Treatment of Securities Sample Clauses

Treatment of Securities. The Company will treat the Securities as indebtedness, and the amounts, other than payments of principal, payable in respect of the principal amount of such Securities as interest, for all U.S. federal income tax purposes. All payments in respect of the Securities will be made free and clear of U.S. withholding tax to any beneficial owner thereof that has provided an Internal Revenue Service Form W-9 or W-8BEN (or any substitute or successor form) establishing its U.S. or non-U.S. status for U.S. federal income tax purposes, or any other applicable form establishing a complete exemption from U.S. withholding tax.
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Treatment of Securities. The Company will treat the Securities as indebtedness, and the amounts payable in respect of the principal amount of such Securities as interest, for all U.S. federal income tax purposes. All payments in respect of the Securities will be made free and clear of U.S. withholding tax to any beneficial owner thereof that has provided an Internal Revenue Service Form W-8BEN (or any substitute or successor form) establishing its non-U.S. status for U.S. federal income tax purposes.
Treatment of Securities. The Company will treat the Securities as indebtedness, and the amounts (other than payments of principal) payable in respect of the principal amount of such Securities as interest, for all U.S. federal income tax purposes. All payments in respect of the Securities will be made free and clear of U.S. withholding tax to any beneficial owner thereof that has provided an Internal Revenue Service Form W-9 or W-8BEN (or any substitute or successor form) establishing its U.S. or non-U.S. status for U.S. federal income tax purposes.
Treatment of Securities. The Company will treat the Securities as indebtedness of the Company, and the amounts, other than payments of principal, payable in respect of the principal amount of such Securities as interest, for all U.S. federal income tax purposes.
Treatment of Securities. The Company will treat the Securities as indebtedness, and the amounts, other than payments of principal, payable in respect of the principal amount of such Securities as interest, for all U.S. federal income tax purposes. All payments in respect of the Securities will be made free and clear of U.S. withholding tax to any beneficial owner thereof that has provided an Internal Revenue Service Form W-9 or W-8BEN (or any substitute or successor form) establishing its U.S. or non-U.S. status for U.S. federal income tax purposes and establishing that no withholding is required for U.S. federal income tax purposes, or any other applicable form establishing an exemption from U.S. withholding tax.
Treatment of Securities. Notwithstanding any right such Shareholder may have under the Company Plans, or any treatment afforded any other holder of Company Options or Company Restricted Stock triggered by the Acceptance Time, as of the Offer Closing, Parent shall purchase the outstanding shares of Common Stock of such Shareholder that are subject to this Agreement and shall pay the Consideration to such Stockholder promptly following the consummation of the Offer and such Shareholder agrees to sell such shares of Common Stock subject to this Agreement to Parent as of the Offer Closing in exchange for the Consideration.
Treatment of Securities. The Company will treat the Securities as indebtedness, and the amounts, other than payments of principal, payable in respect of the principal amount of such Securities as interest, for all U.S. federal income tax purposes. All payments in respect of the Securities will be made free and clear of U.S. withholding tax to any beneficial owner thereof that has provided a properly completed and executed Internal Revenue Service Form W-9 or W-8BEN (or any substitute or successor form) claiming a complete exemption from U.S. withholding tax, or any other applicable form establishing a complete exemption from U.S. withholding tax. Except as provided for in Section 3.1(g), to the extent that the Company is required to withhold and pay over any amounts to any jurisdiction with respect to payments of principal of or interest on the Securities, the amount withheld shall be deemed to be a payment to the Holder of, or owner of a beneficial interest in, such Securities.
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Treatment of Securities. The Company will treat the Securities as indebtedness, and the amounts, other than payments of principal, payable in respect of the principal amount of such Securities as interest, for all United States federal income tax purposes. All payments in respect of the Securities will be made free and clear of United States withholding tax to any beneficial owner thereof that has provided an Internal Revenue Service Form W-9 or W-8BEN (or any substitute or successor form) establishing its U.S. or non-U.S. status for United States federal income tax purposes, or any other applicable form establishing a complete exemption from United States withholding tax.
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