantor trust, or Subchapter S corporation for United States federal income tax purposes: or (B) is a partnership, grantor trust, or Subchapter S corporation for United States

United States
LocationCountry located primarily in North America
the U.S. Treasury Regulations
OrganizationOrganization referenced in documents

Cayman Islands
LocationBritish Overseas Territory in the Caribbean

Marla Maples
PersonAmerican actress and TV personality (born 1963)
Calder
OrganizationAlexander Calder art reference or entity
the Consumer Financial Protection Bureau
OrganizationU.S. consumer protection agency
Glendower Access Secondary Opportunities IV
OrganizationPrivate equity secondary fund
Gottlieb Steen & Hamilton LLP
OrganizationOrganization referenced in documents
the Access Funds
OrganizationOrganization referenced in documents
Cleary Gottlieb
OrganizationLaw firm (Cleary Gottlieb Steen & Hamilton)

Samantha Power
PersonIrish-American academic, author and diplomat
Small Business Investment Company
OrganizationOrganization referenced in documents
the "Investment Company Act
OrganizationOrganization referenced in documents

U.S. Treasury
OrganizationUnited States Department of the Treasury, executive department of the federal government
U.S. Internal Revenue Service
OrganizationGovernment agency
No Need for Liquidity
OrganizationOrganization referenced in documents

Exchange
OrganizationSong by Bryson Tiller

Department of Labor
OrganizationU.S. federal department that regulates workers' rights and labor markets
the State of New York
LocationState in the northeastern United States
Institutional Capital Network, Inc.
OrganizationICapital Network institutional investment platform