Common use of Certification of Non-Foreign Status Clause in Contracts

Certification of Non-Foreign Status. Each Member or transferee of an Interest from a Member shall certify, upon admission to the Company and at such other times thereafter as the Tax Matters Partner may request, whether such Member is a "United States Person" within the meaning of section 7701(a)(30) of the Code on forms to be provided by the Company, and shall notify the Company within 30 days of any change in such Member's status. Any Member who shall fail to provide such certification when requested to do so by the Tax Matters Partner may be treated as a non-United States Person for purposes of U.S. federal tax withholding.

Appears in 5 contracts

Samples: Limited Liability Company Agreement (BlackRock Core Alternatives Portfolio LLC), Limited Liability Company Agreement (BlackRock Core Alternatives Portfolio LLC), Limited Liability Company Agreement (BlackRock Core Alternatives FB Portfolio LLC)

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Certification of Non-Foreign Status. Each Member or transferee of an Interest a Unit from a Member shall certify, upon admission to the Company and at such other times thereafter as the Tax Matters Partner may request, whether such Member is a "United States Person" within the meaning of section 7701(a)(30) of the Code on forms to be provided by the Company, and shall notify the Company within 30 days of any change in such Member's status. Any Member who shall fail to provide such certification when requested to do so by the Tax Matters Partner may be treated as a non-United States Person for purposes of U.S. federal tax withholding.

Appears in 5 contracts

Samples: Limited Liability Company Agreement (BlackRock Alternatives Allocation Master Portfolio LLC), Limited Liability Company Agreement (BlackRock Alternatives Allocation FB Portfolio LLC), Limited Liability Company Agreement (BlackRock Alternatives Allocation Portfolio LLC)

Certification of Non-Foreign Status. Each Member or transferee of an Interest from a Member shall certify, upon admission to the Company and at such other times thereafter as the Tax Matters Partner Board of Directors may request, whether such Member is a "United States Person" within the meaning of section Section 7701(a)(30) of the Code on forms to be provided by the Company, and shall notify the Company within 30 days of any change in such Member's status. Any Member who shall fail to provide such certification when requested to do so by the Tax Matters Partner Board of Directors may be treated as a non-United States Person for purposes of U.S. federal tax withholding.

Appears in 3 contracts

Samples: Limited Liability Company Agreement (Grosvenor Registered Multi-Strategy Fund (Te), LLC), Limited Liability Company Agreement (Grosvenor Registered Multi-Strategy Fund (Ti 2), LLC), Limited Liability Company Agreement (Phoenix LJH Advisors Fund LLC)

Certification of Non-Foreign Status. Each Member or transferee of an Interest Units from a Member shall certify, upon admission to the Company and at such other times thereafter as the Tax Matters Partner may request, whether such Member is a "United States Person" within the meaning of section 7701(a)(30) of the Code on forms to be provided by the Company, and shall notify the Company within 30 days of any change in such Member's ’s status. Any Member who shall fail to provide such certification when requested to do so by the Tax Matters Partner may be treated as a non-United States Person for purposes of U.S. federal tax withholding.

Appears in 2 contracts

Samples: Limited Liability Company Agreement (Zea Capital Fund LLC), Limited Liability Company Agreement (Zea Capital Fund LLC)

Certification of Non-Foreign Status. Each Member or transferee of an Interest Units from a Member shall certify, upon admission to the Company and at such other times thereafter as the Tax Matters Partner Board of Directors may request, whether such Member is a "United States Person" within the meaning of section Section 7701(a)(30) of the Code on forms to be provided by the Company, and shall notify the Company within 30 days of any change in such Member's status. Any Member who shall fail to provide such certification when requested to do so by the Tax Matters Partner Board of Directors may be treated as a non-United States Person for purposes of U.S. federal tax withholding.

Appears in 2 contracts

Samples: Operating Agreement (Acp Continuum Return Fund Ii LLC), Operating Agreement (Acp Strategic Opportunities Fund Ii LLC)

Certification of Non-Foreign Status. Each Member or transferee of an Interest from a Member shall certify, upon admission to the Company and at such other times thereafter as the Tax Matters Partner Board of Managers may request, whether such Member he is a "United States Person" within the meaning of section Section 7701(a)(30) of the Code on forms to be provided by the Company, and shall notify the Company within 30 days of any change in such Member's status. Any Member who shall fail to provide such certification when requested to do so by the Tax Matters Partner Board of Managers may be treated as a non-United States Person for purposes of U.S. federal tax withholding.

Appears in 2 contracts

Samples: Limited Liability Company Agreement (Whistler Fund LLC), Limited Liability Company Agreement (Xanthus Fund LLC)

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Certification of Non-Foreign Status. Each Member or transferee of an Interest Units from a Member shall certify, upon admission to the Company and at such other times thereafter as the Tax Matters Partner may request, whether such Member is a "United States Person" within the meaning of section 7701(a)(30) of the Code on forms to be provided by the Company, and shall notify the Company within 30 days of any change in such Member's status. Any Member who shall fail to provide such certification when requested to do so by the Tax Matters Partner may be treated as a non-United States Person for purposes of U.S. federal tax withholding.

Appears in 1 contract

Samples: Limited Liability Company Agreement (BlackRock Core Alternatives Portfolio LLC)

Certification of Non-Foreign Status. Each Member or transferee of an Interest Units from a Member shall certify, upon admission to the Company and at such other times thereafter as the Tax Matters Partner Board of Directors may request, whether such Member is a "United States Person" within the meaning of section 7701(a)(30) of the Code on forms to be provided by the Company, and shall notify the Company within 30 days of any change in such Member's status. Any Member who shall fail to provide such certification when requested to do so by the Tax Matters Partner Board of Directors may be treated as a non-United States Person for purposes of U.S. federal tax withholding.

Appears in 1 contract

Samples: Limited Liability Company Agreement (Multi-Strategy Hedge Opportunities LLC)

Certification of Non-Foreign Status. Each Member or transferee of an Interest Units from a Member shall certify, upon admission to the Company and at such other times thereafter as the Tax Matters Partner Board of Directors may request, whether such Member is a "United States Person" within the meaning of section 7701(a)(30) of the Code on forms to be provided by the Company, and shall notify the Company within 30 days of any change in such Member's ’s status. Any Member who shall fail to provide such certification when requested to do so by the Tax Matters Partner Board of Directors may be treated as a non-United States Person for purposes of U.S. federal tax withholding.

Appears in 1 contract

Samples: Limited Liability Company Agreement (Citigroup Alternative Investments Multi Adv Hedge Fu Por LLC)

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