Sentences with phrase «of limited partnership interests»

In addition, McKinsey & Company estimates that between 3 - 4 % of the limited partnership interests in the private equity and venture capital business trade on an annual basis, or approximately $ 1.2 B. Combining both of these figures, the secondary market for both LP and direct venture capital investments amounted to more than $ 2.45 B and represented 8 % of all venture investments in the industry.
- The sale of limited partnership interests based on geographic territories.

Not exact matches

Mack, who had a 10 % limited - partnership stake in Cirrix as of Dec. 31, was unaware LendingClub was considering an investment in the firm and was not required to disclose his interest, according to Bloomberg.
«Sloan is not independent under these rules because of his interest in a limited partnership from which the Company leases space for operation of three of our retail stores.»
In addition, Mr. Icahn is the indirect holder of approximately 88.2 % of the outstanding depositary units representing limited partnership interests in Icahn Enterprises L.P. («Icahn Enterprises»).
The Board has determined that Mr. House and Ms. Reisman are independent under the NYSE listed company rules and applicable law and that Mr. Sloan is not independent under these rules because of his interest in a limited partnership from which the Company leases space for operation of three of our retail stores.
The firm acquires limited partnership interests in venture capital funds of all types.
Within a very short period of time, Industry Ventures proposed a price to assume the seller's limited partnership interest in three California - based funds, including the seller's unfunded commitments to these partnerships.
Expertise: Secondary direct transactions, venture fund buyouts, limited partnership interests, fund of funds buyouts, venture capital investments, recapitalizations, founders stock purchases, and special situations.
During initial conversations with the director of alternative asset investments, it became clear that the family office was burdened with tax needs that created a unique value proposition for selling a number if its limited partnership interests in venture capital funds.
MLPs: Master Limited Partnerships (MLPs) are limited partnerships or limited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of commonLimited Partnerships (MLPs) are limited partnerships or limited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of cPartnerships (MLPs) are limited partnerships or limited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of commonlimited partnerships or limited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of cpartnerships or limited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of commonlimited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of cpartnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of commonlimited partnership units or limited liability company units) are traded on securities exchanges like shares of commonlimited liability company units) are traded on securities exchanges like shares of common stock.
Master Limited Partnerships (MLPs) are limited partnerships or limited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of commonLimited Partnerships (MLPs) are limited partnerships or limited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of cPartnerships (MLPs) are limited partnerships or limited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of commonlimited partnerships or limited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of cpartnerships or limited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of commonlimited liability companies that are taxed as partnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of cpartnerships and whose interests (limited partnership units or limited liability company units) are traded on securities exchanges like shares of commonlimited partnership units or limited liability company units) are traded on securities exchanges like shares of commonlimited liability company units) are traded on securities exchanges like shares of common stock.
As Chief Underwriting Counsel, Gary reviews and evaluates transaction structure and provides feedback on the insurability and necessary due diligence required to underwrite major - market commercial finance, mezzanine loan transactions and purchases of equity interests in limited liability companies and limited partnerships.
An income tax provision related to the entertainment industry could be tweaked (e.g. treating sales of partnership interests in movie productions as ordinary rather than capital gains income, or limiting the number of years that entertainment company losses could be carried forward) and an appropriations bill could simultaneously fund the programs.
These two problems will likely limit the potential of Graph Search as a dating tool for now, but Fishman suggests this could change in the future if Facebook adds additional relationship status options like «Looking for a date,» and if the social network can accrue enough real - time interest data for users from its partnerships with other websites.
While I'm not a fan of limiting your options when it comes to dating — everyone should meet a variety of people instead of just dating your type — it might be interesting to see how effective this partnership will be in creating lasting matches.
If the adjusted cost base of your interest in a limited partnership becomes negative, you'll have to report a capital gain equal to the negative amount.
For LLCs, Corporations, and Limited Partnerships, the interest rate may vary monthly and the interest rate assigned will vary from 0.5 percent to 1.5 percent added to the prime rate as published in the Wall Street Journal on the last day of the month prior to the most recent full calendar month.
Except as provided in subdivision (2a) of this section, «control» means the power to vote more than twenty percent (20 %) of outstanding voting shares or other interests of a corporation, partnership, limited liability company, association, or trust.
The biggest includes a reduction in the top corporate rate to 21 %, a new 20 % deduction for incomes from certain type of «pass - through» entities (partnerships, S Corps, sole proprietorships), limits on expensing of interest from borrowing, almost doubling of the amount small businesses can expense from the 2017 Section 179 amount of $ 510,000 to $ 1,000,000, and eliminates the corporate alternative minimum tax (AMT).
An entity formed under state legislation that enables large numbers of investors to become limited partners of a partnership, owning an economic interest in the entity's assets, but sharing in its liabilities only to the extent of their initial investment.
(c) The commissioner determines that there has been a significant change in the membership or partnership interests, including but not limited to a change in ownership or control, directly or indirectly affecting twenty - five percent or more of the total interest of the licensee.
To be treated as a regulated investment company under Subchapter M of the Code, a Fund must also (a) derive at least 90 % of its gross income from dividends, interest, payments with respect to securities loans, net income from certain publicly traded partnerships and gains from the sale or other disposition of securities or foreign currencies, or other income (including, but not limited to, gains from options, futures or forward contracts) derived with respect to the business of investing in such securities or currencies, and (b) diversify its holdings so that, at the end of each fiscal quarter, (i) at least 50 % of the market value of a Fund's assets is represented by cash, U.S. government
