Notice of Possible Withholding Under FATCA. The Issuer shall notify each Agent in the event that it determines that any payment to be made by an Agent under the Notes is a payment which could be subject to FATCA Withholding if such payment were made to a recipient that is generally unable to receive payments free from FATCA Withholding, and the extent to which the relevant payment is so treated, provided, however, that the Issuer's obligation under this Clause 14 shall apply only to the extent that such payments are so treated by virtue of characteristics of the Issuer, the Notes, or both.
Notice of Possible Withholding Under FATCA. The Issuer or the Guarantor, as the case may be, shall notify each Paying Agent in the event that it determines that any payment to be made by a Paying Agent under the Notes is a payment which could be subject to FATCA Withholding if such payment were made to a recipient that is generally unable to receive payments free from FATCA Withholding, and the extent to which the relevant payment is so treated, provided, however, that the Issuer's and Guarantor's obligation under this sub- clause 7.1.7 shall apply only to the extent that such payments are so treated by virtue of characteristics of the Issuer, the Guarantor, the Notes, or both.
Notice of Possible Withholding Under FATCA. If the Issuer is, in respect of any payment, compelled to withhold or deduct any amount for or on account of taxes, duties, assessments or governmental charges as specifically contemplated under the Conditions, it shall give notice thereof to the Fiscal Agent and the Registrar as soon as it becomes aware of the requirement to make such withholding or deduction and shall give to the Fiscal Agent and the Registrar such information as any of them shall require to enable it to comply with such requirement.
Notice of Possible Withholding Under FATCA. The relevant Issuer and/or the Guarantor, if applicable, shall notify the Agent in the event that it determines that any payment to be made by an Agent under the Notes is a payment which could be subject to FATCA Withholding if such payment were made to a recipient that is generally unable to receive payments free from FATCA Withholding, and the extent to which the relevant payment is so treated, provided, however, that the obligations of the relevant Issuer and the Guarantor under this Clause 9 shall apply only to the extent that such payments are so treated by virtue of characteristics of the relevant Issuer or the Guarantor (as applicable), the Notes, or both.
Notice of Possible Withholding Under FATCA. The Company shall notify each Paying Agent in the event that it determines that any payment to be made by a Paying Agent under the Notes is a payment which could be subject to FATCA Withholding if such payment were made to a recipient that is generally unable to receive payments free from FATCA Withholding, and the extent to which the relevant payment is so treated, provided, however, that the Company’s obligation under this this Section 1302 shall apply only to the extent that such payments are so treated by virtue of characteristics of the Company, the Notes, or both.
Notice of Possible Withholding Under FATCA. The Company shall notify in writing each of the Paying Agent and the Registrar in the event that it determines that any payment to be made by the Paying Agent or the Registrar under the Notes is a payment which could be subject to FATCA Withholding if such payment were made to a recipient that is generally unable to receive payments free from FATCA Withholding, and the extent to which the relevant payment is so treated, provided, however, that the Company’s obligation under this paragraph (x)(ii) shall apply only to the extent that such payments are so treated by virtue of characteristics of the Company, the Notes, or both.
Notice of Possible Withholding Under FATCA. The Republic shall notify each Agent in the event that it determines that any payment to be made by an Agent under any Securities is a payment which could be subject to FATCA Withholding if such payment were made to a recipient that is generally unable to receive payments free from FATCA Withholding, and the extent to which the relevant payment is so treated, provided, however, that the Republic’s obligation under this Clause 22 shall apply only to the extent that such payments are so treated by virtue of characteristics of the Republic, such Securities, or both.
Notice of Possible Withholding Under FATCA. The relevant Issuer or the relevant Guarantor, as the case may be, shall notify each Paying Agent in the event that it determines that any payment to be made by a Paying Agent under the Notes is a payment which could be subject to FATCA Withholding if such payment were made to a recipient that is generally unable to receive payments free from FATCA Withholding, and the extent to which the relevant payment is so treated, provided, however, that the relevant Issuer's and the relevant Guarantor's obligation under this sub-clause 8.1.6 (Notice of possible withholding under FATCA) shall apply only to the extent that such payments are so treated by virtue of characteristics of the relevant Issuer, the relevant Guarantor, the Notes, or both.
Notice of Possible Withholding Under FATCA. The Company shall notify each of the Trustee and the Agents if it determines that any payment to be made by the Trustee or the Agents under any Securities is a payment which could be subject to FATCA Withholding if such payment were made to a recipient that is generally unable to receive payments free from FATCA Withholding, and the extent to which the relevant payment is so treated, provided, however, that the Company’s obligation under this Section 5.14(b) shall apply only to the extent that such payments are so treated by virtue of characteristics of the Company, such Securities, or both.
Notice of Possible Withholding Under FATCA. The Relevant Issuer and/or the Guarantor (in respect of an issuance by Compass Finance B.V.), as the case may be, shall notify each Paying Agent in the event that it determines that any payment to be made by a Paying Agent under the Notes is a payment which is treated as a “withholdable payment” (as that term is defined in Section 1473(1) of the Code and the regulations thereunder), or a “passthru payment” (as that term is defined in Section 1471(d) and the regulations thereunder) provided that the relevant Issuer, and/or the Guarantor (in respect of an issuance by Compass Finance B.V.) shall not be required to notify each Paying Agent that a payment is a “foreign passthru payment” within the meaning of Section 1.1471-1(b)(54) until regulations defining that term have been published by the US Department of the Treasury