Federal Tax Certificate. A certificate of the City in form and substance satisfactory to Bond Counsel and Underwriter’s Counsel setting forth the facts, estimates and circumstances in existence on the Closing Date, which establish that it is not expected that the proceeds of the Bonds will be used in a manner that would cause the Bonds to be “arbitrage bonds” within the meaning of Section 148 of the Internal Revenue Code of 1986, as amended (the “Code”), and any applicable regulations (whether final, temporary or proposed), issued pursuant to the Code.
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Federal Tax Certificate. A certificate of the City in form and substance satisfactory to Bond Counsel and the Underwriter’s Counsel setting forth the facts, estimates and circumstances in existence on the Closing Date, which establish that it is not expected that the proceeds of the Bonds will be used in a manner that would cause the Bonds to be “arbitrage bonds” within the meaning of Section 148 of the Internal Revenue Code of 1986, as amended (the “Code”), and any applicable regulations (whether final, temporary or proposed), issued pursuant to the Code.
Appears in 1 contract
Samples: Bond Purchase Agreement
Federal Tax Certificate. A certificate of the City in form and substance satisfactory to Bond Counsel and Underwriter’s Counsel counsel to the Underwriter setting forth the facts, estimates and circumstances in existence on the Closing Datedate of the Closing, which establish that it is not expected that the proceeds of the Bonds will be used in a manner that would cause the Bonds to be “arbitrage bonds” within the meaning of Section 148 of the Internal Revenue Code of 1986, as amended (the “Code”), and any applicable regulations (whether final, temporary or proposed), issued pursuant to the Code.
Appears in 1 contract
Samples: Bond Purchase Agreement
Federal Tax Certificate. A certificate of the City in form and substance satisfactory to Bond Counsel and Underwriter’s Counsel counsel to the Underwriter setting forth the facts, estimates and circumstances in existence on the Closing Datedate of the Closing, which establish that it is not expected that the proceeds of the Bonds will be used in a manner that would cause the Bonds to be “arbitrage bonds” within the meaning of Section 148 of the Internal Revenue Code of 1986, as amended (the “Code”), and any applicable regulations (whether final, temporary or proposed), issued pursuant to the Code.. DRAFT
Appears in 1 contract
Samples: Bond Purchase Agreement