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But the appraisers only reached this valuation by fraudulently manipulating the valuation. All of the supporting data spreadsheets, whether prepared by Mr. McConney or 65. 67% would have decreased the value of 1290 Avenue of the Americas by more than $1. Through that transaction, recorded on June 29, 2017, the combined properties sold for approximately $11 million per acre—$67. Trump claimed to have paid $46 million for the club, consisting of $5 million in cash he actually paid and $41 million in assumed membership liabilities. Giving grounds for a lawsuit 7 Little Words -FAQs. The building was occupied by an institutional anchor tenant, Deutsche Bank. Giving grounds for a lawsuit 7 little words. Accordingly, the remedy of disgorgement does not require a showing or allegation of direct losses to consumers or the public; the source of the ill-gotten gains is 'immaterial'"). 7178 acres of oceanfront and lakefront land that sold for a total of $104. Be Informed About Your Kids Know the details of their education (e. g., What's their favorite subject and the name of their teacher?

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Request" in a response email. Trump explained: "It's something I've been thinking about for a year, maybe a little longer than a year, and I decided to pull the trigger and do it, " adding that giving up entitlements to develop the land "was not an easy thing to do" because it is valued at "much more than $25 million. Giving grounds for a lawsuit 7 little words to eat. " Based on an outside appraisal and internal (but undisclosed) estimates of market 85. Trump and the Trump Organization fraudulently inflated the valuation of the 12.

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Future residential development that ignored zoning requirements and failed to include any cash flow analysis to compute the present value of future income – hereafter referred to as the "Inflated Home Sale Scheme" –vastly overstated the value of the undeveloped land at Trump Aberdeen. Balance sheet for year-end 2015, which showed total assets of $6. The Statement of Financial Condition for Trump Park Avenue in 2015 reflected 110. Latest Bonus Answers. Giving grounds for a lawsuit 7 little words answers. The Golf Course Valuations Value of Undeveloped Land 127 Total Value. In reality, based on the actual size of the apartment, the true price per square foot reflected in this value was an incredible $29, 738. ) Any separate and distinct fraudulent or illegal act, or conduct which affects more than one person. "

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Larson also testified it would be a misstatement if the Trump Organization said it reached the 2013 valuation of Niketown (the first year the purported conversation was referenced) in conjunction with him and that there was no valuation of Niketown done by him. I told Kelly already but if you talk to him, mention it. " On each of those transactions with Deutsche Bank, Ms. Trump was aware that the transactions included a personal guaranty from Mr. Trump that required him to provide annual Statements of Financial Condition and certifications. Condition to insurers and its insurance broker by allowing underwriters only to review a copy of the Statements at the Trump Organization's offices. Larson again in 2013 to use a capitalization rate of 3. Including in the value of golf clubs anticipated income from inflated membership initiation fees. For purposes of that coverage, similar to the process described above with Zurich, 695. In reality, Insite Engineering never drafted any such report. 2 million; and a Cushman forecast for the same year of $15. The appraisal assumed future management fees and expenses of $349, 562, when actual management fees, per the audited financials for 40 Wall Street, were $1, 211, 909. UNASSIGNED RECEIVED NYSCEF: 09/21/2022 the club- not the 25 stated to pay $50, 000 or the 177 stated to pay higher amounts.

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The chart below shows the amount of cash attributable to Mr. Trump's 30% stake 76. Mazars' predecessor) incorporating Mr. Trump's Statement of Financial Condition, referencing his net worth and cash position. The Ladder Capital loan would replace the Capital One loan based on an inflated appraisal prepared by Cushman. Among his responsibilities as CFO, from at least 2011 until 2020, Mr. Weisselberg supervised and approved the preparation of the valuations contained in the Statements of Financial Condition. Should be aware that documents bearing this legend may not have been 124 of 222 keeping all other variables constant, results in a reduction in the valuation of the undeveloped land component of Trump Aberdeen of more than $175 million in each year. The Trump Organization, through the entity 40 Wall Street LLC, a New York 114. The PWM term sheet was different in a number of respects from the CRE term 632. Loan to purchase Doral. 8 million to the valuation for "furniture, fixtures, and equipment" ("FF&E") in 2013, with the stated reason that the single sale used to value Mar-a-Lago was a "spec house and sold without FF&E, " the Trump Organization continued adding that amount (or at least more than $14 million) for FF&E after its initial reason for doing so no longer applied. To 2018 by including so-called incentive licensing fees in a fraudulent and misleading manner. 1290 Avenue of the Americas and 555 California (Vornado Partnerships) Statement Year Value of Limited Partnership Interest 2011 $729, 900, 000 2012 $823, 300, 000 2013 $745, 800, 000 2014 $816, 900, 000 2015 $946, 000, 000 2016 $979, 500, 000 2017 $1, 195, 800, 000 2018 $1, 211, 900, 000 84.

