Owners of Grantor Trusts and Disregarded Entities. If you are treated for US federal income tax purposes as a grantor trust under Sections 671-679 of the IRS Code or a “disregarded entity” within the meaning of US Treasury Regulation
Appears in 3 contracts
Samples: Subscription Agreement (Goldman Sachs Private Markets Fund 2018 (A) LLC), Subscription Agreement (Goldman Sachs Private Markets Fund 2018 LLC), Subscription Agreement (Goldman Sachs Private Markets Fund 2018 (B) LLC)
Owners of Grantor Trusts and Disregarded Entities. If you are treated for US federal income tax purposes as a grantor trust under Sections 671-679 of the IRS Code or a “disregarded entity” within the meaning of US Treasury Regulationthe
Appears in 3 contracts
Samples: Subscription Agreement (Goldman Sachs Private Markets Fund 2018 LLC), Subscription Agreement (Goldman Sachs Private Markets Fund 2018 (A) LLC), Subscription Agreement (Goldman Sachs Private Markets Fund 2018 (B) LLC)