Search for: "Capital Assets Services I, LLC" Results 141 - 160 of 437
Sorted by Relevance | Sort by Date
RSS Subscribe: 20 results | 100 results
21 Mar 2011, 6:16 pm by Tomassi Law Associates
While I normally focus on free cash flow, book value is more appropriate for an insurance company because most of its balance sheet is comprised of financial assets and liabilities. [read post]
13 Apr 2017, 9:01 am by Hedge Fund Lawyer
“Vista’s commitment to sustainable quality services aligns perfectly with our mission, and this partnership will allow us continue our efforts to expand nationally across all spectrums of the asset management industry. [read post]
27 Mar 2017, 3:17 am by Peter Mahler
Justice Dufficy’s legal analysis beginning at page 6 of his decision includes an excellent review of the statutory standard and interpretative case law governing dissolution of LLCs, citing familiar cases such as 1545 Ocean Avenue, Doyle v Icon, and (pardon the self-promotion) a couple of cases I litigated and won (Natanel v Cohen and Sieni v Jamsfab, LLC). [read post]
13 Jul 2015, 3:15 am by Peter Mahler
The plaintiff, Mazel Capital, LLC, initially invested $250,000 cash and contributed other assets in consideration of a 9% membership interest in Heartwatch. [read post]
30 Jan 2019, 8:00 am by zamansky
I’m not sure that I see much distinction between what you’re doing now and what the Fed was doing in pre-2008, and I think that’s deeply worrisome,” Ms. [read post]
21 Dec 2017, 6:00 am by Doug Cornelius
IA-4220 (October 8, 2015) (notice) and IA-4254 (November 3, 2015) (order); Brookfield Asset Management Private Institutional Capital Adviser US, LLC et. al., Investment Advisers Act Release Nos. [read post]
31 Dec 2012, 2:00 am by Peter Mahler
Mandelbaum Orthotic & Prosthetic Services, Inc. v. [read post]
22 Feb 2019, 7:40 am by Thomas Schober
Acquisition at original issuance for cash or services – the taxpayer must have acquired the stock at its original issuance either (i) in exchange for money or other property (not including stock) or (ii) as compensation for services provided to the corporation. [read post]
4 Nov 2009, 7:59 am
  Below I have gathered some of the more interesting or important points which were raised in the comments which are publicly available here. [read post]
20 May 2011, 11:01 am by Shari Shapiro
If we are not able to generate sufficient cash flow to service our debt obligations, we may need to refinance or restructure our debt, including our senior convertible notes, sell assets, reduce or delay capital investments, or seek to raise additional capital. [read post]
30 Jun 2020, 2:27 pm by Rob Robinson
Legal Support (eDiscovery and Computer Forensics Division)Business Intelligence Associates (BIA) 5-Dec-17HAYSTACK ID LLC (Investee)TCF Capital Funding (Support Of Knox Capital Holdings and Maranon Capital) in Recapitalization (Investor)$17.800,000 30-Nov-17E-STETEY 28-Nov-17AllegoryIntegreon 31-Oct-17Avalon Document Services (Merger)C:Dox (Merger) 23-Oct-17NexLP (Investment)Method Capital and Dundee Venture Capital (Investors)$3,000,000… [read post]
29 Mar 2020, 7:56 am by Rob Robinson
Legal Support (eDiscovery and Computer Forensics Division)Business Intelligence Associates (BIA) 5-Dec-17HAYSTACK ID LLC (Investee)TCF Capital Funding (Support Of Knox Capital Holdings and Maranon Capital) in Recapitalization (Investor)$17.800,000 30-Nov-17E-STETEY 28-Nov-17AllegoryIntegreon 31-Oct-17Avalon Document Services (Merger)C:Dox (Merger) 23-Oct-17NexLP (Investment)Method Capital and Dundee Venture Capital (Investors)$3,000,000… [read post]
9 Nov 2010, 4:00 am by Doug Cornelius
Background checks Westpark Capital’s Chief Compliance Officer was William Morgan. [read post]
7 Mar 2010, 12:06 pm by Randall Reese
Heartstrings Enterprises Swoozie's largest equity holders are three private equity firms: TWJ Capital Opportunity Fund I, L.P. (31.0%); Northwood Ventures, LLC (27.7%); and Brand Equity Ventures II, L.P. (26.1%). [read post]
21 Jun 2010, 4:13 am by Broc Romanek
This reduced 50% OI recharacterization rate would also apply (subject to extremely opaque legislative language) to an individual's gain from sale of an interest in an investment services partnership/LLC (the so-called "enterprise tax") held by the selling partner for at least 5 years to the extent the gain is attributable (1) to an underlying partnership/LLC asset held for at least 5 years (or to all of the gain on such a sale if "substantially… [read post]