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People v. 3d 104, 107 (3d Dep't 2005), aff'd on other grounds, 11 N. 3d 67, 73 (1st Dep't 2021). " Throughout the period 2011 to 2021, the TNGC LA valuation incorporated an 477. Other than that, no further comments. Those included submission of "DJT June 30 Statement of Financial Condition" in connection with Doral, Trump Chicago and OPO. Trump Organization outside counsel, Mr. Susa, asked Eric Trump to carefully 343. Specifically, Defendants each agreed to participate in a scheme to use false and 717. Statement, as certified by Mr. Trump, was a precondition to lending.

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PRAYER FOR RELIEF judgment granting the following relief to remedy the substantial, persistent, and repeated fraudulent and misleading conduct in the business of the Trump Organization occurring since 2011: WHEREFORE, Plaintiff respectfully requests that the Court enter an order and A. Valuations were "based on the sale of luxury homes net of cost. " This category of assets claims to value potential future revenue that might be earned from purported licensing agreements with third parties. Under the Mar-a-Lago Conservation Deed, Mr. Trump was bound "at all times to 370.

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Less than a year later, Mr. Trump valued the same property at $62 million on the 2013 Statement of Financial Condition. As set forth in the allegations above, Defendants made or caused to be made misrepresentations, false or misleading statements, and statements that were misleading by omission, concealment, or suppression of information. 75 million), and the 39 remaining lots were listed at an estimated $2. During the process of preparing that appraisal, Mr. Trump personally pushed to 132. Place the General Partner (i. e., Vornado) in control of those partnerships, including with respect to the amount of any cash distributions (if any) or reinvestment decisions. See generally Penal Law § 105. subject of an enforcement action if it is either "repeated" or "persistent. " Brooch Crossword Clue. That language means the bank would determine Mr. Trump's compliance with his net worth covenant by reference solely to the net worth Mr. Trump reported and certified to the bank. Purposes in 2015 and 2016 next to the valuations provided in the Statements for those same years highlights the fraudulent intent—and duplicity—of the Trump Organization's approach. Trump submitted Statements of Financial Condition to Deutsche Bank 157. By Debrina Washington Debrina Washington is a New York-based family law attorney and writer, who runs her own virtual practice to assist single parents with legal issues. There are no sources cited for the adjustment.

Condition for 2010, 2011, 2012, 2013, 2014, 2015, and 2016. Nevertheless, for the purposes of the Statement of Financial Condition, the Trump 129. In other words, it holds a leasehold interest in the land and buildings on the land, but pays rent (known as ground rent) to the landowner. Shortly thereafter, Defendants exited the Doral loan by refinancing with Axos Bank. The Trump valuation does not make any adjustment to the list of sales to account for site differences and does not include an allowance for affordable housing or affordable housing payments as required by the Scottish Government. Before You Begin Before diving into a long and drawn-out child custody battle, ask yourself if it can be avoided. The Trump Organization similarly inflated price-per-acre figures in the 2018, 392. Accuracy of that Statement of Financial Condition. This price reflected a massive premium over the $464 price per square foot used a year earlier by Cushman in the 2015 appraisal for Ladder Capital and the $225 price per square foot used by Morningstar. Files, and it was integral to the company's loan from Investors Bank, including to the release of the collateral as unsold units were sold. That wildly overstated size was then multiplied by an unreasonable price per square foot. These values are more than twice the value reached by the professional appraisals noted above. In a 2021 federal filing, Ms. Trump reported total income from Trump Organization entities of $2, 588, 449, including income from Ivanka OPO LLC, TTT Consulting, LLC, TTTT Venture LLC and Trump International Realty. Was central to each of those loans.

Pushed the appraisers to otherwise use an accelerated development timeline that ignored the prior nine years of unsuccessful development efforts. When asked questions about those meetings under oath, both men invoked their Fifth Amendment privilege against self-incrimination and refused to answer. Seven Springs.... 67 8. Nevertheless, on November 14, 2011, the two bankers spoke with Mr. Trump and 575. All of these values were a fiction, totally unsupported by the development history of the property and contradicted by every professional valuation of the property. 4 million valuation for Mr. Trump's 43.

48 50 55 56 58 59 65 7. CAUSES OF ACTION V. UNASSIGNED RECEIVED NYSCEF: 09/21/2022 FIRST CAUSE OF ACTION Executive Law § 63(12) – Persistent and Repeated Fraud (Against All Defendants) Plaintiff repeats and re-alleges the paragraphs above as if fully stated herein.

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