7
Total Mentions
7
Documents
146
Connected Entities
Organization referenced in documents
EFTA00808222
a taxing authority, and shall include all interest, penalties and additions imposed with respect to such amounts. "Tax Receivable Agreement" means the Tax Receivable Agreement, dated as of the date the Prior Agreement, as amended through the date here by and among APO Corp., a Delaware corporation, Apollo Princi al Holdin
EFTA00591793
s or artwork that cannot be managed. In addition, the use of CLATs in Leon's estate planning should not have any impact on benefits available under the Tax Receivable Agreement ("TRA"). b. Self-Dealing Rules We considered application of the self-dealing rules to an exchange of Apollo Operating Group ("AOG") units for Apol
EFTA00615446
ther similar interests or the sole general partner interest or managing member or similar interest of such Person. "Tax Receivable Agreement' means the Tax Receivable Agreement, dated as of the date hereof, by and among APO Corp., a Delaware corporation, Apollo Principal Holdings II, L.P., a Delaware limited partnership, A
EFTA00623298
taxing authority, and shall include all interest, penalties and additions imposed with respect to such amounts. "Tax Receivable Agreement" means the Tax Receivable Agreement, dated as of the date hereof, by and among APO Corp., a Delaware corporation, Apollo Principal Holdings II, L.P., a Delaware limited partnership, A
EFTA00583332
a taxing authority, and shall include all interest, penalties and additions imposed with respect to such amounts. "Tax Receivable Agreement" means the Tax Receivable Agreement, dated as of the date the Prior Agreement, as amended through the date hereof, by and among APO Corp., a Delaware corporation, Apollo Principal Hol
EFTA00586817
ss APO Corp. for, (i) the amount of any payments made by APO Corp. to such Apollo Principal Holder or Apollo Principal Holder Affiliate pursuant to the Tax Receivable Agreement with respect to such Tax Losses, (ii) 15% of the amount of any foregone tax savings resulting from such Tax Losses, and (iii) any and all other loss
EFTA00623392_sub_003 - EFTA00623392_300
5 to the Registrant's Registration Statement on Form S-I (File No. 333-150141)). 10.36 First Amendment and Joinder, dated as of April 14. 2010. to the Tax Receivable Agreement (incorporated by reference to Exhibit 10.36 to the Registrant's Registration Statement on Form S-I (File No. 333-150141)). 10.37 Employment Agreem
Leon Black
PersonAmerican billionaire businessman (born 1951)

Apollo Global Management
OrganizationAmerican private equity firm
Cayman
LocationBritish Overseas Territory in the Caribbean
Fund IV
OrganizationOrganization referenced in documents
BRH Holdings GP
OrganizationOrganization referenced in documents

United States
LocationCountry located primarily in North America
the AOG Units
OrganizationOrganization referenced in documents

Eric Holder
PersonUnited States Attorney General from 2009 to 2015
Apollo Management Holdings
OrganizationOrganization referenced in documents

Exchange
OrganizationSong by Bryson Tiller

New York State
LocationState in the northeastern United States
Apollo Investment Fund IV
OrganizationOrganization referenced in documents
AIF V Euro Holdings
OrganizationOrganization referenced in documents

Holdings
OrganizationAeronautic procedure
the Forfeited Interests
OrganizationOrganization referenced in documents
the Heritage Points
OrganizationOrganization referenced in documents
Black Family GP
OrganizationOrganization referenced in documents
John J. Suydam
PersonPerson referenced in documents
the Apollo Operating Group
OrganizationOrganization referenced in documents
Weiss
PersonAmerican multinational white-shoe law firm headquartered in New York City