Contribution of Property. In accordance with Code Section 704(c) and the Regulations thereunder, income, gain, loss, and deduction as to any property contributed to the capital of the Company shall, for tax purposes, be allocated among the Unitholders so as to take into account any variation between the adjusted basis of such property to the Company for federal income tax purposes and its initial Gross Asset Value.
Appears in 2 contracts
Samples: Joint Venture Agreement (Hines Global REIT, Inc.), Joint Venture Agreement (Hines Global REIT, Inc.)
Contribution of Property. In accordance with Code Section 704(c) and the Regulations thereunder, income, gain, loss, and deduction as to any property contributed to the capital of the Company Partnership shall, for tax purposes, be allocated among the Unitholders Partners so as to take into account any variation between the adjusted basis of such property to the Company Partnership for federal income tax purposes and its initial Gross Asset Valuethe fair market value of such property.
Appears in 2 contracts
Samples: Limited Partnership Agreement (Sanford Recycling & Transfer, Inc.), Limited Partnership Agreement (Sanford Recycling & Transfer, Inc.)
Contribution of Property. In accordance with Code Section §704(c) and the Regulations thereunder, income, gain, loss, and deduction as to any property contributed to the capital of the Company Partnership shall, for tax purposes, be allocated among the Unitholders Partners so as to take into account any variation between the adjusted basis of such property to the Company Partnership for federal income tax purposes and its initial Gross Asset Value.
Appears in 1 contract
Samples: Limited Partnership Agreement (GPB Automotive Portfolio, LP)
Contribution of Property. In accordance with Code Section 704(c) of the Code and the Treasury Regulations thereunder, incomeIncome, gain, loss, Loss and deduction as items thereof with respect to any property contributed to the capital of the Company Partnership shall, solely for tax purposes, be allocated among the Unitholders Partners so as to take into account of any variation between the adjusted basis of such the property to the Company Partnership for federal income tax purposes and its initial Gross Asset Value.
Appears in 1 contract
Samples: Limited Partnership Agreement (LEAF Equipment Finance Fund 4, L.P.)