Disputes, investigations Sample Clauses

Disputes, investigations. The Executive agrees that at all times during the Executive’s employment with the Company and at all times thereafter (including following the termination of the Executive’s employment for any reason), the Executive will cooperate with all reasonable requests by the Company Group for assistance in connection with any action, suit, or proceeding, whether civil, criminal, administrative, or investigative, involving the Company Group that relates to events or occurrences that transpired while the Executive was employed by the Company, including by providing truthful testimony in person in any such action, suit, or proceeding, and by providing information and meeting and consulting with the Company or its representatives or counsel, or representatives of or counsel to the Company Group, at mutually convenient times and as reasonably requested; provided, however, that the foregoing shall not apply to any action, suit, or proceeding involving disputes between the Executive and the Company Group arising under this Agreement or any other agreement. The Company shall reimburse the Executive for any reasonable fees and reasonable out-of-pocket expenses incurred in connection with the Executive’s performance of obligations pursuant to this Section 10, and such cooperation shall be at reasonable times and upon reasonable advance notice.
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Disputes, investigations. No Group Company is involved in any current dispute with any tax authority or is or has in the last six years been the subject of any investigation, audit or non-routine visit by any tax authority. So far as the Sellers are aware in relation to each Group Company there is no planned investigation audit or non-routine visit by any tax authority and there are no facts which might cause such an investigation, audit or non-routine visit to be instituted.
Disputes, investigations. The Company has not received any notice that its Tax Returns are disputed by the Taxation Authorities concerned and no proceedings for recovery of Tax have been initiated or are presently pending against the Company. The Company is not involved in any current dispute with any Tax Authority or is subject of any litigation, proceeding, appeals, investigation or legal proceedings or other similar and incidental actions by any Tax Authority and it is not aware of any instances that can lead to a Tax dispute. In relation to the Company, there are no litigation proceedings, no planned investigation, enquiry, audit, non-routine inspections, or other similar and incidental actions by any Tax Authority. There are no outstanding agreements, waivers or arrangements extending the statute of limitations with respect to any Taxes of the Company in effect as of the date of this Agreement.
Disputes, investigations. No Target Company is involved in any current dispute with or investigation by any Tax Authority or has in the last two years been the subject of any dispute with or investigation by any Tax Authority.
Disputes, investigations. No Target Entity is involved in any current dispute with any tax authority or is or has in the last six years been the subject of any investigation, enquiry, audit or non routine visit by any tax authority. So far as the Sellers are aware in relation to each Target Entity there is no planned investigation, enquiry, audit or non routine visit by any tax authority.
Disputes, investigations. 3.1 The Business Seller is not involved in any current dispute with any tax authority and is not currently, and has not in the last six years been, the subject of any investigation, enquiry, audit or non-routine visit by any tax authority in relation to the Business or any of the Business Assets. So far as the Business Seller is aware there is no such planned investigation, enquiry, audit or non-routine visit by any tax authority and there are no facts which might cause such an investigation, enquiry, audit or non-routine visit to be instituted.
Disputes, investigations. So far as the Seller is aware, no Target Company is involved in any material current dispute with or non-routine investigation by any Tax Authority or has in the last 24 months been the subject of any material dispute with or non-routine investigation by any Tax Authority.
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Disputes, investigations. No Target Company is involved in any current dispute with any Tax Authority or is or has in the last 24 months (or, as far as the Seller is aware, the 12 months period preceding the last 24 months) been the subject of any investigation, enquiry, non-routine audit or non-routine visit by any Tax Authority. So far as the Seller is aware in relation to each Target Company there is no planned investigation, enquiry, non-routine audit or non-routine visit by any Tax Authority and as far as the Seller is aware there are no facts which might cause such an investigation, enquiry, non-routine audit or non-routine visit to be instituted, in each case except as disclosed in Exhibit Tax, 1.5. No Target Company has waived any statute of limitations with respect to Taxes or agreed to an extension of time with respect to any Tax assessment or deficiency. No claim has ever been made by an authority in a jurisdiction where a Target Company does not file Tax Returns that any Target Company is or may be subject to Tax in that jurisdiction.
Disputes, investigations. The Vendor is not involved in any current dispute with any taxation authority and is not currently, and has not in the last six years been, the subject of any investigation, audit or non-routine visit by any tax authority in relation to the Business or any of the Business Assets. So far as the Vendor is aware there is no such planned investigation, audit or non-routine visit by any taxation authority and there are no facts which might cause such an investigation, audit or non-routine visit to be instituted.
Disputes, investigations. No Target Group Company is, nor has been within the three year period ending on Completion, involved in any dispute with any Tax Authority or has been the subject of any investigation, enquiry, audit or non-routine visit by any Tax Authority. No Tax Authority has indicated in writing to any Target Group Company its intention to commence such a dispute, enquiry, audit, investigation or visit and so far as the Warrantors are aware there is no Basis for any such dispute or enquiry to commence.
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