COMPANY RESIDENCE AND OVERSEAS INTERESTS. 8.1 The Company and the Subsidiaries have, throughout the past seven years, been resident in the UK for corporation tax purposes and have not, at any time in the past seven years, been treated as resident in any other jurisdiction for the purposes of any double taxation arrangements having effect under section 18 of the Corporation Tax Xxx 0000, section 2 of the Taxation (International and Other Provisions) Xxx 0000 from 1 April 2010 or for any other tax purpose.
Appears in 2 contracts
Samples: Share Purchase Agreement, Share Purchase Agreement (Quanex Building Products CORP)
COMPANY RESIDENCE AND OVERSEAS INTERESTS. 8.1 10.1 The Company and the Subsidiaries have, throughout have within the past seven years, years been resident in the UK United Kingdom for corporation tax purposes and have not, not at any time in the past seven years, years been treated as resident in any other jurisdiction for the purposes of any double taxation arrangements having effect under by virtue of section 18 249 of the Corporation Tax Finance Xxx 0000, section 2 788 of the Taxation (International and Other Provisions) Xxx 0000 from 1 April 2010 ICTA 1988 or for any other tax purposepurpose as resident in any other jurisdiction.
Appears in 1 contract
Samples: Sale and Purchase Agreement (Symmetry Medical Inc.)
COMPANY RESIDENCE AND OVERSEAS INTERESTS. 8.1 15.1 The Company and the Subsidiaries have, throughout has within the past seven years, years been resident in the UK United Kingdom for corporation tax purposes and have not, not at any time in the past seven years, years been treated as resident in any other jurisdiction for the purposes of any double taxation arrangements having effect under by virtue of section 18 249 of the Corporation Tax Xxx Finance Axx 0000, section 2 788 of the Taxation (International and Other Provisions) Xxx 0000 from 1 April 2010 ICTA 1988 or for any other tax purpose.purpose as resident in any other jurisdiction
Appears in 1 contract
Samples: Share Purchase Agreement (TRM Corp)
COMPANY RESIDENCE AND OVERSEAS INTERESTS. 8.1 38.1 The Company and the Subsidiaries have, throughout its Subsidiary have within the past seven years, years been resident in the UK United Kingdom for corporation tax purposes and have not, not at any time in the past seven years, years been treated as resident in any other jurisdiction for the purposes of any double taxation arrangements having effect under by virtue of section 18 249 of the Corporation Tax Finance Xxx 0000, section 2 788 of the Taxation (International and Other Provisions) Xxx 0000 from 1 April 2010 ICTA 1988 or for any other tax purposepurpose as resident in any other jurisdiction.
Appears in 1 contract
Samples: Agreement (Emrise CORP)
COMPANY RESIDENCE AND OVERSEAS INTERESTS. 8.1 7.1 The Company and the its Subsidiaries have, throughout the past seven years, been resident in the UK for corporation tax purposes and have not, at any time in the past seven years, been treated as resident in any other jurisdiction for the purposes of any double taxation arrangements having effect under section 18 of the Corporation Tax Xxx 0000, 0000 (formerly section 249 of the Finance Act 1994) and section 788 of ICTA 1988 (section 2 of the Taxation (International and Other Provisions) Xxx 0000 from 1 April 2010 Act 2010) or for any other tax purpose.
Appears in 1 contract
COMPANY RESIDENCE AND OVERSEAS INTERESTS. 8.1 6.1 The Company and the Subsidiaries have, throughout has within the past seven years, years been resident in the UK United Kingdom for corporation tax purposes and have not, has not at any time in the past seven years, years been treated as resident in any other jurisdiction for the purposes of any double taxation arrangements having effect under section 18 of the Corporation Tax Xxx 0000, section 2 of the Taxation (International and Other Provisions) Xxx 0000 from 1 April 2010 or for any other tax purpose.taxation
Appears in 1 contract
Samples: Sale and Purchase Agreement (Capital Markets Technologies, Inc.)
COMPANY RESIDENCE AND OVERSEAS INTERESTS. 8.1 39.1 The Company and the Subsidiaries have, throughout have within the past seven years, years been resident in the UK United Kingdom for corporation tax purposes and have not, not at any time in the past seven years, years been treated as resident in any other jurisdiction for the purposes of any double taxation arrangements having effect under by virtue of section 18 249 of the Corporation Tax Xxx Finance Axx 0000, section 2 788 of the Taxation (International and Other Provisions) Xxx 0000 from 1 April 2010 ICTA 1988 or for any other tax purposepurpose as resident in any other jurisdiction.
Appears in 1 contract
Samples: Ace Comm Corp