Common use of Foreign Tax Clause in Contracts

Foreign Tax. Each Acquired Entity has in its possession official foreign government receipts for any Taxes paid by it, or paid on its behalf, to any foreign Governmental Body of a type for which receipts are customarily provided. No Acquired Entity has a permanent establishment in any country other than the country in which it is organized, as defined in any applicable Tax treaty or convention between the country in which it is organized and such other country, or otherwise has an office or fixed place of business in a country other than the country in which it is organized.

Appears in 1 contract

Samples: Agreement and Plan of Merger (Autodesk Inc)

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Foreign Tax. Each Acquired Entity Company has in its possession official foreign government receipts for any Taxes paid by it, or paid on its behalf, it to any foreign Governmental Body of a type for which receipts are customarily providedTax authorities. No Acquired Entity Company has or has had a permanent establishment in any country other than the country in which it is organizedforeign country, as defined in any applicable Tax treaty or convention between the country in which it is organized United States of America and such other foreign country, or otherwise has an office or fixed place of business in a country other than the country in which it is organized.

Appears in 1 contract

Samples: Agreement and Plan of Merger (Yelp Inc)

Foreign Tax. Each Acquired Entity Company has in its possession official foreign government receipts for any Taxes paid by it, or paid on its behalf, it to any foreign Governmental Body of a type for which receipts are customarily providedTax Authorities. No Acquired Entity Company has or has had a permanent establishment in any country other than the country in which it is organizedforeign country, as defined in any applicable Tax treaty or convention between the country in which it is organized United States of America and such other foreign country, or otherwise has an office or fixed place of business in a country other than the country in which it is organized.

Appears in 1 contract

Samples: Agreement and Plan of Merger (Yelp Inc)

Foreign Tax. Each Acquired Entity has in its possession official foreign government receipts for any Taxes paid by it, or paid on its behalf, to any foreign Governmental Body of a type for which receipts are customarily provided. No Acquired Entity has a permanent establishment in any country other than the country in which it is organizedforeign country, as defined in any applicable Tax treaty or convention between the country in which it is organized United States and such other foreign country, or otherwise has an office or fixed place of business in a country other than the country in which it is organized.

Appears in 1 contract

Samples: Agreement and Plan of Mergers (Splunk Inc)

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Foreign Tax. Each Acquired Entity has in its possession official foreign government receipts for any Taxes paid by it, or paid on its behalf, to any foreign Governmental Body of a type for which receipts are customarily providedBody. No Acquired Entity has, or has had, a permanent establishment (as defined in any applicable Tax treaty or convention), an office or fixed place of business, CONFIDENTIAL or otherwise is or has been subject to Tax, in any country other than the country in which it is organized, as defined in any applicable Tax treaty or convention between the country in which it is organized and such other country, or otherwise has an office or fixed place of business in a country other than the country in which it is organized.

Appears in 1 contract

Samples: Agreement and Plan of Merger (Pure Storage, Inc.)

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