EX-10.1 2 d945172dex101.htm EX-10.1 TAX RECEIVABLE AGREEMENTTax Receivable Agreement • May 5th, 2020 • New York
Contract Type FiledMay 5th, 2020 JurisdictionThis AMENDED AND RESTATED TAX RECEIVABLE AGREEMENT (this “Agreement”), dated as of June 16, 2015, by and among Ltd Sub A and Ltd Sub B (each as defined herein), both wholly owned indirect subsidiaries of Lazard Ltd, a Bermuda company (“Lazard”), LMDC Holdings LLC, a Delaware limited liability company formerly known as LFCM Holdings LLC (“LMDC”), and LTBP Trust, a Delaware statutory trust (the “Trust”).
TAX RECEIVABLE AGREEMENTTax Receivable Agreement • October 28th, 2015 • Lazard LTD • Investment advice • New York
Contract Type FiledOctober 28th, 2015 Company Industry JurisdictionThis SECOND AMENDED AND RESTATED TAX RECEIVABLE AGREEMENT (this “Agreement”), dated as of October 26, 2015, by and among Ltd Sub A and Ltd Sub B (each as defined herein), both wholly owned indirect subsidiaries of Lazard Ltd, a Bermuda company (“Lazard”), and LTBP Trust, a Delaware statutory trust (the “Trust”).
TAX RECEIVABLE AGREEMENTTax Receivable Agreement • June 17th, 2015 • Lazard LTD • Investment advice • New York
Contract Type FiledJune 17th, 2015 Company Industry JurisdictionThis AMENDED AND RESTATED TAX RECEIVABLE AGREEMENT (this “Agreement”), dated as of June 16, 2015, by and among Ltd Sub A and Ltd Sub B (each as defined herein), both wholly owned indirect subsidiaries of Lazard Ltd, a Bermuda company (“Lazard”), LMDC Holdings LLC, a Delaware limited liability company formerly known as LFCM Holdings LLC (“LMDC”), and LTBP Trust, a Delaware statutory trust (the “Trust”).