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EFTA01451506
h holder of an Interest in the Offshore Feeder Fund is referred to herein as a "Limited Partner." If an Investor is a Non-U.S. Holder or becomes a Non-U.S. Holder for U.S. tax purposes after investing in the Onshore Feeder Fund, adverse tax consequences could result for the Investor. For purposes of this summ
EFTA01451513
tions" for a description of certain tax considerations that may be relevant to their investments in the Feeder Funds. As noted, if an Investor is a Non-U.S. Holder or becomes a Non-U.S. Holder for U.S. tax purposes after investing in the Onshore Feeder Fund, adverse tax consequences could result for the Inves
EFTA01451879
tions" for a description of certain tax considerations that may be relevant to their investments in the Feeder Funds. As noted, if an Investor is a Non-U.S. Holder or becomes a Non-U.S. Holder for U.S. tax purposes after investing in the Onshore Feeder Fund, adverse tax consequences could result for the Inves