the terms of the agreement, Agere shareholders will receive shares of LSI for For stock basis computations see be accessed at and free copies of the documents filed with the SEC by LSI and Agere by contacting . occurred in AT&T’s history: AT&T Shareowner Services: Tax Basis Information: Stock . The following PDF file on Agere’s investor relations web site has Worksheet New total tax basis of Agere A stock ($)/ Total Shares () =New ), your new bases for.

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Fourth quarter of If the FSA or other regulatory agencies in the United Kingdom or elsewhere were to adopt burdensome regulations with respect to the private equity industry, our performance may be negatively impacted. Deepen relationships with our key customers through our application marketing efforts.

Our board of directors has the power to resolve to issue shares and to determine the price and other terms and conditions of such share issue, if and insofar as the board of directors has been designated by the general meeting of stockholders as the authorized corporate body for this purpose under Dutch law.

Income Loss Before Income Taxes. In addition, our debt instruments contain, and future debt instruments may also contain, provisions that require prepayment or offers to prepay upon a change of control. Capital stock, at par value.

Prior to joining NXP, our chief executive officer, Rick Clemmer, and chief financial officer, Peter Kelly, played leading roles in a program that significantly enhanced the performance of Agere Systems Inc. The interest expense and other costs incurred in connection with such borrowing may taxbaxis be recovered by appreciation in the securities purchased or carried, such expenses and costs could give rise to losses, and the timing and magnitude of such losses could be accelerated or exacerbated, in the event of a decline in the market value of such securities.

Generally, when we refer to this document, we are referring to both parts of this document combined. Dividend income is recorded on the ex-dividend date. Other Taxes and Duties.

In addition, members of the U. You are urged to consult your tax advisors regarding the availability of the foreign tax credit under your particular circumstances. Please note that the expenses shown in the table are meant to highlight your ongoing costs only and do not reflect any transactional costs such as sales charges loadsredemption fees, or exchange fees, if any, which are described in the Prospectus.

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Also, we’ll use the bases already calculated by Agere as our FMVs. This is not really a Return of Capital, but that’s what Quicken calls it, so we’ll work with it. Shareowners entitled to a fractional share of Lucent received a cash txbasis instead. This discussion does not contain a detailed description of all the United States federal income tax consequences to you in light of your particular circumstances and does not address the effects of any state, local or non-United States tax laws.

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You may use this section to help you to estimate the actual expenses that you paid over the period after any fee waivers and expense reimbursements. In connection with the Transactions, everyone at our firm will become an owner and will have a stake in our future. This summary highlights information contained elsewhere in this prospectus and does not contain all the information you should consider in connection with your receipt of our common units and contingent value interests.

In connection with the Transactions, certain minority investors will retain the following interests in our business and such interests will not be acquired by the Group Partnerships: Accordingly, you may not have the same protections afforded to stockholders of companies that are not foreign private issuers. We rely heavily on our financial, accounting and other data processing systems.

In our private equity business, for example, our traditional private equity funds generated a cumulative gross IRR of Jan Matejka, Apr 21, As a public company, we will be subject to the reporting requirements of the Securities Exchange Act ofor the Exchange Act, and requirements of the Sarbanes-Oxley Act ofor the Sarbanes-Oxley Act.

However, any such fines or penalties may be material to our consolidated statement of operations for a particular period. Such a failure to accommodate growth, or an increase in costs related to such information systems, could have a material adverse effect on us. We have also developed a capital markets business in the United States, Europe and Asia, which we intend to grow and diversify.

You should carefully read both this prospectus and the applicable prospectus supplement together with the additional information that is incorporated or deemed incorporated by reference tzxbasis this prospectus.

To the extent that the current credit markets have rendered such financing difficult to obtain or more doocs, this may negatively impact the operating performance of those portfolio companies and, therefore, the investment returns on our funds.

We have hired a number of experienced professionals with long-standing investor relationships and industry experience to help us build our capital markets business. Even if an investigation or proceeding does not result in a sanction or the sanction imposed against us or our personnel by a regulator were small taxbazis monetary amount, the adverse publicity relating to the investigation, proceeding or imposition of these sanctions could harm our reputation and cause us to lose existing clients or fail to gain new clients.


On April 15,a 3 for 2 stock split occurred: We generally state possible outcomes as high and low ranges which are intended to provide a sensitivity analysis as variables are changed but are not intended to represent that actual results could not fall outside of the suggested ranges.

Preliminary Prospectus Supplement

Proceeds to be paid to the Selling Stockholders. However, the actual amount of such distributions will depend on the amounts of available cash-on-hand and receivables of our management companies and capital markets companies and the book value of such personal property at the time of distribution.

We operate globally, with manufacturing, assembly and testing facilities in several continents, and we market our products globally. Future sales of our shares could depress the market price of our common stock. Except for the Retained Interest in our capital markets business, these interests generally are expected to run-off over time, thereby increasing the interests of the Group Partnerships in the entities that comprise our business. Any gain or loss recognized by you will generally be treated as United States source gain or loss.

Incorporation of Certain Documents by Reference. Table of Contents According to Dutch domestic anti-dividend stripping rules, no credit against Dutch corporate income tax and no exemption from, reduction in or refund of, Dutch dividend withholding tax will be granted if the recipient of the dividend paid by us is not considered to be the beneficial owner uiteindelijk gerechtigde of such dividends as meant in these rules.

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Our defined benefit pension plans may also be subject to demographic trends. The use of leverage poses a significant degree of risk and enhances the possibility of a significant loss in the value of these funds’ investment portfolios. Both this prospectus supplement and the accompanying prospectus include important information about us, our shares of common stock and other information you should know before investing in our common stock.

Realizations at values significantly lower than the values at which investments have been reflected in prior fund NAVs would result in losses for the applicable fund and the loss of potential carried interest and other fees.

We earn additional investment income from investing our own capital alongside fund investors and from the carried interest we receive from private equity funds and carry-yielding co-investment vehicles.