For U. S. federal income tax purposes, (i) Borrower is a disregarded entity and Borrower Parent is its sole owner and (ii) Borrower Parent is a U.S. Person.
Appears in 4 contracts
Samples: Credit Agreement (Blackstone Secured Lending Fund), Credit Agreement (Blackstone Secured Lending Fund), Credit Agreement (Blackstone Secured Lending Fund)
For U. S. federal income tax purposes, purposes (i) Borrower is a disregarded entity and Borrower Parent is its sole owner owner, and (ii) Borrower Parent is a U.S. Person.
Appears in 4 contracts
Samples: Credit Agreement (American Capital, LTD), Credit Agreement (American Capital Senior Floating, Ltd.), Credit Agreement (American Capital, LTD)
For U. S. federal income tax purposes, (i) Borrower is a disregarded entity and the Borrower Parent is its sole owner and (ii) Borrower Parent is a U.S. Person.
Appears in 3 contracts
Samples: Credit Agreement (Steele Creek Capital Corp), Credit Agreement (Nuveen Churchill Private Capital Income Fund), Credit Agreement (Nuveen Churchill Private Capital Income Fund)
For U. S. federal income tax purposes, (i) the Borrower is a disregarded entity and Borrower Parent is its sole owner and (ii) the Borrower Parent is a U.S. Person.
Appears in 2 contracts
Samples: Omnibus Amendment to Loan Documents (Palmer Square Capital BDC Inc.), Credit Agreement (Palmer Square Capital BDC Inc.)
For U. S. federal income tax purposes, purposes (i) Borrower is a disregarded entity and Borrower Parent is its sole owner owner, and (ii) Borrower Parent is a non-U.S. corporation that is not a U.S. Person.
Appears in 2 contracts
Samples: Credit Agreement (Watford Holdings Ltd.), Credit Agreement (Watford Holdings Ltd.)