Common use of COMPANY RESIDENCE AND OVERSEAS INTERESTS Clause in Contracts

COMPANY RESIDENCE AND OVERSEAS INTERESTS. 7.1. The Company has, throughout the past seven years, been resident in the UK for corporation tax purposes and has 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 or for any other tax purposes.

Appears in 2 contracts

Samples: Share Purchase Agreement, Qumu Corp

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COMPANY RESIDENCE AND OVERSEAS INTERESTS. 7.1. The Company has, throughout the past seven years, been resident in the UK for corporation tax purposes and has 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 arrangements, or for any other tax purposes.

Appears in 2 contracts

Samples: Share Purchase Agreement (Argentum 47, Inc.), Share Purchase Agreement (Argentum 47, Inc.)

COMPANY RESIDENCE AND OVERSEAS INTERESTS. 7.1. 11.1 The Company has, throughout the past seven years, been resident in the UK for corporation tax purposes and has 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 or for any other tax purposes.

Appears in 1 contract

Samples: Dated         august (Concierge Technologies Inc)

COMPANY RESIDENCE AND OVERSEAS INTERESTS. 7.1. The 11.1 For corporation tax purposes, the Company has, throughout the past seven years, is and has at all times been resident solely in the UK for corporation tax purposes United Kingdom, and the Company has not, at any time in the past seven yearstime, been treated as resident in any other jurisdiction for the purposes of any double taxation arrangements or for any other tax Tax purposes.

Appears in 1 contract

Samples: Agreement (Wayside Technology Group, Inc.)

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COMPANY RESIDENCE AND OVERSEAS INTERESTS. 7.1. 9.1 The Company has, throughout the past seven years, been resident in the UK for corporation tax purposes and has 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 CTA 2009 and section 2 of TIOPA 2010 or for any other tax purposespurpose.

Appears in 1 contract

Samples: Share Purchase Agreement (Four Rivers Bioenergy Inc.)

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