Partnership Classification. The Operating Partnership and each of the consolidated subsidiaries of the Operating Partnership that are partnerships are properly classified as partnerships, and not as corporations or as associations taxable as corporations, for federal income tax purposes throughout the period from their respective dates of formation through the date hereof, or, in the case of any such partnerships that have terminated, through the date of termination of such partnerships.
Appears in 11 contracts
Samples: Sales Agency Financing Agreement (Brandywine Operating Partnership, L.P.), Sales Agency Financing Agreement (Brandywine Operating Partnership, L.P.), Sales Agency Financing Agreement (Brandywine Operating Partnership, L.P.)
Partnership Classification. The Operating Partnership and each of the consolidated subsidiaries of the Operating Partnership Significant Subsidiaries that are partnerships are properly classified as partnerships, and not as corporations or as associations taxable as corporations, for federal income tax purposes throughout the period from their respective dates of formation July 11, 1997 through the date hereof, or, in the case of any such Significant Subsidiary partnerships that have terminated, through the date of termination of such Significant Subsidiary partnerships.
Appears in 8 contracts
Samples: Underwriting Agreement (Eop Operating LTD Partnership), Underwriting Agreement (Eop Operating LTD Partnership), Underwriting Agreement (Eop Operating LTD Partnership)
Partnership Classification. The Since their formation the Operating Partnership and each other subsidiary of the consolidated subsidiaries of Company or the Operating Partnership that are partnerships are is a partnership have been properly classified as partnerships, partnerships or disregarded entities and not as corporations or as associations taxable or publicly traded partnerships subject to tax as corporations, for federal income tax purposes throughout the period from their respective dates of formation through the date hereof, or, in the case of any such partnerships that have terminated, through the date of termination of such partnershipspurposes.
Appears in 3 contracts
Samples: Purchase Agreement (Plum Creek Timber Co Inc), Purchase Agreement (Plum Creek Timber Co Inc), Purchase Agreement (Plum Creek Timber Co Inc)
Partnership Classification. The Operating Partnership and each of the consolidated subsidiaries of the Operating Partnership Significant Subsidiaries that are partnerships are properly classified as partnerships, and not as corporations or as associations taxable as corporations, or as publicly traded partnerships taxable as corporations, for federal income tax purposes throughout the period from their respective dates of formation July 11, 1997 through the date hereof, or, in the case of any such Significant Subsidiary partnerships that have terminated, through the date of termination of such Significant Subsidiary partnerships.
Appears in 1 contract
Samples: Selling Agent Agreement (Eop Operating LTD Partnership)
Partnership Classification. The Operating Partnership and each of the consolidated subsidiaries of the Operating Partnership Subsidiaries that are partnerships are properly classified as partnerships, and not as corporations or as associations taxable as corporations, for federal Federal income tax purposes throughout the period from their respective dates of formation May 5, 1994 through the date hereof, or, in the case of any such Subsidiary partnerships that have terminated, through the date of termination of such Subsidiary partnerships.
Appears in 1 contract
Samples: Purchase Agreement (Crescent Real Estate Equities LTD Partnership)
Partnership Classification. The Since their formation the Operating Partnership and each other subsidiary of the consolidated subsidiaries of Company or the Operating Partnership that are partnerships are is a partnership have been properly classified as partnerships, partnerships or disregarded entities and not as corporations or as associations taxable subject to tax as corporations, for federal income tax purposes throughout the period from their respective dates of formation through the date hereof, or, in the case of any such partnerships that have terminated, through the date of termination of such partnershipspurposes.
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