Other US Tax Information Sample Clauses

Other US Tax Information. The Company shall use best efforts to prepare and provide, or to cause the US Accountants to prepare and provide, to the Shareholders excluding IFC: (i) (A) within sixty (60) calendar days following the Effective Date, an analysis prepared by the US Accountants regarding the taxable year of the Company for purposes of Section 898 of the US Tax Code, which analysis shall include a determination of (1)) whether the Company is a “specified foreign corporation” within the meaning of Section 898(b)(1) of the US Tax Code on the Effective Date and if so (2) the “required year” (if any) of the Company as determined under Section 898(c) of the US Tax Code (the “Section 898 Analysis”) as of the Effective Date; and (B) within sixty (60) calendar days following the first day of each subsequent Tax Year and any other “testing day” within the meaning of Section 898(c)(3)(B) of the US Tax Code, an updated Section 898 Analysis prepared by the US Accountants; (ii) For each Shareholder, within ninety (90) calendar days following the end of each Tax Year, (A) an analysis prepared by the US Accountants regarding the status of the Company and each Subsidiary of the Company as a “controlled foreign corporation” for such Tax Year for purposes of Section 951(a) of the US Tax Code, which analysis shall include a determination of whether (1) the Company and each Subsidiary is a controlled foreign corporation and (2) such Shareholder or any direct or indirect owner of such Shareholder is a “United States shareholder” of the Company or any Subsidiary as determined under Section 951(b) of the US Tax Code; (B) an earnings and profits study prepared by the US Accountants which shall include the information necessary for Shareholders to comply with their US federal income tax obligations (including under Subpart F and Section 1248 of the US Tax Code and to claim foreign tax credits for US federal income tax purposes), including (1) a calculation of the earnings and profits (determined using US federal income tax accounting principles) of the Company and each Subsidiary that is treated as a corporation for US federal income tax purposes, (2) an apportionment of non-US taxes paid or deemed paid by the Company and any Subsidiary to foreign income tax pools for purposes of calculating the US foreign tax credit available to the Shareholder, (3) a calculation of the Shareholder’s share of Subpart F income (as defined in Section 952 of the US Tax Code) of the Company and each Subsidiary that is...
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Related to Other US Tax Information

  • Tax Information The Plan is a plan to which Subdivision 83A-C of the Income Tax Assessment Act 1997 (Cth) applies (subject to conditions in the Act).

  • Annual Tax Information The Managers shall cause the Company to deliver to the Member all information necessary for the preparation of the Member’s federal income tax return.

  • Income Tax Return Information Each Company will provide to the other Company information and documents relating to their respective Groups required by the other Company to prepare Tax Returns. The Responsible Company shall determine a reasonable compliance schedule for such purpose in accordance with Distributing Co.'s past practices. Any additional information or documents the Responsible Company requires to prepare such Tax Returns will be provided in accordance with past practices, if any, or as the Responsible Company reasonably requests and in sufficient time for the Responsible Company to file such Tax Returns on a timely basis.

  • Lender Tax Information For purposes of this Section 5.9, the term “Lender” includes any Fronting Bank.

  • Tax Return Information By the 31st day of March of each Fiscal Year of the Partnership, the General Partner, at the expense of the Partnership, shall cause to be delivered to the Limited Partners such information as shall be necessary (including a statement for that year of each Limited Partner’s share of net income, net gains, net losses and other items of the Partnership for the preceding Fiscal Year) for the preparation by the Limited Partners of their Federal, state and local income and other tax returns.

  • Annual Tax Information and Report Within seventy-five (75) days after the end of each fiscal year of the Partnership, the General Partner shall furnish to each person who was a Limited Partner at any time during such year the tax information necessary to file such Limited Partner’s individual tax returns as shall be reasonably required by law.

  • Information Returns At the Closing or as soon thereafter as is practicable, Seller shall provide Purchaser with a list of all Deposits on which Seller is back-up withholding as of the Closing Date.

  • Verizon Information Upon request by CBB, Verizon shall make available to CBB the following information to the extent that Verizon provides such information to its own business offices: a directory list of relevant NXX codes, directory and Customer Guide close dates, and Yellow Pages headings. Verizon shall also make available to CBB, on Verizon’s Wholesale website (or, at Verizon’s option, in writing) Verizon’s directory listings standards and specifications.

  • Withholding Taxes; Information Reporting As to the Certificates of any series, the Trustee, as trustee of the related grantor trust created by this Agreement, shall exclude and withhold from each distribution of principal, premium, if any, and interest and other amounts due under this Agreement or under the Certificates of such series any and all withholding taxes applicable thereto as required by law. The Trustee agrees to act as such withholding agent and, in connection therewith, whenever any present or future taxes or similar charges are required to be withheld with respect to any amounts payable in respect of the Certificates of such series, to withhold such amounts and timely pay the same to the appropriate authority in the name of and on behalf of the Certificateholders of such series, that it will file any necessary withholding tax returns or statements when due, and that, as promptly as possible after the payment thereof, it will deliver to each such Certificateholder of such series appropriate documentation showing the payment thereof, together with such additional documentary evidence as such Certificateholders may reasonably request from time to time. The Trustee agrees to file any other information reports as it may be required to file under United States law.

  • Informational Tax Reporting The Assuming Institution agrees to perform all obligations of the Failed Bank with respect to Federal and State income tax informational reporting related to (i) the Assets and the Liabilities Assumed, (ii) deposit accounts that were closed and loans that were paid off or collateral obtained with respect thereto prior to Bank Closing, (iii) miscellaneous payments made to vendors of the Failed Bank, and (iv) any other asset or liability of the Failed Bank, including, without limitation, loans not purchased and Deposits not assumed by the Assuming Institution, as may be required by the Receiver.

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