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Exhibit B <br />Regulatory Disclosures Required of Municipal Advisors Pursuant to Municipal <br />Securities Rulemaking Board ("MSRB") Rules <br />a. any actual or potential conflicts of interest of which it is aware after <br />reasonable inquiry that might impair its ability either to render unbiased and <br />competent advice to or on behalf of the client or to fulfill its fiduciary duty to <br />the client, as applicable. If a municipal advisor concludes that it has no <br />material conflicts of interest, the municipal advisor must provide written <br />documentation to the client to that effect; <br />William Euphrat Municipal Finance, Inc. is not aware of any such <br />conflict of interest. <br />b. any affiliate of the municipal advisor that provides any advice, service, or <br />product to or on behalf of the client that is directly or indirectly related to the <br />municipal advisory activities to be performed by the disclosing municipal <br />advisor; <br />William Euphrat Municipal Finance, Inc. does not have any affiliates. <br />c. any payments made by the municipal advisor directly or indirectly to obtain or <br />retain the client's municipal advisory business; <br />William Euphrat Municipal Finance, Inc. has not made any payments <br />to retain the City of Redwood City's business. <br />d. any payments received by the municipal advisor from third parties to enlist <br />the municipal advisor's recommendation to the client of its services, any <br />municipal securities transaction or any municipal financial product; <br />The only payments to be received by William Euphrat Municipal <br />Finance, Inc. relating to this engagement are the fees to be paid by <br />the City of Redwood City. <br />e. any fee -splitting arrangements involving the municipal advisor and any <br />provider of investments or services to the client; <br />William Euphrat Municipal Finance, Inc. will not participate in fees <br />earned by other panties on any work related to this engagement. <br />f. any conflicts of interest that may arise from the use of the form of <br />compensation under consideration or selected by the client for the municipal <br />advisory activities to be performed; <br />William Euphrat Municipal Finance, Inc. has proposed hourly <br />compensation. This form of compensation provides the firm with a <br />financial incentive to bill hours that may be in excess of those that <br />are necessary. <br />g. any other engagements or relationships of the municipal advisor or any <br />affiliate of the municipal advisor that might impair the advisor's ability either to <br />render unbiased and competent advice to or on behalf of the client or to fulfill <br />its fiduciary duty to the client, as applicable; <br />William Euphrat Municipal Finance, Inc. is not engaged as a <br />municipal advisor to any member of SVCW other than the City of <br />Redwood City and has no other engagements or relationships that <br />might impair its ability either to render unbiased and competent <br />advice to or on behalf of the City of Redwood City or to fulfill its <br />fiduciary duty to the City of Redwood City. <br />h. the amount and scope of coverage of professional liability insurance that the <br />municipal advisor carries (e.g., coverage for errors and omissions, improper <br />judgments, or negligence), deductible amounts, and any material limitations <br />Page 12 of 15 <br />REV: 11-20-17 VR <br />ATTY/AGR.2017.234/W.Euphrat SVC 2018 Bonds <br />