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have been performed in regular and due time, form and manner as required by law, and the <br /> parties hereto are now duly authorized to execute and enter into this Indenture; <br /> NOW, THEREFORE, IN CONSIDERATION OF THE PROMISES AND OF THE <br /> MUTUAL AGREEMENTS AND COVENANTS CONTAINED HEREIr1 AND FOR OTHER <br /> VALUABLE C�NSIDERATION, THE PARTIES HERETO DO HEREBY AGREE AS <br /> FOLLOWS: <br /> ARTICLE I <br /> DEFINITIONS; EQUAL SECURITY <br /> Section 1.01. Definitions. Unless the context otherwise requires, the terxns defined in <br /> thia Section 1.01 shall for all purposes hereof and of any amendment hereof or supplement hereto <br /> and of the Bonds and of any certificate, opinion, request or other document mentioned herein or <br /> therein have the meanings defined herein, the following definitions to be equally applicable to <br /> both the singular and plural forms of any of the terms defined herein (provided, that all <br /> capitalized terms used in this Indenture and not otherwise defined herein shall have the meaning <br /> given in the Installment Purchase Contract): <br /> "Additional Bonds" means all bonds ranking on a parity with the Series 2013 Bonds <br /> originally issued hereunder, issued in accordance with Section 2.12. . <br /> "Authority" means the City of Redwood City Public Financing Authority, a joint powers <br /> authority, operating and acting pursuant to the laws of the-State of California duly organized and <br /> existing under and by virtue of the Constitution and laws of the State of California, and its <br /> successors and assigns. <br /> "Authorized Officer" means the Chairman,Vice-Chairman, Executive Director, Assistant <br /> Executive Director,Finance Director,Treasurer or other duly authorized officer of the Authority. <br /> "Bond Counsel" means any attorney or firm of attorneys acceptable to the Authority and <br /> nationally recognized for expertise in rendering opinions as to the legality and tax-exempt status <br /> of securities issued by public entities; provided, that whenever an opinion is delivered by Bond <br /> Counsel as provided herein, if such Bond Counsel is not Nossaman LLP, such opinion shall <br /> include an opinion that the matters addressed in such opinion do not adversely affect the <br /> exclusion of interest on the Bonds ftom gross income for federal income tax purposes. <br /> "Bond Year" means the period from the Closing Date through February 1, 2014, and <br /> thereafter the twelve-month period commencing on February 2 of each year through and <br /> including February 1 of the following year. <br /> "Bonds" means the Outstanding 5eries 2013 Bonds and any Outstanding Additional <br /> Bonds. <br /> -2- <br /> 338471 l.DOC � <br />