Skip to main content
Skip to content
Case File
sd-10-EFTA01368397Dept. of JusticeOther

EFTA Document EFTA01368397

7. END-USER EXCEPTION SELF-CERTIFICATIO1 Any Okla intending to elect the End-User Exception but that has not filed an Etid.User Notice in ccconlance wish Section 13,1(e)(4) VtheAddentban neat complete,. sign and taunt this Self-Certification to DB. Capitalized terns used in this Questionnaire are defined in the attached Gowns tegname of Client Swap Vehicle: C IN Rt. ctAC, (-LC On each date on which Client elects to use the End-User Exception with respect to a particular swap entered int

Date
Unknown
Source
Dept. of Justice
Reference
sd-10-EFTA01368397
Pages
1
Persons
0
Integrity
Loading PDF viewer...

Summary

7. END-USER EXCEPTION SELF-CERTIFICATIO1 Any Okla intending to elect the End-User Exception but that has not filed an Etid.User Notice in ccconlance wish Section 13,1(e)(4) VtheAddentban neat complete,. sign and taunt this Self-Certification to DB. Capitalized terns used in this Questionnaire are defined in the attached Gowns tegname of Client Swap Vehicle: C IN Rt. ctAC, (-LC On each date on which Client elects to use the End-User Exception with respect to a particular swap entered int

Ask AI About This Document

0Share
PostReddit

Extracted Text (OCR)

EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
7. END-USER EXCEPTION SELF-CERTIFICATIO1 Any Okla intending to elect the End-User Exception but that has not filed an Etid.User Notice in ccconlance wish Section 13,1(e)(4) VtheAddentban neat complete,. sign and taunt this Self-Certification to DB. Capitalized terns used in this Questionnaire are defined in the attached Gowns tegname of Client Swap Vehicle: C IN Rt. ctAC, (-LC On each date on which Client elects to use the End-User Exception with respect to a particular swap entered into pursuant to this Addendum, Client represents to DB that: (a) it is either: (I) nor a Financial Entity (notwithstanding any exemptions or exclusions from such definition provided in Section 2(h) of the CEA or related CFTC Regulations); (ii) exempt from the definition of Financial Entity as an Exempt Small Financial Institution; or (iii) excluded from the definition of Financial Entity because it only uses swaps to hedge or mitigate the commercial risk of an affiliated person that is itself ;IN a Financial Entity. (b) such swap is being.usai for purposes of Hedging orMitigating Commercial lIthd.; (c) it has provided Dl) with the information listed in CFTC Regulation 50.500XIXiii) and all such information is true; accurate and complete in every material respect and covers the particular swap for which the End-User Exception is being claimed; and (d) it generally meets its financial obligations associated with entering into uncleared swaps through one of the following categories (please check all that apply): o a written credit support agreement; g pledged or scgreganxl assets (including posting or receiving margin pursuant to a credit support agreement or otherwise; a written third-partyguartmtee; Client's available financial resources; and/or Ei any means other than those described above; (filient checks this bar, please provide farther explanation on a separate sheet:of paper.) (a) it 0 IS / ER IS NOT an Exchange Act Reporting Company. if Client is an ExChange Act Reporting Company, it limber represents that: (I) its SEC Central Index Key Number is (please insert); and an propriate committee of its board of directors (or equivalent body) Cj HAS I LI HAS NOT reviewed and approved the decision to enter into swaps that are 6345931 CONFIDENTIAL - PURSUANT TO FED. R. GRIM. P. 6(e) CONFIDENTIAL DB-SDNY-0060123 SONY GM_00206307 EFTA01368397

Technical Artifacts (1)

View in Artifacts Browser

Email addresses, URLs, phone numbers, and other technical indicators extracted from this document.

Phone6345931

Related Documents (6)

OtherUnknown

From:

DOJ EFTA Data Set 10 document EFTA01300350

3p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01460026

Strategic and tactical allocations Proposed allocations for taxable client (where hedge funds are suitable) Strategic Crowe ncome Tactical naa Maximum Growth Strategic Tactical E uities 32.5% 32.5% 49.0% 49.0% 137.0% 137.5% 84.5% 84.5% U.S. Large Cap 15.0% 16.5% 23.5% 25.5% 33.0% 35.5% 42.0% 45.0% U.S. Small Cap 2.0% 1.5% 2.5% 2.0% 3.5% 3.0% 4.0% 3.0% EAFE 11.5% 13.0% 17.0% 18.5% 22.5% 25.0% 29.0% 31.5% European 7.5% 7.5% 11.5% 11.5%

1p
Dept. of JusticeAug 22, 2017

15 July 7 2016 - July 17 2016 working progress_Redacted.pdf

Kristen M. Simkins From: Sent: To: Cc: Subject: Irons, Janet < Tuesday, July 12, 2016 10:47 AM Richard C. Smith     Hello Warden Smith,     mother is anxious to hear the results of your inquiry into her daughter's health.   I'd be grateful if you could  email or call me at your earliest convenience.  I'm free today after 2 p.m.  Alternatively, we could meet after the Prison  Board of Inspectors Meeting this coming Thursday.    Best wishes,    Janet Irons    1 Kristen M. Simkins From: Sent:

1196p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01398793

Subject: RE: MD approval for ACUs completed for High Risk Clients [I] From: Andrew Gallivan Date: Fri, 07 Apr 2017 To: Vaishali-P Mehta < Classification: For internal use only Approved. From: Vaishali-P Mehta Sent: Friday, April 07, 2017 2:21 PM To: Andrew Gallivan Subject: FW: MD approval for ACUs completed for High Risk Clients [I] Classification: For internal use only Hi Andrew, In an effort to ensure that you have to approve only 1 email, I sent the below email, in hindsight I s

43p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01394596

GL0US140 Lawrence Hirsch Section 4. Glendower Capital Secondary Opportunities Fund IV. LP Glendower Capital Secondary Opportunities Fund IV. LP Secondary market overview The secondary private equity market has expanded and evolved dramatically over the last two decades. The market is large, dynamic and acknowledged by private equity firms and limited partners alike as a liquidity enabler for private equity investors globally. In its early years, the secondary market was typically a much mo

1p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01378481

7 October 2015 Corporate Credit,Energy Petroleo Brasileiro S.A. We believe Petrobras has a very high chance of meeting its funding gap through 2017 without relying on direct government support We have revised our base-case cash flow forecasts and now assume lower capex (from USD27bn to USD25bn in 2015 and from USD22bn to USD19bn onwards), 2.0% CAGR of domestic E&P production (vs. 4.0%) and domestic fuel prices increasing by 6% p.a. with no restrictions (vs. 5% p.a. with a 10,4 premium c

1p

Forum Discussions

This document was digitized, indexed, and cross-referenced with 1,400+ persons in the Epstein files. 100% free, ad-free, and independent.

Annotations powered by Hypothesis. Select any text on this page to annotate or highlight it.