We can also see that the proceeds of the sale of the ACH limited partnership interest ($ 296 million) were used to pay down $ 269 million in long - term debt, so management is keeping its promise here.
I kind of get the feeling that he has no set plan but will act opportunisticly; if he can buy some, or even the all, the outstanding limited partnership interests back at a big enough discount he might just do it.
Since SPLP units represent an interest in a limited partnership, unitholders receive a K - 1 after the conclusion of the partnership's fiscal year showing interest in gains and losses for tax purposes.
Among these requirements are the following: (i) at least 90 % of the fund's gross income each taxable year must be derived from dividends, interest, payments with respect to securities loans, and gains from the sale or other disposition of stock, securities or foreign currencies, or other income derived with respect to its business of investing in such stock or securities or currencies and net income derived from an interest in a qualified publicly traded partnership; (ii) at the close of each quarter of the fund's taxable year, at least 50 % of the value of its total assets must be represented by cash and cash items, U.S. Government securities, securities of other RICs and other securities, with such other securities limited, in respect of any one issuer, to an amount that does not exceed 5 % of the value of a Fund's assets and that does not represent more than 10 % of the outstanding voting securities of such issuer; and (iii) at the close of each quarter of the fund's taxable year, not more than 25 % of the value of its assets may be invested in securities (other than U.S. Government securities or the securities of other RICs) of any one issuer or of two or more issuers and which are engaged in the same, similar, or related trades or businesses if the fund owns at least 20 % of the voting power of such issuers, or the securities of one or more qualified publicly traded partnerships.
Purchase or sell commodities, commodity contracts or real estate, including interests in real estate limited partnerships, provided that the fund may (1) purchase securities of companies that deal in real estate or interests therein (including REITs); (2) purchase or sell futures contracts, options contracts, equity index participations and index participation contracts; and (3) purchase securities of companies that deal in precious metals or interests therein.
Part of the reason is that United appears to be choosing sides and has taken a strategic interest in Rocketmiles while PointsHound has resisted such a partnership that might limit its ability to work with other companies.
Because only a «person» can be a member of a limited partnership - Limited Partnerships Act 1907 (LPA), section 4 (2)- a Scottish limited partnership is suitable to act as a carried interest partner, whereas an English limited partnership would limited partnership - Limited Partnerships Act 1907 (LPA), section 4 (2)- a Scottish limited partnership is suitable to act as a carried interest partner, whereas an English limited partnership would Limited Partnerships Act 1907 (LPA), section 4 (2)- a Scottish limited partnership is suitable to act as a carried interest partner, whereas an English limited partnership would limited partnership is suitable to act as a carried interest partner, whereas an English limited partnership would limited partnership would not be.
In the case of a fund established as an English limited partnership, the carried interest is frequently structured through a separate carried interest partnership, which is itself a partner in the main fund, and whose partners include the relevant managers.
Acting for buyers and sellers of entities owing UK property including units in JPUTs, interests in limited partnerships and shares in UK and non-UK resident companies.
In this video, Legal Week editor Georgina Stanley talks to Smith & Williamson head of professional practices Giles Murphy about the key points of interest to emerge from an analysis of the limited liability partnership accounts of the UK's 50 largest law firms.
Alternatively, funds may be incorporated as international limited partnerships, which do not have a separate legal personality distinct from that of the partners; making the general partner ultimately responsible for the debts and obligations of the partnership (a limited partner is not liable for the debts and obligations of a partnership beyond the amount of its contributed partnership interest).
Advise donors and charitable foundations on the implications of various gifting and investment strategies including gifts of flow through and publicly listed securities, the use trusts to hold limited partnership interests, loans and guarantees by foundations and disbursement quota reform.
Transferring patents or license rights to a separate company, such as a limited partnership, and compensating the patent owner with an interest in that entity or a share of its profits.
The German sports clothing and accessory maker remains interested in fitness - oriented smartwatches and bands and will continue exploring them in a limited capacity but primarily through partnerships instead of expensive standalone efforts, as suggested by recent reports.
BC TokenHub intends that the net proceeds of the offering will be transferred to BC III DLVF, which will, in exchange, grant BC III DLVF's sole limited partnership interest to BC TokenHub.
Limiting access to your service by launching with exclusive partnerships may seem prohibitive but Goldman argued that the one - size - fits - all approach used by its competitors doesn't serve the diverse interest of music fans.
I sold everything: from condos, houses, apartment buildings, shopping centers, industrial properties, medical buildings, limited partnership interests in real estate investments to stocks (including REITS), bonds, mutual funds, tax services, financial planning services to website services, e-mail services to education programs, online and offline to, finally, the benefits of the Internet itself to the entire real estate industry.
Madison purchases existing limited partnerships, member and joint venture interests in all types of U.S. real estate from individual, institutional and foreign investors.
During his tenure at HIMCO, Mr. Bowman was involved in over $ 3 billion of structured debt originations, served on the investment committees of the Hartford Mezzanine Investors I, LLC fund and the HIMCO Real Estate Group, and managed a $ 1.1 billion portfolio of limited partnership investments and served as an Advisory Committee member for 22 third - party funds; providing him with an interesting perspective as a fund manager, institutional lender, as well as an active limited partner.
In PLR 200807005, the IRS explicitly approved an arrangement where the taxpayer proposed to acquire replacement property in a like - kind exchange by acquiring 100 % of the interest in a limited partnership that owned the replacement property.
The category of «other limited partnership interests,» which includes hedge funds and private equity, has been more volatile, generating an annualized yield of just 2.71 percent in the first quarter and a loss for the three months ended Dec. 31.
Itemization is limited and does not reflect the true nature of your partnership while the LLC limits your liability, allows all expenses to be deductible, and allows for members to have a varied interest (you can decide by the number of shares.
• any other issuances by us of common equity, preferred equity or other forms of equity, including but not limited to limited partnership interests in an operating partnership (excluding equity - based compensation, but including issuances related to an acquisition, investment, joint venture or partnership); and
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