Case File
efta-02313921DOJ Data Set 11OtherEFTA02313921
Date
Unknown
Source
DOJ Data Set 11
Reference
efta-02313921
Pages
3
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0
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Extracted Text (OCR)
Text extracted via OCR from the original document. May contain errors from the scanning process.
From:
Karyna Shuliak
Sent:
Monday, April 1, 2019 4:51 PM
To:
Marc.Kensington
Cc:
Mark Lloyd; Alex Peto
Subject:
Re: Bin Ennakhil
Dear =arc,
I sincerely appreciate your kind =esponse.
1. The authorities in Rabat told me the =ame thing and said they would reserve the right to charge me the =apital gains
as well as the transfer tax. They said that the vendor is =rying to avoid tax and as it was I that was helping him I should
pay =hat he owes. They said that many purchases happen as you suggest but =ot of such a substantial property.
2 The directors do not own the co the shareholder does, =o a change in directors is meaningless.
3. AML can be done at the last moment not the first. That is =illy. I have bought other properties and am intimately
familiar with =he regulations. Your vendor transferred shares from a BVI co to a =tiftung with no paperwork shown to us.
The values were obviously =ncorrect. I don't know what the cost basis of the house was so it was =ifficult to gauge
capital gains on profits. I could buy the property =nd loan the owner the balance on day one to be repaid over four years
=s the government allows.
Thanks for =ou kindness.
Sincerely,
Karyna
On Apr 1, 2019, at 5:18 AM, =arc.Kensington <
mailto
wrote:
<=pan lang="EN-US" class="">Dear Karyna
<=pan style="font-size:llpt" class="">Please read this but my goal is not to change your decision. I hate
to leave a sale process with =uch a bad feeling of the potential buyer. You are an extraordinary wise young =oman. I
could be your grandfather and the owner is ten years older. This might =ave had an effect on our discussions which
started about 6 weeks ago. I flew numerous times to Italy to negotiate different =oints. Agreeing the price reduction
from 29 (with an additional building permit for =ospitality, still pending) to 23 (for a very quick deal).
<=pan style="font-size:llpt" class="">Following, the vendors full point of view
<=pan style="font-size:11pt" class="">The property
<=pan style="font-size:llpt" class="">You visited the property and loved this architectural masterpiece.
Checking structure and roofs, as =ou mentioned, is totally right. A survey of heating, cooling, plumbing and electricity
(installed with the latest Swiss technology in the early =0s) might show some updates to do even if everything is
working.
<=pan style="font-size:llpt" class="">The AML
EFTA_R1_01204872
EFTA02313921
<=pan style="font-size:llpt" class="">The AML is a pure American regulation applied worldwide fighting
against money laundering. It =ecures vendor and buyer. The emitting and receiving banks certify that their =lients are
"clean".
<=pan style="font-size:llpt" class="">Two sales failed in the last 24 months for this unique reason and
the first step for the vendor and =is bank was to get this AML done.
<=pan style="font-size:llpt" class="">The Due Diligence
<=pan style="font-size:11pt" class="">Since 1990, the property had only one owner, Pamur Anstalt.
Directors of Pamur probably changed =everal times. Is this really important ? As a new owner, Haze Trust would also
probably have changed the directors and maybe sold Pamur to another =ntity.
<=pan style="font-size:llpt" class="">Taxes in Morocco
<van style="font-size:llpt" class="">They are two ways to sell the property, but they can't be mixed.
<=pan style="font-size:llpt" class="">First one: sale of the property. Pamur Anstalt has to provide the
investment balance and pay =he capital gain taxes (31%). The vendor rejected this option, as explained. =e needs then 4
years to receive the full net amount out of =orocco.
<=pan style="font-size:llpt" class="">Second one: Sale of the Pamur Anstalt shares in Liechtenstein.
Haze Trust or any other entity is the shareholder of the Pamur Anstalt, and nothing changes in Morocco, except =ew
directors
<=pan style="font-size:llpt" class="">Transferring the ownership of the property to Haze Trust comes
back to option 1, with payment of =apital gain. Strategically this would be a financial disaster.
<=pan style="font-size:llpt" class="">l enjoyed to exchange with you, =id not play a game between two
"competitors" and wish you a happy =nvestment in Morocco.
<=pan style="font-size:11ptline-height:107%" class="">Yours sincerely
Marc LEON
Partner
KENSINGTON
Luxury Properties Sarl
Private Office Marrakech
67, rue Ibn =haldoun
Imm. El Pacha, ler =C34>tage
40000 - Marrakech (Morocco)
2
EFTA_R1_01204873
EFTA02313922
www.kensingtonmorocco.corn
EFTA_R1_01204874
EFTA02313923
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