Virgin Group Acquisition Corp. II
PFIC Annual Statement
Entity Name: Virgin Group Acquisition Corp. II
Virgin Group Acquisition Corp. II (the "Company") may be considered a "passive foreign investment company" ("PFIC") for U.S. federal income tax purposes. The following information is provided to allow a shareholder of the Company (a "Shareholder") to make an election under Section 1295 of the Internal Revenue Code to treat the Company as a Qualified Electing Fund ("QEF Election") for U.S. federal income tax purposes. The QEF Election is optional and can only be made by the Shareholder. The Company is unable to make this election on behalf of the Shareholder. Please note that a QEF election may not be recognized for state income tax purposes in some states. The PFIC rules are complex. Please consult with your personal tax advisor to determine whether or not it is advisable for you to make a QEF Election with respect to your investment in the Company.
- This PFIC Annual Information statement applies to the tax period of the Company:
Beginning 1/13/2021 | End | 12/31/2021 |
- The Shareholder's per-unit,per-day information for the Company's taxable period specified in paragraph (1) is provided in the below chart. We recommend that all U.S. taxpayers consult a tax advisor concerning the overall tax consequences of their ownership in the Company and their U.S. tax reporting requirements.
Fund Name (and name of any underlying funds if applicable) | Ticker | Ordinary Earnings (US$) | Net Capital Gains (US$) |
Virgin Group Acquisition Corp. II | VGII | 0.00000267989 | NONE |
- The amount of cash and fair market value of other property distributed or deemed distributed by the Company to the Shareholder during the Company's taxable period specified in paragraph (1) is as follows:
Cash: | NONE |
Fair Market Value of Property: | NONE |
- The Company will permit the Shareholder to inspect and copy the Company's permanent books of account, records, and such other documents as may be maintained by the Company that are necessary to establish that PFIC ordinary earnings and net capital gain, as provided in Section 1293(e) of the Internal Revenue Code, are computed in accordance with U.S. income tax principles, and to verify these amounts and the Shareholder's pro rata share thereof.
Virgin Group Acquisition Corp. II
Date: March 11, 2022 | By: _________________________________________ |
Title: Chief Operating Officer
Additional Information
The following additional information is supplied to enable the Shareholder to complete IRS Form 8621:
(Please note: a Shareholder may have additional filing disclosures including, but not limited to, Forms 926, 5471, and/or 8938 as a result of the Shareholder's investment in the Company. Please consult your tax advisor.)
Address of the PFIC: | 65 Bleecker Street, 6th Floor |
New York, NY 10012 | |
Taxpayer Identification Number: | N/A |
Country of Incorporation: | Cayman Islands |
Date of Incorporation: | 1/13/2021 |
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Virgin Group Acquisition Corp II published this content on 11 March 2022 and is solely responsible for the information contained therein. Distributed by Public, unedited and unaltered, on 11 March 2022 20:49:07 UTC.