Tax Status of Flow-Through Subscriber. If the Subscriber is a partnership, a limited liability company treated as a partnership (or as a disregarded entity) for United States federal income tax purposes, a grantor trust (within the meaning of §§671-679 of the United States Internal Revenue Code of 1986, as amended (the “Code”)) or an S corporation (within the meaning of Code §1361) (each a “flow-through entity”), the Subscriber represents and warrants that either:
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Samples: Subscription Agreement (Canada Pension Plan Investment Board), Subscription Agreement (BlackRock Inc.), Subscription Agreement (Energy Capital Partners Iii, Lp)
Tax Status of Flow-Through Subscriber. If the Subscriber is a partnership, a limited liability company treated as a partnership (or as a disregarded entity) for United States federal income tax purposes, a grantor trust (within the meaning of §§Sections 671-679 of the United States Internal Revenue Code of 1986, as amended (the “"Code”")) or an S corporation (within the meaning of Code §1361) (each a “"flow-through entity”"), the Subscriber represents and warrants that either:
Appears in 1 contract
Samples: Agreement
Tax Status of Flow-Through Subscriber. If the Subscriber is a partnership, a limited liability company treated as a partnership (or as a disregarded entity) for United States federal income tax purposes, a grantor trust (within the meaning of §§671-679 of the United States Internal Revenue Code of 1986, as amended (the “"Code”")) or an S corporation (within the meaning of Code §13611361 of the Code) (each a “flow"Flow-through entity”Through Entity"), the Subscriber represents and warrants that either:
Appears in 1 contract
Samples: Agreement
Tax Status of Flow-Through Subscriber. If the Subscriber is a partnership, a limited liability company treated as a partnership (or as a disregarded entity) for United States U.S. federal income tax purposes, a grantor trust (within the meaning of §§Sections 671-679 of the United States U.S. Internal Revenue Code of 1986, as amended (the “"Code”")) or an S corporation (within the meaning of Code §1361) (each a “"flow-through entity”"), the Subscriber represents and warrants that either:
Appears in 1 contract
Samples: jsg.legis.state.pa.us
Tax Status of Flow-Through Subscriber. If the Subscriber is a partnership, a limited liability company treated as a partnership (or as a disregarded entity) for United States federal income tax purposes, a grantor trust (within the meaning of §§Sections 671-679 of the United States Internal Revenue Code of 1986, as amended (the “Code”)) or an S corporation (within the meaning of Code §1361) (each a “flow-through entity”), the Subscriber represents and warrants that either:
Appears in 1 contract
Samples: jsg.legis.state.pa.us