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EFTA00613223_sub_002 - EFTA00613223_143
the extent of our tax basis in APO Corp.'s common stock, and thereafter will be treated as a capital gain. APO (FC), LLC; APO (FC II), LLC; APO UK (Fri Limited. APO (FC), LLC, APO (FC II), LLC and APO UK (FC), Limited (the "offshore intermediate corporations") are taxable as corporations for U.S. Federal in
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