Imputed Interest Income. To the extent the Partnership recognizes imputed interest income in connection with any transaction involving a Partner, such interest income shall, for tax purposes, be allocated to the Partner who is a party to the transaction which generated the imputed interest income.
Appears in 4 contracts
Samples: Revolving Credit Agreement (Lyondell Chemical Co), Limited Partnership Agreement (Citgo Petroleum Corp), Credit Agreement (Lyondell Chemical Co)