Funds that Qualify as Exempt Beneficial Owners. The following Entities shall be treated as Non-Reporting Financial Institutions of Turkmenistan and as exempt beneficial owners for purposes of sections 1471 and 1472 of the U.S. Internal Revenue Code.
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Funds that Qualify as Exempt Beneficial Owners. The following Entities shall be treated as Non-Reporting Uzbekistan Financial Institutions of Turkmenistan and as exempt beneficial owners for purposes of sections 1471 and 1472 of the U.S. Internal Revenue Code.
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Funds that Qualify as Exempt Beneficial Owners. The following Entities shall be treated as Non-Reporting Luxembourg Financial Institutions of Turkmenistan and as exempt beneficial owners for purposes of sections 1471 and 1472 of the U.S. Internal Revenue Code.
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Funds that Qualify as Exempt Beneficial Owners. The following Entities shall be treated as Non-Reporting Republic of Azerbaijan Financial Institutions of Turkmenistan and as exempt beneficial owners for purposes of sections 1471 and 1472 of the U.S. Internal Revenue Code.
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Funds that Qualify as Exempt Beneficial Owners. The following Entities shall be treated as Non-Reporting Republic of Armenia Financial Institutions of Turkmenistan and as exempt beneficial owners for purposes of sections 1471 and 1472 of the U.S. Internal Revenue Code.
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Samples: Cooperation Agreement
Funds that Qualify as Exempt Beneficial Owners. The following Entities shall be treated as Non-Reporting Financial Institutions of Turkmenistan the Republic of Kazakhstan and as exempt beneficial owners for purposes of sections 1471 and 1472 of the U.S. Internal Revenue Code.
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