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AgdaPkt 2005-01-24
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AgdaPkt 2005-01-24
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6/24/2011 10:49:35 AM
Creation date
1/20/2005 4:05:08 PM
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CC Index
CC Index - Document Type
Agenda Packet
Date
1/24/2005
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<br />Annual Report or the notices of material events is set forth below in "APPENDIX D - FORM OF <br />CONTINUING DISCLOSURE CERTIFICATE." These covenants have been made in order to assist <br />the Underwriter in complying with SEC Rule 15c2-12(b )(5). <br /> <br />The City has never failed to comply in all material respects with any previous <br />undertakings with regard to said Rule to provide annual reports or notices of material events. <br /> <br />Tax Matters <br /> <br />In the opinion of Nossaman, Guthner, Knox & Elliott, LLP, Bond Counsel ("Bond Counsel"), <br />under existing statutes, regulations, rulings and judicial decisions, and assuming certain <br />representations and compliance with certain covenants and requirements described herein, the <br />interest on the Bonds is excluded from gross income for federal income tax purposes, and is not <br />an item of tax preference for purposes of calculating the federal alternative minimum tax imposed <br />on individuals and corporations. In the further opinion of Bond Counsel, the interest on the Bonds <br />is exempt from State of California personal income tax. Bond Counsel notes that, with respect to <br />corporations, the interest on the Bonds may be included as an adjustment in the calculation of <br />alternative minimum taxable income which may affect the alternative minimum tax liability of such <br />corporations. A complete copy of the proposed opinion of Bond Counsel is set forth in <br />"APPENDIX D -Form of Opinion of Bond CounseL" <br /> <br />Bond Counsel's opinion as to the exclusion from gross income of the interest on the <br />Bonds is based upon certain representations of fact and certifications made by the City and <br />others and is subject to the condition that the City complies with all requirements of the Internal <br />Revenue Code of 1986, as amended (the "Code"), that must be satisfied subsequent to the <br />execution and delivery of the Bonds to assure that the interest on the Bonds will not become <br />includable in gross income for federal income tax purposes. Failure to comply with such <br />requirements of the Code might cause the interest on the Bonds to be included in gross income <br />for federal income tax purposes retroactive to the date of execution and delivery of the Bonds. <br />The City has covenanted to comply with all such requirements. <br /> <br />Although Bond Counsel has rendered an opinion that the interest on the Bonds is <br />excluded from gross income for federal income tax purposes provided that the City continues to <br />comply with certain requirements of the Code, the ownership of the Bonds and the accrual or <br />receipt of interest with respect to the Bonds may otherwise affect the tax liability of certain <br />persons. Bond Counsel expresses no opinion regarding any such tax consequences. <br />Accordingly, before purchasing any of the Bonds, all potential purchasers should consult their <br />tax advisors with respect to collateral tax consequences relating to the Bonds. <br /> <br />Bond Counsel's opinions may be affected by actions taken (or not taken) or events <br />occurring (or not occurring) after the date hereof. Bond Counsel has not undertaken to <br />determine, or to inform any person, whether any such actions or events are taken or do occur. <br />The Indenture and the Tax Certificate relating to the Bonds permit certain actions to be taken or to <br />be omitted if a favorable opinion of Bond Counsel is provided with respect thereto. Bond <br />Counsel expresses no opinion as to the exclusion from gross income of the interest on the <br />Bonds for federal income tax purposes if any such action is taken or omitted based upon the <br />advice of counsel other than Nossaman, Guthner, Knox & Elliott, LLP. <br /> <br />41 <br />
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