PRAY FOR IT BECAUSE WHAT IVE BEEN SAYING FOR 15 YEARS IS THAT "NOL IS THE ONLY HOPE"... "YOUR BRAIN" SHOULD REALIZE EARLIER THAT LBHI MUST CONTINUE TO EXIST TO UTILIZE NOL. AND WILL NEED FRESH CAPITAL (SUCCESSOR) ONLY FROM THE OLD COLD DEBT BECAUSE ANY CHANGE OF OWNERSHIP OTHER THAN THE CREDITORS WILL INVALIDATE THE NOL.
BUT STILL, "YOU WILL NOT BE PAID OR GET A REDEMPTION FOR YOUR CTS!!
NO ONE ON THIS BOARD FORGETS THAT YOUR ARGUMENT FOR 15 YEARS WAS TO RECEIVE MONEY FROM THE DISTRIBUTIONS AND THAT IS COMPLETELY WRONG!!
NO ONE ON THIS BOARD FORGETS THE THREE STOOGES EITHER.
As of April 4, 2024, the Company recorded an estimate of $8.7 million for potential pre- and post- petition amounts owed to federal, state, local and international taxing authorities, net of expected refund claims. Between January 1, 2024, and April 4, 2024, the Company’s tax payable decreased by $1 million as a result of global tax audit progress
Quarterly Financial Report as of April 4, 2024 (Unaudited) Page 16 Note 5 – Taxes Payable Taxes payable is an estimate of tax liabilities, net of the estimated impact of any refund claims, deposits, and net operating losses (“NOL”). Taxes payable have been allocated among the members of the LBHI Tax Group pursuant to the Debtor Allocation Agreement. The Debtor Allocation Agreement, which became effective on the Effective Date, addresses the relationship among the Debtors and certain Affiliates with respect to consolidated federal/combined state/local income taxes for pre- petition and post-petition years. As of April 4, 2024, the Company recorded an estimate of $8.7 million for potential pre- and post- petition amounts owed to federal, state, local and international taxing authorities, net of expected refund claims. Between January 1, 2024, and April 4, 2024, the Company’s tax payable decreased by $1 million as a result of global tax audit progress. Net Operating Losses The NOLs of the LBHI Tax Group (including LBHI- Controlled Affiliates) are subject to audit and adjustment by the IRS and primarily expire in or about 2028. Substantially all of the LBHI Tax Group’s current consolidated net operating loss carryovers are attributable to the Debtor. The Plan provides for an orderly liquidation of the Debtors. As previously disclosed in the Company’s Quarterly Financial Report as of March 31, 2012 [Docket No. 29731], the LBHI Tax Group received a private letter ruling from the IRS in connection with the Plan going effective that stated (i) the liquidation of the Debtor for U.S. federal income tax purposes may occur over an extended period, and (ii) the reduction of the LBHI Tax Group’s NOLs as a result of the discharge of debt pursuant to the Plan generally would not occur until completion of the liquidation. In January 2020, the Company received a supplemental IRS ruling extending the original ruling relating to the Company’s liquidation. All remaining Debtor NOLs not previously utilized to absorb taxable income of the LBHI Tax Group are expected to be fully utilized to offset income resulting from the discharge of debt on the final date of liquidation of LBHI. 08-13555-mg Doc 61667 Filed 06/12/24 Entered 06/12/24 16:13:38 Main Document Pg 16 of 17