16
Total Mentions
16
Documents
4
Connected Entities
Organization referenced in documents
EFTA01353805
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01354172
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01354603
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01364686
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01382968
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01389267
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01389692
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01390110
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01391359
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01391691
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01391984
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01392350
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01393289
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01393589
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01394120
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
EFTA01394522
hat are not "U.S. persons" (as described in "Tax, Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations") ("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or becomes a Non-U.S. Investor for U.S. tax purposes after investing in the Access Fund, adverse tax
Keogh
OrganizationRetirement savings plan type
Access Fund
OrganizationClimbing advocacy nonprofit organization
U.S. Investors
OrganizationOrganization referenced in documents
the Offshore Access Fund
OrganizationOrganization referenced in documents