Coudert Brothers LLP Letterhead] April 7, 2005 Urstadt Biddle Properties Inc. 321 Railroad Avenue Greenwich, Connecticut 06830 Urstadt Biddle Properties Inc. ------------------------------ Qualification as Real Estate Investment Trust...Legal Opinion • April 11th, 2005 • Urstadt Biddle Properties Inc • Real estate investment trusts
Contract Type FiledApril 11th, 2005 Company Industry
CHOATE, HALL & STEWART A PARTNERSHIP INCLUDING PROFESSIONAL CORPORATIONS EXCHANGE PLACE 53 STATE STREET BOSTON, MASSACHUSETTS 02109-2891 TELEPHONE (617) 248-5000 FACSIMILE (617) 248-4000 TELEX 49615860Legal Opinion • September 4th, 1998 • Sycamore Park Convalescent Hospital • Services-skilled nursing care facilities
Contract Type FiledSeptember 4th, 1998 Company IndustryYou have requested our opinion regarding the discussion of the material United States federal income tax considerations under the heading "Material Federal Income Tax Consequences" in the Prospectus (the "Prospectus") included in the Registration Statement on Form S-4, File No. 333-57279, originally filed by Fountain View, Inc., a Delaware corporation (the "Company") on June 19, 1998 (as amended, the "Registration Statement") with the Securities and Exchange Commission (the "Commission") under the Securities Act of 1933, as amended (the "Securities Act"). The Prospectus relates to the offer made by the Company to exchange an aggregate amount at maturity of up to $120,000,000 of the 11 1/4% Senior Subordinated Notes Due 2008 of the Company (the "Exchange Notes") for a like principal amount of the Company's issued and outstanding 11 1/4% Senior Subordinated Notes Due 2008, previously sold pursuant to Rule 144A (the "Outstanding Notes"). This opinion is delivered in accordance with the re
CHOATE, HALL & STEWART A PARTNERSHIP INCLUDING PROFESSIONAL CORPORATIONS EXCHANGE PLACE 53 STATE STREET BOSTON, MASSACHUSETTS 02109-2891 TELEPHONE (617) 248-5000 FACSIMILE (617) 248-4000 August 25, 1998Legal Opinion • August 25th, 1998 • Sycamore Park Convalescent Hospital • Services-skilled nursing care facilities
Contract Type FiledAugust 25th, 1998 Company IndustryYou have requested our opinion regarding the discussion of the material United States federal income tax considerations under the heading "Material Federal Income Tax Consequences" in the Prospectus (the "Prospectus") included in the Registration Statement on Form S-4, File No. 333-57279 (as amended, the "Registration Statement"), filed by Fountain View, Inc., a Delaware corporation (the "Company') on August 5, 1998 with the Securities and Exchange Commission (the "Commission") under the Securities Act of 1933, as amended (the "Securities Act"). The Prospectus relates to the offer, made by the Company, to exchange an aggregate amount at maturity of up to $120,000,000 of the 11 1/4% Senior Subordinated Notes Due 2008 of the Company (the "Exchange Notes") for a like principal amount of the Company's issued and outstanding 11 1/4% Senior Subordinated Notes Due 2008, previously sold pursuant to Rule 144A (the "Outstanding Notes"). This opinion is delivered in accordance with the requiremen
Weil, Gotshal & Manges LLP A limited liability partnership including professional corporations 767 Fifth Avenue, New York, NY 10153-0019 (212) 310-8000 FAX: (212) 310-8007 January 23, 1997Legal Opinion • January 23rd, 1997 • Penney J C Co Inc • Retail-department stores
Contract Type FiledJanuary 23rd, 1997 Company Industry