12
Total Mentions
12
Documents
51
Connected Entities
Organization referenced in documents
EFTA01303352
ust") pursuant to a trust agreement (the "Trust Agreement") between the Trustees and the Settlor. The Senior is deemed to own the Trust property for Federal and New York State income tax purposes, as provided in Sections 671 to 679 of the Internal Reyenue Code. Under the terms of the Trust Agreement, the Settlor has the f
EFTA01341008
ursuant to a trust agreement (the "Trust Agreement") between the Trustees and the Settlor. A) ; The Settlor is deemed to own the Trust property for Federal and New York State 7-- - income tax purposes, as provided in Sections 671 to 679 of the Internal Revenne J t 444 Code. Under the terms of the Trust Agreement, the S
EFTA00585511
on is in existence could result in a substantial 4 DM US 41510967-3.088835.001I EFTA00585514 portion of the assets of the Trust being subject to Federal and New York State estate tax, and that no such estate tax should be imposed if the Trustees' Distribution Obligation is not in existence at the time of LEON's death.
EFTA02672769
st") pursuant to a trust agreement (the "Trust Agreement") between the Trustees and the Settlor. The Senior is deemed to own the Trust property for Federal and New York State income tax purposes, as provided in Sections 671 to 679 of the Internal Revenue Code. Under the terms of the Trust Agreement, the Senior has the ri
EFTA02673000
t") pursuant to a trust agreement (the "Trust Agreement") between the Trustees and the Settlor. The Settlor is deemed to own the Trust property for Federal and New York State income tax purposes, as provided in Sections 671 to 679 of the Internal Revenue Code. Under the terms of the Trust Agreement, the Settlor has the a
EFTA02672997
t") pursuant to a trust agreement (the "Trust Agreement") between the Trustees and the Settlor. The Settlor is deemed to own the Trust property for Federal and New York State income tax purposes, as provided in Sections 671 to 679 of the Internal Revenue Code. Under the terms of the Trust Agreement, the Settlor has the a
EFTA02672993
uant to a trust agreement (the "Trust Agreement") between the Trustees and the Senior. A 1 1,44 The Senior is deemed to own the Trust property for Federal and New York State "4 • income tax purposes, as provided in Sections 671 to 679 of the Internal Rev 14/ Code. Under the terms of the Trust Agreement, the Senior has
EFTA02673258
uant to a trust agreement (the "Trust Agreement") between the Trustees and the Senior. A 1 1,44 The Senior is deemed to own the Trust property for Federal and New York State "4 • income tax purposes, as provided in Sections 671 to 679 of the Internal Rev 14/ Code. Under the terms of the Trust Agreement, the Senior has
EFTA02673262
t") pursuant to a trust agreement (the "Trust Agreement") between the Trustees and the Settlor. The Settlor is deemed to own the Trust property for Federal and New York State income tax purposes, as provided in Sections 671 to 679 of the Internal Revenue Code. Under the terms of the Trust Agreement, the Settlor has the a
EFTA02673265
t") pursuant to a trust agreement (the "Trust Agreement") between the Trustees and the Settlor. The Settlor is deemed to own the Trust property for Federal and New York State income tax purposes, as provided in Sections 671 to 679 of the Internal Revenue Code. Under the terms of the Trust Agreement, the Settlor has the a
EFTA02673779
vocable trust (the "Trust"=) pursuant to a trust agreement between the Trustees and the Settlor. The =ettlor is deemed to own the Trust property for Federal and New York State income =ax purposes, as provided in §§ 671-679 of the Internal Revenue Code (I=C). Under the terms of the Trust Agreement, the Settlor has the admi
EFTA02676136
a time when the Trustees' Distribution Obligation is in existence could result in a substantial portion of the assets of the Trust being subject to Federal and New York State estate tax, and that no such estate tax should be imposed if the Trustees' Distribution Obligation is not in existence at the time of LEON's death.
Settlor
OrganizationIn trust law, person who settles property in a trust for the benefit of a beneficiary

Samantha Power
PersonIrish-American academic, author and diplomat
the Trust Fund of any Trust
OrganizationOrganization referenced in documents
the "Substituted Property
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
Brookhaven
LocationLocation referenced in documents
Substitution Power
OrganizationOrganization referenced in documents
Reacquisition of Trust Assets
OrganizationOrganization referenced in documents
N.Y.2d 458
OrganizationOrganization referenced in documents
Department of Taxation and Finance
OrganizationOrganization referenced in documents
the Settlor's Substitution Power
OrganizationOrganization referenced in documents

McGraw-Hill
OrganizationAmerican publicly traded corporation, formerly McGraw Hill Financial, Inc
the Trust Property
OrganizationOrganization referenced in documents
Toscana
LocationLocation referenced in documents
McGraw-Hill, Inc.
OrganizationOrganization referenced in documents

Exchange
OrganizationSong by Bryson Tiller
Toscano
OrganizationOrganization referenced in documents
ALEXANDER BLACK
PersonName reference in documents