TRA Waiver and Assignment AgreementTra Waiver and Assignment Agreement • March 16th, 2018 • Surgery Partners, Inc. • Services-general medical & surgical hospitals, nec • New York
Contract Type FiledMarch 16th, 2018 Company Industry JurisdictionThis TRA waiver and assignment agreement (this "Agreement"), dated as of September 15, 2017, is hereby entered into by and among Surgery Partners, Inc., a Delaware corporation (the "Corporation"), and [•] ("Employee"). Reference is hereby made to that certain Income Tax Receivable Agreement, by and among the Corporation, the Stockholders Representative, Employee and the other parties referred to therein, dated as of September 30, 2015 and amended by that certain Amendment No. 1 to Income Tax Receivable Agreement dated as of May 9, 2017 (as amended or otherwise modified, the "Tax Receivable Agreement"). All capitalized terms used and not otherwise defined herein shall have the meanings ascribed thereto in the Tax Receivable Agreement. In consideration of the respective covenants and agreements set forth herein, and intending to be legally bound hereby, the parties hereto agree as follows:
TRA Waiver and Assignment AgreementTra Waiver and Assignment Agreement • September 8th, 2017 • Surgery Partners, Inc. • Services-general medical & surgical hospitals, nec • New York
Contract Type FiledSeptember 8th, 2017 Company Industry JurisdictionThis TRA waiver and assignment agreement (this “Agreement”), dated as of September 8, 2017, is hereby entered into by and among Surgery Partners, Inc., a Delaware corporation (the “Corporation”), and Michael T. Doyle, the Makayla Doyle 2012 Irrevocable Trust under agreement dated July 20, 2012, the Michael Doyle 2012 Irrevocable Trust under agreement dated July 20, 2012 and the Mason Doyle 2012 Irrevocable Trust under agreement dated July 20, 2012 (each, a “Doyle Party” and, collectively, the “Doyle Parties”). Reference is hereby made to that certain Income Tax Receivable Agreement, by and among the Corporation, the Stockholders Representative, the Doyle Parties and the other parties referred to therein, dated as of September 30, 2015 and amended by that certain Amendment No. 1 to Income Tax Receivable Agreement dated as of May 9, 2017 (as amended or otherwise modified, the “Tax Receivable Agreement”). All capitalized terms used and not otherwise defined herein shall have the meanings