Opinion with Respect to Certain Tax Aspects. On the Closing Date, the Owner Participant shall have received the opinion of Xxxxxxx Xxxxxxx & Xxxxxxxx LLP, addressed to the Owner Participant, in form and substance satisfactory to the Owner Participant, containing such counsel's favorable opinion with respect to such tax matters as the Owner Participant may reasonably request.
Opinion with Respect to Certain Tax Aspects. The Owner Participant shall have received the opinion, dated the Closing Date, of Dewey Ballantine LLP addressed and delivered only to the Owner Partxxxxxxx xx xx xxrtain tax matters and in form and substance satisfactory to the Owner Participant.
Opinion with Respect to Certain Tax Aspects. On the Closing Date, the Owner Participant shall have received the opinion of Winston & Strawn, addressed to the Owner Participant, in form and substance xxxxxxactory to the Owner Participant, containing such counsel's favorable opinion with respect to such tax matters as the Owner Participant may reasonably request.
Opinion with Respect to Certain Tax Aspects. The Owner Participant shall have received an opinion of Milbank, Tweed, Xxxxxx & XxXxxx LLP, special counsel to the Owner Participant, dated the Closing Date and addressed to the Owner Participant, in form and substance reasonably satisfactory to the Owner Participant, as to such Tax matters as the Owner Participant may reasonably request.
Opinion with Respect to Certain Tax Aspects. The Owner Participant and the Equity Investor shall have received a satisfactory tax opinion, dated the Closing Date, of Hunton & Xxxxxxxx addressed and delivered only to the Owner Participant and the OP Guarantor.
Opinion with Respect to Certain Tax Aspects. The Owner ------------------------------------------- Participant shall have received the opinion, dated the Closing Date, of Xxxxx Xxxxxxxxxx LLP addressed and delivered only to the Owner Participant as to certain tax matters in form and substance satisfactory to the Owner Participant.
Opinion with Respect to Certain Tax Aspects. The Equity Investor shall have received (i) the opinion, dated the Closing Date, of Xxxxx Xxxxxxxxxx LLP addressed and delivered only to the Equity Investor as to certain tax matters in form and substance reasonably satisfactory to the Equity Investor and (ii) the opinion dated the Closing Date of XxXxxxxxxxx Xxxxxx Xxxxx XxxXxxxxx LLP addressed and delivered only to the Equity Investor as to certain state and local tax matters in form and substance reasonably satisfactory to the Equity Investor.
Opinion with Respect to Certain Tax Aspects. On or before such Delivery Date, Owner Participant shall have received the opinion of Dxxxx Xxxx & Wxxxxxxx, addressed to Owner Participant, in form and substance satisfactory to Owner Participant, containing such counsel’s favorable opinion with respect to the Federal income tax aspects of the transaction contemplated hereby.
Opinion with Respect to Certain Tax Aspects. The Owner Participant shall have received the opinion, dated the Closing Date, of Chadbourne & Parke LLP addressxx xx xxx Ownxx Xxrticipant, in form and substance satisfactory to the Owner Participant, containing such counsel's favorable opinion with respect to the federal income tax aspects of the transaction contemplated hereby.
Opinion with Respect to Certain Tax Aspects. The Owner Participant and the Equity Investor shall have received the opinion of, Paul, Hastings, Xxxxxxxx & Xxxxxx, LLP, dated the Construction Closing Date, addressed and delivered only to the Owner Participant and the Equity Investor as to certain tax matters in form and substance satisfactory to the Owner Participant and the Equity Investor.