TAX SHARING AGREEMENT by and among POTLATCH CORPORATION, POTLATCH FOREST HOLDINGS, INC., POTLATCH LAND & LUMBER, LLC, and CLEARWATER PAPER CORPORATION Dated as of December 15, 2008Tax Sharing Agreement • December 18th, 2008 • Clearwater Paper Corp • Paperboard mills • Washington
Contract Type FiledDecember 18th, 2008 Company Industry JurisdictionThis Tax Sharing Agreement (this “Agreement”) is dated as of December 15, 2008, by and among Potlatch Corporation, a Delaware corporation (“Potlatch”), Potlatch Forest Holdings, Inc., a Delaware corporation and wholly owned subsidiary of Potlatch (“Holdings”), Clearwater Paper Corporation f/k/a Potlatch Forest Products Corporation, a Delaware corporation and currently a direct, wholly owned subsidiary of Potlatch (“Clearwater”), and Potlatch Land & Lumber, LLC, a Delaware limited liability company and currently a direct, wholly owned subsidiary of Clearwater (“RetainCo,” and together with Potlatch, Holdings, and Clearwater, the “Parties,” with each sometimes referred to herein as a “Party”).
TAX SHARING AGREEMENT by and among POTLATCH CORPORATION, POTLATCH FOREST HOLDINGS, INC. POTLATCH LAND & LUMBER, LLC, and CLEARWATER PAPER CORPORATION Dated as of , 2008Tax Sharing Agreement • October 10th, 2008 • Potlatch Forest Products CORP • Paperboard mills • Washington
Contract Type FiledOctober 10th, 2008 Company Industry JurisdictionThis Tax Sharing Agreement (this “Agreement”) is dated as of [-], 2008, by and among Potlatch Corporation, a Delaware corporation (“Potlatch”), Potlatch Forest Holdings, Inc., a Delaware corporation and wholly owned subsidiary of Potlatch (“Holdings”), Clearwater Paper Corporation f/k/a Potlatch Forest Products Corporation, a Delaware corporation and currently a direct, wholly owned subsidiary of Holdings (“Clearwater”), and Potlatch Land & Lumber, LLC, a Delaware limited liability company and currently a direct, wholly owned subsidiary of Clearwater (“RetainCo,” and together with Potlatch, Holdings, and Clearwater, the “Parties,” with each sometimes referred to herein as a “Party”).