Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes (including section 1445), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferor, the undersigned hereby certifies the following on behalf of the transferor:
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Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes To inform , a(n) (including section 1445“Transferee”), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferorWINDSOR ON THE RIVER, LLC, a Delaware limited liability company (“Transferor”), the undersigned hereby certifies to Transferee the following on behalf of the transferorTransferor:
Appears in 1 contract
Samples: Purchase and Sale Agreement (Steadfast Income REIT, Inc.)
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes To inform «Buyer», a «Buyer_Vesting» (including section 1445“Buyer”), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferor«Seller», a «Seller_Vesting» (“Seller”), the undersigned hereby swears, affirms and certifies the following on behalf of the transferorSeller:
Appears in 1 contract
Samples: Real Property Purchase Agreement (Terremark Worldwide Inc)
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code of 1986, as amended (the “IRS Code”), provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person“Foreign Person” as defined by the IRS Code. For U.S. tax purposes (including section 1445)purposes, the owner of a disregarded entity (Disregarded Entity, which has legal title to a U.S. real property interest under local law) , will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferorAs used herein, the undersigned hereby certifies the following on behalf of the transferor:“
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Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes To inform , a(n) (including section 1445“Transferee”), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferor, a(n) (“Transferor”), the undersigned hereby certifies to Transferee the following on behalf of the transferorTransferor:
Appears in 1 contract
Samples: Purchase and Sale Agreement (Steadfast Income REIT, Inc.)
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes (including section 1445), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferorXXXXXX EQUIPMENT COMPANY, a Delaware corporation (“Seller”), the undersigned hereby certifies the following on behalf of the transferorSeller:
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Samples: Industrial Real Property Lease (Thermadyne Australia Pty Ltd.)
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes To inform _________________________ (including section 1445“Transferee”), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferor[Xxxx X. Xxxxxxxxxxxxx] [Xxxxx Xxxxxxx] (“Transferor”), the undersigned hereby certifies to Transferee the following on behalf of the transferorfollowing:
Appears in 1 contract
Samples: Purchase and Sale Agreement (Steadfast Income REIT, Inc.)
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code of 1986, as amended, provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes (including section 1445), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by _____________________________ (the transferor“Seller), the undersigned hereby certifies the following on behalf of the transferorSeller:
Appears in 1 contract
Samples: Purchase and Sale Agreement (Inland Real Estate Income Trust, Inc.)
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes To inform _________________________ (including section 1445“Transferee”), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferor____________________________ (“Transferor”), the undersigned hereby certifies to Transferee the following on behalf of the transferorTransferor:
Appears in 1 contract
Samples: Purchase and Sale Agreement (Steadfast Income REIT, Inc.)
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes (including section 1445), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferorRichmond Plaza Investors, L.P. (“Seller”), the undersigned hereby certifies the following on behalf of the transferorSeller:
Appears in 1 contract
Samples: Agreement for Sale and Purchase of Property (Phillips Edison - ARC Shopping Center REIT Inc.)
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes To inform _________________________ (including section 1445“Transferee”), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferorXxxx X. Xxxxxxxxxxxxx (“Transferor”), the undersigned hereby certifies to Transferee the following on behalf of the transferorfollowing:
Appears in 1 contract
Samples: Purchase and Sale Agreement (Steadfast Income REIT, Inc.)
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. United States real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes (including section 1445), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. United States real property interest by the transferorSunrise West Orange NJ Senior Living, LLC, a Delaware limited liability company ("Transferor"), the undersigned hereby certifies the following on behalf of the transferor:Transferor.
Appears in 1 contract
Samples: Purchase and Sale Agreement
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes To inform _________________________ (including section 1445“Transferee”), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the disposition of a U.S. real property interest by the transferorRML Construction, LLP, a Kentucky limited liability partnership (“Transferor”), the undersigned hereby certifies to Transferee the following on behalf of the transferorTransferor:
Appears in 1 contract
Samples: Purchase and Sale Agreement (Steadfast Income REIT, Inc.)
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes (including section 1445), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the my disposition of a U.S. real property interest by interest, I hereby certify the transferor, the undersigned hereby certifies the following on behalf of the transferorfollowing:
Appears in 1 contract
Certificate of Non-Foreign Status. Section 1445 of the Internal Revenue Code of 1986, as amended (the “Code”), provides that a transferee of a U.S. real property interest must withhold tax if the transferor is a foreign person. For U.S. tax purposes To inform [____________], a [___________] (including section 1445“Transferee”), the owner of a disregarded entity (which has legal title to a U.S. real property interest under local law) will be the transferor of the property and not the disregarded entity. To inform the transferee that withholding of tax is not required upon the my disposition of a U.S. real property interest by interest, I, [_______________________], hereby certify the transferor, the undersigned hereby certifies the following on behalf of the transferorfollowing:
Appears in 1 contract
Samples: Contribution and Sale Agreement (Bluerock Residential Growth REIT, Inc.)