TAX CERTIFICATE AND AGREEMENTTax Certificate and Agreement • April 5th, 2013
Contract Type FiledApril 5th, 2013*In general, the Authority’s obligations pursuant to the Tax Certificate should be limited. The Authority should make no covenants that are not required by the Internal Revenue Code to be made by the Authority. All required covenants should have equivalent covenants by the Borrower and indicate that the Authority is relying on the Borrower to actually perform those convenants (except to the extent the Internal Revenue Code expressly prohibits such reliance or such reliance is impossible based on the particulars of the Internal Revenue Code requirement (e.g. filing 8038 forms)). Any representations of the Authority should be made in reliance upon information provided by other parties (except the Authority can provide independently representations as to its governmental character or on such subjects as tax counsel indicates the Internal Revenue Code does not permit reliance). Tax counsel should indicate to the Authority each instance of a covenant or representation that the Authority is
TAX CERTIFICATE AND AGREEMENTTax Certificate and Agreement • May 7th, 2021
Contract Type FiledMay 7th, 2021To the best of the knowledge and belief of the undersigned representative of the Authority, there are no other facts, estimates or circumstances that would materially change the expectations that are expressly stated to be the expectations of the Authority as set forth herein.
TAX CERTIFICATE AND AGREEMENTTax Certificate and Agreement • January 13th, 2021
Contract Type FiledJanuary 13th, 2021Re: $10,000,000 maximum principal amount Master Agreement, of even date, by Cadence Bank, National Association, as lessor, and the Huntsville City Board of Education, as lessee
TAX CERTIFICATE AND AGREEMENTTax Certificate and Agreement • October 4th, 2013
Contract Type FiledOctober 4th, 2013Purpose of Tax Agreement. The Issuer, the Borrower and the Trustee are delivering this Tax Agreement to Graves, Horton, Askew & Johns, LLC, Bond Counsel, with the understanding and acknowledgment that Bond Counsel will rely upon this Tax Agreement in rendering its opinion that interest on the Issue is excluded from gross income for federal income tax purposes under Section 103(a) of the Internal Revenue Code of 1986, as amended (the “Code”).
TAX CERTIFICATE AND AGREEMENTTax Certificate and Agreement • April 20th, 2017
Contract Type FiledApril 20th, 2017Re: $10,000,000 maximum principal amount Master Agreement, of even date, by Cadence Bank, National Association, as lessor, and the Huntsville City Board of Education, as lessee
ECONOMIC DEVELOPMENT AUTHORITY OF ALBEMARLE COUNTY, VIRGINIA Residential Care Facility Mortgage Revenue Refunding Bond (Westminster-Canterbury of the Blue Ridge), Series 2016B TAX CERTIFICATE AND AGREEMENTTax Certificate and Agreement • October 14th, 2020
Contract Type FiledOctober 14th, 2020THIS TAX CERTIFICATE AND AGREEMENT (this "Tax Certificate"), by and between the Economic Development Authority of Albemarle County, Virginia (the "Issuer"), a political subdivision of the Commonwealth of Virginia, and Westminster-Canterbury of the Blue Ridge (the "Borrower"), a nonstock, not-for-profit corporation duly incorporated and validly existing under and by virtue of the laws of the Commonwealth of Virginia, is being entered into in connection with the issuance of the Issuer's Residential Care Facility Mortgage Revenue Refunding Bond (Westminster-Canterbury of the Blue Ridge), Series 2016BA (the "Series 2016B Bond").