| City Investing Company Liquidating Trust |
| 59 Maiden Lane |
| New York, NY 10038-4548 |
| 212-530-7300 |
1989 U.S. FEDERAL INCOME TAX INFORMATION
This letter provides information relating to the amount and character of the income, gain, loss, deductions and basis adjustment ("
If you (i) acquired Trust Units ("Units") upon the liquidation of City Investing Company, (ii) reported long-term capital gain or loss upon the liquidation, and (iii) did not dispose of any Units in 1989, you can calculate on the Schedule your share of the Trust
If you (i) disposed of Units in 1989, or (ii) acquired your Units other than upon the liquidation of City Investing Company, or (iii) did not report long-term capital gain or loss upon the liquidation, you will probably have different income tax consequences that cannot readily be calculated by the Trust. For administrative convenience, you may calculate your share of the Trust
Since its inception, the Trust has reported income attributable to interest from its short-term investments in cash and cash equivalents over the period of time the interest accrues. In 1989, the Trust is reporting interest income at the time of collection. This change results in a decrease of $487,900 of interest income for 1989, or a decrease of $0.012517 per Unit.
Individual taxpayers may report on Form 1040 the amounts of
| Interest Income--line 2, Schedule B | |||
| Dividend Income--line 4, Schedule B | |||
| Short-Term Capital (Loss) --line 5, Schedule D | |||
| Net Long-Term Capital Gain / (Loss) --line 12, Schedule D | |||
| Trust Expenses--line 21, Schedule A, (if you itemize deductions) | |||
| Foreign Source Item--for information purposes | |||
| Adjustment to Basis--for information purposes |
THIS LETTER IS NOT INTENDED TO PROVIDE INCOME TAX ADVICE RELATING TO THE ACQUISITION, HOLDING AND DISPOSITION OF UNITS. YOU ARE STRONGLY ENCOURAGED TO DISCUSS THE INCOME TAX CONSEQUENCES OF ACQUIRING, HOLDING AND DISPOSING OF UNITS WITH YOUR TAX ADVISOR.
| * | The Trust Tax Items for 1989 have been calculated in accordance with the letter on the front side of this page, and our letter of November 26, 1985 (reproduced on Page 4) providing certain tax information, which are integral parts hereof and which you should review with your tax advisor before reporting your share of the Trust Tax Items on your 1989 U.S. Federal income tax return. Since its inception, the Trust has reported income attributable to interest from its short-term investments in cash and cash equivalents over the period of time the interest accrues. In 1989, the Trust is reporting interest income at the time of collection. This change results in a decrease of $487,900 of interest income for 1989, or a decrease of $0.012517 per Unit. |
| # | Taxable Amount [Column IC] is equal to the Amount per Unit [Column IA] multiplied by |
| o | Taxable Amount [Column C] is equal to the Amount per Unit [Column A] multiplied by | ! | Taxable Amount [Column XIV] is equal to the sum of the Taxable Amounts in Columns IIC through XIIIC on the first day for each month that you held Trust Units. |
| City Investing Company Liquidating Trust | |
| 59 Maiden Lane | |
| New York, NY 10038 | |
| 212-530-6800 | |
|
This letter is to advise you of the tax return information to be provided to you annually as a holder of units ("Units") in the City Investing Company Liquidating Trust ("Trust"). The Trust, being a "grantor" trust, will be disregarded for Federal income tax purposes and you will be treated as having a direct interest in an allocable portion of each asset and liability of the Trust. Consequently, an allocable portion of all items of Trust income, deductions and credits ("Tax Items") must be reported by you on your income tax return. Your taxable year and accounting method will determine the income tax treatment of your allocable portion of Tax Items. As soon as practicable after the end of each year, but no later than April 15 of the following year, you will be provided with a schedule listing your allocable share of Tax Items for the year, which will be determined by the number of Units you own in relation to the total number of outstanding Units. This will enable you to file your federal, state and local income tax returns. The types of Tax Items which will be required to be reported by you on your income tax return may include, but are not limited to: interest income, original issue discount income, short-term and long-term capital gains and losses, dividend income, market discount income, depreciation, state, local and foreign taxes and deductible expenses incurred by the Trust. For purposes of determining gain or loss from the sale or other disposition of your undivided interest in assets held by the Trust, your holding period and adjusted basis for your undivided interest in each of the assets held by the Trust will be determined by your date of acquisition and the price you paid for your Units. If you received your Units upon the liquidation of City Investing Company, you will be treated as acquiring your undivided interest in the net assets of the Trust at a price of $3.1875 per Unit and your holding period for your undivided interest in the assets held by the Trust will have begun on September 26, 1985. If you sell your Units, you will be deemed to sell an undivided interest in each asset of the Trust for an allocable portion of the sales price for the Units. For example, if you sell your Units, you may be required to recognize ordinary income with respect to your interest in market discount obligations held by the Trust. For administrative convenience, gains and losses from the sale or other disposition by the Trust of assets held by the Trust, including the collection of installment notes receivable, will be reported to you by the Trust as if all Unit holders obtained their Units, and, consequently, their undivided interests in the assets held by the Trust, upon the liquidation of City Investing Company. Subsequent Unit holders may have different income tax consequences, but these tax consequences cannot readily be calculated. For example, with respect to the collection of installment notes receivable, the Trust will report to you the portion of amounts received which are reportable as market discount, which will be taxed as ordinary income, on the basis of an acquisition date of September 25, 1985 and a price per Unit of $3.1875. For this purpose, it will be assumed that the installment notes receivable will not be eligible for installment sales reporting tax treatment. For administrative convenience, certain special rules will apply to the determination of the effective date of transfers of Units. A transfer will not be considered effective until the first day of the month following the month in which the transfer occurs (or, if earlier, the first day following the date on which the Trust disposes of any asset the basis of which exceeds 5% of the bases of all the assets held by the Trust on September 25, 1985). Record holders of Units on the first day of a month or the day after which such a disposition of assets takes place will be entitled to receive all distributions made on or after such date and before any subsequent effective date of transfer and will be treated for tax purposes as the owner of the underlying assets of the Trust for such period. In accordance with these rules, the Trust will determine for periods ending at the end of each month (and for periods ending on the day the Trust disposes of any asset the basis of which exceeds 5% of the bases of all assets held by the Trust on September 25, 1985) the Tax Items to be included on the schedule to be provided to you annually. For administrative convenience, Tax Items will be determined using the cash method of tax accounting. This letter is not intended to provide income tax advice relating to the holding of Units. As such, you are strongly encouraged to discuss the income tax consequences of an investment in Units with your tax advisor. November 26, 1985
|