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Res12 15237
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Res12 15237
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Last modified
10/11/2019 7:48:25 AM
Creation date
10/11/2019 7:48:09 AM
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Template:
CC Index
CC Index - Document Type
Resolution
Meeting Type
Joint
Agency Type
City Council and Successor Agency
Date
12/3/2012
Description
RESOLUTION AUTHORIZING THE ISSUANCE OF SPECIAL TAX BONDS FOR AND ON BEHALF OF COMMUNITY FACILITIES DISTRICT NO. 99-1 (SHORES TRANSPORTATION IMPROVEMENT PROJECT) OF THE CITY OF REDWOOD CITY, APPROVING THE FORM OF AND DIRECTING THE EXECUTION OF A FISCAL AGENT AGREEMENT, ESCROW INSTRUCTIONS, A CONTINUING DISCLOSURE AGREEMENT AND A BOND PURCHASE AGREEMENT, APPROVING THE FORM OF AN OFFICIAL STATEMENT, APPROVING SALE OF BONDS, AND APPROVING OTHER RELATED DOCUMENTS AND ACTIONS
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12/03/2012 <br />Code. The new reporting requirement does not in and of itself affect or alter the excludability <br />of interest on the Bonds from gross income for federal income tax purposes or any other <br />federal tax consequence of purchasing, holding or selling tax --exempt obligations. <br />Tax Treatment of Original Issue Discount. if the initial offering price to the public <br />(excluding bond houses and brokers) at which a Bond is sold is less than the amount payable <br />at maturity thereof, then such difference constitutes "original issue discount" for purposes of <br />federal income taxes and State of California personal income taxes. If the initial offering price <br />to the public (excluding bond houses and brokers) at which a Bond is sold is greater than the <br />amount payable at maturity thereof, then the excess of the tax basis of a purchaser of such <br />Bond (other than a purchaser who holds such Bond as inventory, stock in trade or for sale to <br />customers in the ordinary course of business) over the principal amount of such Bond <br />constitutes "original issue premium" for purposes of federal income taxes and State of <br />California personal income taxes. <br />Under the Code, original issue discount is excludable from gross income for federal <br />income tax purposes to the same extent as interest on the Bonds. Further, such original issue <br />discount accrues actuarially on a constant interest rate basis over the term of each such Bond <br />and the basis of such Bond acquired at such initial offering price by an initial purchaser of each <br />such Bond will be increased by the amount of such accrued discount. The Code contains <br />certain provisions relating to the accrual of original issue discount in the case of purchasers of <br />the Bonds who purchase such Bonds after the initial offering of a substantial amount thereof. <br />Owners who do not purchase such Bonds in the initial offering at the initial offering prices <br />should consult their own tax advisors with respect to the tax consequences of ownership of <br />such Bonds. All holders of such Bonds should consult their own tax advisors with respect to <br />the allowance of a deduction for any loss on a sale or other disposition to the extent that <br />calculation of such loss is based on accrued original issue discount. <br />Under the Code, original issue premium is amortized for federal income tax purposes <br />over the term of such a Bond based. on the purchaser's yield to maturity in such Bonds, except <br />that in the case of such a Bond callable prior to its stated maturity, the amortization period <br />and the yield may be required to be determined on the basis of an earlier call date that results <br />in the lowest yield on such Bond. A purchaser of such a Bond is required to decrease his or her <br />adjusted basis in such Bond by the amount of bond premium attributable to each taxable year <br />in which such purchaser holds such Bond. The amount of bond premium attributable to a <br />taxable year is not deductible for federal income tax purposes. Purchasers of such Bonds <br />should consult their tax advisors with respect to the precise determination for federal income <br />tax purposes of the amount of bond premium attributable to each taxable year and the effect <br />of bond premium on the sale or other disposition of such a Bond, and with respect to the state <br />and local tax consequences of owning and disposing of such a Bond. <br />Changes in Federal and State Tax Law. From time to time, there are legislative <br />proposals in the Congress and in the various state legislatures that, if enacted, could alter or <br />amend federal and state tax matters referred to above or adversely affect the market value of <br />the Bonds. It cannot be predicted whether or in what form any such proposal might be <br />enacted or whether if enacted it would apply to bonds issued prior to enactment. In addition, <br />regulatory actions are from time to time announced or proposed and litigation is threatened or <br />commenced which, if implemented or concluded in. a particular manner, could adversely affect <br />the market value of the Bonds. It cannot be predicted whether any such regulatory action will <br />be implemented, how any particular litigation or Judicial action will be resolved, or whether the <br />Bonds or the market value thereof would be impacted thereby. Purchasers of the Bonds <br />should consult their tax advisors regarding any pending or proposed legislation, regulatory <br />initiatives or litigation. The opinions expressed by Bond Counsel are based upon existing <br />-42- <br />50 RESO. # 15237 <br />MUFF # 505 <br />
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