Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 4 contracts
Samples: Loan Agreement (PPL Energy Supply LLC), Loan Agreement (PPL Energy Supply LLC), Loan Agreement (PPL Energy Supply LLC)
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 4.3 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2000 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 3 contracts
Samples: Loan Agreement (PPL Energy Supply LLC), Loan Agreement (PPL Energy Supply LLC), Loan Agreement (PPL Energy Supply LLC)
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2007 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 2 contracts
Samples: Loan Agreement (PPL Energy Supply LLC), Loan Agreement (PPL Energy Supply LLC)
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2001 Series A B Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 2 contracts
Samples: Loan Agreement (PPL Energy Supply LLC), Loan Agreement (PPL Energy Supply LLC)
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2005 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 2 contracts
Samples: Loan Agreement (PPL Energy Supply LLC), Loan Agreement (Louisville Gas & Electric Co /Ky/)
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2001 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 2 contracts
Samples: Loan Agreement (PPL Energy Supply LLC), Loan Agreement (PPL Energy Supply LLC)
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 4.6 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2007 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 2 contracts
Samples: Loan Agreement (PPL Energy Supply LLC), Loan Agreement (PPL Energy Supply LLC)
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2004 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2007 Series A B Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 4.6 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2005 Series A B Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 4.6 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2006 Series A C Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 4.6 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2001 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer Issuer, Company and Company the Bond Insurer (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2004 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 4.6 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2005 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 Series A C Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. The Company need not comply with the covenants or representations in Section 4.4 4.7 if and to the extent that the Issuer and the Company (with a copy to the Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2008 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2003 Series A Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 2006 Series A B Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract
Opinion of Bond Counsel. Company need not comply with the covenants or representations in Section 4.4 if and to the extent that Issuer and Company (with a copy to Trustee) receive a written opinion of Bond Counsel that such failure to comply will not affect adversely the exclusion of interest on any of the 2002 Series A B Bonds from gross income for federal income tax purposes under Section 103(a) of the Code.
Appears in 1 contract