No Tax Allocation, Sharing. The Acquiror is not a party to any Tax allocation or sharing agreement. Other than with respect to the Tax Group of which the Acquiror is the common parent, no Acquiror Company (a) has been a member of a Tax Group filing a consolidated income Tax Return under Section 1501 of the Code (or any similar provision of state, local or foreign law), and (b) has any liability for Taxes for any Person under Treasury Regulations Section 1.1502-6 (or any similar provision of state, local or foreign law) as a transferee or successor, by contract or otherwise.
Appears in 10 contracts
Samples: Share Exchange Agreement (Techedge Inc), Share Exchange Agreement (General Components, Inc.), Share Exchange Agreement (Lotus Liberator Fund)
No Tax Allocation, Sharing. The Acquiror is not a party to any Tax allocation or sharing agreement. Other than with respect to the Tax Group of which the The Acquiror is the common parent, no Acquiror Company has not (a) has been a member of a Tax Group filing a consolidated income Tax Return under Section 1501 of the Code (or any similar provision of state, local or foreign law), and (b) has any liability for Taxes for any Person under Treasury Regulations Section 1.1502-6 (or any similar provision of state, local or foreign law) as a transferee or successor, by contract or otherwise.
Appears in 3 contracts
Samples: Share Exchange Agreement (Vemics, Inc.), Share Exchange Agreement (Vemics, Inc.), Share Exchange Agreement (Vemics, Inc.)
No Tax Allocation, Sharing. The Acquiror is not a party to any Tax allocation or sharing agreement. Other than with respect to the Tax Group of which the Acquiror is the common parent, no No Acquiror Company (a) has been a member of a Tax Group filing a consolidated income Tax Return under Section 1501 of the Code (or any similar provision of state, local or foreign law), and (b) has any liability for Taxes for any Person under Treasury Regulations Section 1.1502-6 (or any similar provision of state, local or foreign law) as a transferee or successor, by contract or otherwise.
Appears in 3 contracts
Samples: Share Exchange Agreement (Perk International Inc.), Share Exchange Agreement (HPC Pos System, Corp.), Share Exchange Agreement (Laufer Bridge Enterprises, Inc.)
No Tax Allocation, Sharing. The Acquiror is not a party to any Tax allocation or sharing agreement. Other than with respect to the Tax Group of which the Acquiror is the common parent, no Acquiror Company The Acquiror
(a) has not been a member of a Tax Group filing a consolidated income Tax Return under Section 1501 of the Code (or any similar provision of state, local or foreign law), and (b) has any no liability for Taxes for any Person under Treasury Regulations Section 1.1502-6 (or any similar provision of state, local or foreign law) as a transferee or successor, by contract or otherwise.
Appears in 1 contract
Samples: Share Exchange Agreement (Nano Superlattice Technology Inc.)