53
Total Mentions
53
Documents
38
Connected Entities
Organization referenced in documents
EFTA01354151
United States and another country (or local country legislation enacted pursuant to such intergovernmental agreement). Any feeder fund (including the Offshore Access Fund) that may be formed to invest all of the subscriptions made by the limited partners of such feeder fund in the Partnership and that is designated a
EFTA01354183
U.S. Tax-Exempt Investors that do not wish to receive any USTI and are willing to forgo claiming U.S. treaty benefits should consider investing in the Offshore Access Fund. The Access Fund is not being offered to Non-U.S. Investors and Non-U.S. Investors shall not be eligible to invest in the Access Fund. Non-U.S. In
EFTA01354172
ors that do not wish to receive any UBTI and are willing to forgo claiming U.S. treaty benefits and Non- U.S. Investors should consider investing in the Offshore Access Fund (as defined below). See "Tax. Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations" and "— Certain ERISA C
EFTA01354614
U.S. Tax-Exempt Investors that do not wish to receive any USTI and are willing to forgo claiming U.S. treaty benefits should consider investing in the Offshore Access Fund. The Access Fund is not being offered to Non-U.S. Investors and Non-U.S. Investors shall not be eligible to invest in the Access Fund. Non-U.S. In
EFTA01354582
United States and another country (or local country legislation enacted pursuant to such intergovernmental agreement). Any feeder fund (including the Offshore Access Fund) that may be formed to invest all of the subscriptions made by the limited partners of such feeder fund in the Partnership and that is designated a
EFTA01354603
ors that do not wish to receive any UBTI and are willing to forgo claiming U.S. treaty benefits and Non- U.S. Investors should consider investing in the Offshore Access Fund (as defined below). See "Tax. Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations" and "— Certain ERISA C
EFTA01354994
U.S. Tax-Exempt Investors that do not wish to receive any USTI and are willing to forgo claiming U.S. treaty benefits should consider investing in the Offshore Access Fund. The Access Fund is not being offered to Non-U.S. Investors and Non-U.S. Investors shall not be eligible to invest in the Access Fund. Non-U.S. In
EFTA01354978
United States and another country (or local country legislation enacted pursuant to such intergovernmental agreement). Any feeder fund (including the Offshore Access Fund) that may be formed to invest all of the subscriptions made by the limited partners of such feeder fund in the Partnership and that is designated a
EFTA01355174
U.S. Tax-Exempt Investors that do not wish to receive any USTI and are willing to forgo claiming U.S. treaty benefits should consider investing in the Offshore Access Fund. The Access Fund is not being offered to Non-U.S. Investors and Non-U.S. Investors shall not be eligible to invest in the Access Fund. Non-U.S. In
EFTA01364665
United States and another country (or local country legislation enacted pursuant to such intergovernmental agreement). Any feeder fund (including the Offshore Access Fund) that may be formed to invest all of the subscriptions made by the limited partners of such feeder fund in the Partnership and that is designated a
EFTA01364686
ors that do not wish to receive any UBTI and are willing to forgo claiming U.S. treaty benefits and Non- U.S. Investors should consider investing in the Offshore Access Fund (as defined below). See "Tax. Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations" and "— Certain ERISA C
EFTA01364697
U.S. Tax-Exempt Investors that do not wish to receive any USTI and are willing to forgo claiming U.S. treaty benefits should consider investing in the Offshore Access Fund. The Access Fund is not being offered to Non-U.S. Investors and Non-U.S. Investors shall not be eligible to invest in the Access Fund. Non-U.S. In
EFTA01382968
ors that do not wish to receive any UBTI and are willing to forgo claiming U.S. treaty benefits and Non- U.S. Investors should consider investing in the Offshore Access Fund (as defined below). See "Tax. Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations" and "— Certain ERISA C
EFTA01389246
United States and another country (or local country legislation enacted pursuant to such intergovernmental agreement). Any feeder fund (including the Offshore Access Fund) that may be formed to invest all of the subscriptions made by the limited partners of such feeder fund in the Partnership and that is designated a
EFTA01389267
ors that do not wish to receive any UBTI and are willing to forgo claiming U.S. treaty benefits and Non- U.S. Investors should consider investing in the Offshore Access Fund (as defined below). See "Tax. Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations" and "— Certain ERISA C
EFTA01389278
U.S. Tax-Exempt Investors that do not wish to receive any USTI and are willing to forgo claiming U.S. treaty benefits should consider investing in the Offshore Access Fund. The Access Fund is not being offered to Non-U.S. Investors and Non-U.S. Investors shall not be eligible to invest in the Access Fund. Non-U.S. In
EFTA01389668
United States and another country (or local country legislation enacted pursuant to such intergovernmental agreement). Any feeder fund (including the Offshore Access Fund) that may be formed to invest all of the subscriptions made by the limited partners of such feeder fund in the Partnership and that is designated a
EFTA01389692
ors that do not wish to receive any UBTI and are willing to forgo claiming U.S. treaty benefits and Non- U.S. Investors should consider investing in the Offshore Access Fund (as defined below). See "Tax. Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations" and "— Certain ERISA C
EFTA01389702
U.S. Tax-Exempt Investors that do not wish to receive any USTI and are willing to forgo claiming U.S. treaty benefits should consider investing in the Offshore Access Fund. The Access Fund is not being offered to Non-U.S. Investors and Non-U.S. Investors shall not be eligible to invest in the Access Fund. Non-U.S. In
EFTA01353805
ors that do not wish to receive any UBTI and are willing to forgo claiming U.S. treaty benefits and Non- U.S. Investors should consider investing in the Offshore Access Fund (as defined below). See "Tax. Regulatory and Certain ERISA Considerations - Certain U.S. Federal Income Tax Considerations" and "— Certain ERISA C
Access Fund
OrganizationClimbing advocacy nonprofit organization
Non-U.S. Investors
OrganizationOrganization referenced in documents
U.S. Internal Revenue Service
OrganizationGovernment agency

United States
LocationCountry located primarily in North America
U.S. Investors
OrganizationOrganization referenced in documents
Keogh
OrganizationRetirement savings plan type
Non-U.S. Investors'
OrganizationOrganization referenced in documents

Lawrence Krauss
PersonAmerican particle physicist and cosmologist
Henry Nicholas
PersonCo-founder of Broadcom Corporation, appeared in Epstein flight logs

Gerald Ford
PersonPresident of the United States from 1974 to 1977 (1913–2006)
Standard & Poor's Ratings Services
OrganizationAmerican financial ratings agency
Nonrecourse Liability
OrganizationOrganization referenced in documents
Restricted Persons
OrganizationOrganization referenced in documents
Patrick Gerschel
PersonAmerican investor, grandson of cosmetics executive, appeared in Epstein social network documents
Covered Company Persons
OrganizationOrganization referenced in documents
Glendower Access Secondary Opportunities IV
OrganizationPrivate equity secondary fund
The United States Investment
LocationLocation referenced in documents
an Alternative Investment Vehicle
OrganizationOrganization referenced in documents
The Investment Company Act
OrganizationOrganization referenced in documents
Means iCapital Advisors
OrganizationOrganization referenced in documents