Non-Foreign Status Affidavit Sample Clauses

Non-Foreign Status Affidavit. A non-foreign status affidavit in the form of Exhibit I attached hereto and incorporated herein by this reference, as required by Section 1445 of the Internal Revenue Code, executed by Seller.
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Non-Foreign Status Affidavit. An Affidavit of Non-Foreign Status executed by Seller in the form of that annexed hereto as Exhibit F.
Non-Foreign Status Affidavit. A certificate of non-foreign status pursuant to Treasury Regulation Section 1.1445-2(b)(2) signed by Seller under penalties of perjury stating Seller’s name, address and US taxpayer identification number and stating that Seller is not a foreign person as defined by Section 1445(f)(3) of the IRC.
Non-Foreign Status Affidavit. Each Seller shall execute, acknowledge and deliver a certification of non-foreign status, in form and substance substantially similar to that set forth on Exhibit D.
Non-Foreign Status Affidavit. If Buyer so requests, Seller will execute and deliver to Buyer an affidavit or other certification (as permitted by such code) that Seller is not a "foreign person" within the meaning of Section 1445 (or similar provisions) of the Internal Revenue Code of 1986 as amended (i.e., that Seller is not a non-resident alien, foreign corporation, foreign partnership, foreign trust or foreign estate as those terms are defined in such code and regulations promulgated thereunder).
Non-Foreign Status Affidavit. An Affidavit of Non-Foreign Status executed by Xxxxxx in the form of that annexed hereto as Exhibit F.
Non-Foreign Status Affidavit. A non-foreign status affidavit ---------------------------- in the form of Exhibit L attached hereto and incorporated herein by --------- this reference, as required by Section 1445 of the Internal Revenue Code.
Non-Foreign Status Affidavit. A non-foreign status affidavit in the form of EXHIBIT N attached hereto and incorporated herein by this reference, as required by Section 1445 of the Internal Revenue Code.
Non-Foreign Status Affidavit. Section 1445 of the Internal Revenue Code provides that a transferee (purchaser) of a United States real property interest must withhold tax if the transferor (seller) is a foreign person. To inform HC Government Realty Holdings, L.P., a Delaware limited partnership, that withholding of tax is not required upon the disposition of a United States real property interest by ________________________ (“Transferor”), the undersigned certifies the following on behalf of Transferor:
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