My WebLink
|
Help
|
About
|
Sign Out
Browse
Search
Agda Pkt 2024.08.26 Regular Meeting
RedwoodCity
>
City Clerk
>
Agenda Packets
>
2020-2029
>
2024
>
Agda Pkt 2024.08.26 Regular Meeting
Metadata
Thumbnails
Annotations
Entry Properties
Last modified
8/27/2024 10:48:21 AM
Creation date
8/27/2024 10:41:05 AM
Metadata
Fields
Template:
CC Index
CC Index - Document Type
Agenda Packet
Meeting Type
Regular
Agency Type
City Council
Date
8/26/2024
Jump to thumbnail
< previous set
next set >
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
1018
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
Show annotations
View images
View plain text
60 <br />future legislation (including without limitation amendments to the Internal Revenue Code), or <br />changes in interpretation of the Internal Revenue Code, or any action of the Internal Revenue <br />Service, including but not limited to the publication of proposed or final regulations, the issuance <br />of rulings, the selection of the Bonds for audit examination, or the course or result of any Internal <br />Revenue Service audit or examination of the Bonds or obligations that present similar tax issues <br />as the Bonds. <br />TAX MATTERS <br />Federal Tax Status. In the opinion of Jones Hall, A Professional Law Corporation, San <br />Francisco, California, Bond Counsel, subject, however to the qualifications set forth below, under <br />existing law, the interest on the Bonds is excluded from gross income for federal income tax <br />purposes and such interest is not an item of tax preference for purposes of the federal alternative <br />minimum tax. Interest on the Bonds may be subject to the corporate alternative minimum tax. <br />The opinions set forth in the preceding paragraph are subject to the condition that the <br />Authority and City comply with all requirements of the Internal Revenue Code of 1986, as <br />amended (the "Tax Code") that must be satisfied subsequent to the issuance of the Bonds in <br />order that the interest thereon be, and continue to be, excludable from gross income for federal <br />income tax purposes. The Authority and City have made certain representations and covenants <br />in order to comply with each such requirement. Inaccuracy of those representations, or failure to <br />comply with certain of those covenants, may cause the inclusion of such interest in gross income <br />for federal income tax purposes, which may be retroactive to the date of issuance of the Bonds. <br />Tax Treatment of Original Issue Discount and Premium. If the initial offering price to <br />the public at which a Bond is sold is less than the amount payable at maturity thereof, then such <br />difference constitutes "original issue discount" for purposes of federal income taxes and State of <br />California personal income taxes. If the initial offering price to the public at which a Bond is sold <br />is greater than the amount payable at maturity thereof, then such difference constitutes "bond <br />premium" for purposes of federal income taxes and State of California personal income taxes. <br />Under the Tax Code, original issue discount is treated as interest excluded from federal <br />gross income and exempt from State of California personal income taxes to the extent properly <br />allocable to each owner thereof subject to the limitations described in the first paragraph of this <br />section. The original issue discount accrues over the term to maturity of the Bond on the basis of <br />a constant interest rate compounded on each interest or principal payment date (with straight-line <br />interpolations between compounding dates). The amount of original issue discount accruing <br />during each period is added to the adjusted basis of such Bonds to determine taxable gain upon <br />disposition (including sale, redemption, or payment on maturity) of such Bond. The Tax Code <br />contains certain provisions relating to the accrual of original issue discount in the case of <br />purchasers of the Bonds who purchase the Bonds after the initial offering of a substantial amount <br />of such maturity. Owners of such Bonds should consult their own tax advisors with respect to the <br />tax consequences of ownership of Bonds with original issue discount, including the treatment of <br />purchasers who do not purchase in the original offering to the public at the first price at which a <br />substantial amount of such Bonds is sold to the public. <br />Under the Tax Code, bond premium is amortized on an annual basis over the term of the <br />Bond (said term being the shorter of the Bond's maturity date or its call date). The amount of <br />bond premium amortized each year reduces the adjusted basis of the owner of the Bond for <br />purposes of determining taxable gain or loss upon disposition. The amount of bond premium on <br />8.A. - Page 74 of 255 <br />702
The URL can be used to link to this page
Your browser does not support the video tag.