8
Total Mentions
8
Documents
25
Connected Entities
Organization referenced in documents
EFTA01341008
r has the fight to as t.b.e ca-PiliNquire trust property, at any time (the "Substitution Power"). The provision of the Trust Agreer e it ating the,Substitution Power reads as follows: "Reacquisition of Ti Assets. The Settlor at any time or from time to time may acquire or reacquire any portion of the Trust Fund
EFTA00689577
or Federal income tax purposes, (ii) a EFTA00689577 statement that sales tax was paid upon initial purchase of the TPP and (iii) references to the Substitution Power constituting a non-fiduciary administrative power. As you know, Alan and I would prefer not to include the foregoing references. References (i) and
EFTA02673000
r and the Trustees, as there is no need to induce or motivate either party to enter into the Substitution. Once the Settlor decides to exercise his Substitution Power (considered a general power of administration under Section 675 of the Internal Revenue Code) the Trustees must comply with the terms of the Trust
EFTA02672997
r and the Trustees, as there is no need to induce or motivate either party to enter into the Substitution. Once the Settlor decides to exercise his Substitution Power (considered a general power of administration under Section 675 of the Internal Revenue Code) the Trustees must comply with the terms of the Trust
EFTA02672993
ttlor and the Trustees, as there is no need to induce or motivate either party to enter into the Exchange. Once the Settlor decides to exercise his Substitution Power (considered a general power of administration under Section 675 of the Internal Revenue Code) the Trustees must comply with the terms of the Trust
EFTA02673258
ttlor and the Trustees, as there is no need to induce or motivate either party to enter into the Exchange. Once the Settlor decides to exercise his Substitution Power (considered a general power of administration under Section 675 of the Internal Revenue Code) the Trustees must comply with the terms of the Trust
EFTA02673262
r and the Trustees, as there is no need to induce or motivate either party to enter into the Substitution. Once the Settlor decides to exercise his Substitution Power (considered a general power of administration under Section 675 of the Internal Revenue Code) the Trustees must comply with the terms of the Trust
EFTA02673265
r and the Trustees, as there is no need to induce or motivate either party to enter into the Substitution. Once the Settlor decides to exercise his Substitution Power (considered a general power of administration under Section 675 of the Internal Revenue Code) the Trustees must comply with the terms of the Trust

Samantha Power
PersonIrish-American academic, author and diplomat
the "Substituted Property
OrganizationOrganization referenced in documents
Settlor
OrganizationIn trust law, person who settles property in a trust for the benefit of a beneficiary
Federal and New York State
OrganizationOrganization referenced in documents
the Trust Fund of any Trust
OrganizationOrganization referenced in documents

New York State
LocationState in the northeastern United States
Martin Weinberg
PersonAmerican attorney (born 1946)
Richman
PersonSurname reference in Epstein-related documents
Department of Taxation and Finance
OrganizationOrganization referenced in documents
Brookhaven
LocationLocation referenced in documents
N.Y.2d 458
OrganizationOrganization referenced in documents
Reacquisition of Trust Assets
OrganizationOrganization referenced in documents

McGraw-Hill
OrganizationAmerican publicly traded corporation, formerly McGraw Hill Financial, Inc
the Trust Property
OrganizationOrganization referenced in documents
the Settlor's Substitution Power
OrganizationOrganization referenced in documents
Toscana
LocationLocation referenced in documents
Exchan
LocationLocation referenced in documents

Exchange
OrganizationSong by Bryson Tiller
Toscano
OrganizationOrganization referenced in documents
McGraw-Hill, Inc.
OrganizationOrganization referenced in documents