Investor Opinion definition

Investor Opinion means a written opinion (addressed to the Agents, the Issuing Bank and the Lenders) of counsel to an Investor, substantially in the form of Exhibit J and otherwise acceptable to the Agent, and covering such other matters relating to the Investor, the Loan Documents, the Investor's Constituent Documents, or the Transactions as the Agent or the Required Lenders shall reasonably request.
Investor Opinion means a written opinion (addressed to Administrative Agent, the Letter of Credit Issuer, and the Lenders) of counsel to an Investor, substantially in the form of EXHIBIT L and otherwise acceptable to Administrative Agent, and covering such other matters relating to the Investor, the Loan Documents, the Investor's Constituent Documents, or the transactions contemplated hereby as the Administrative Agent or Required Lenders may reasonably request.
Investor Opinion means a written opinion of counsel to the Investor (which may include its internal counsel) addressed to the Administrative Agent, substantially in the form of Exhibit L and otherwise acceptable to the Administrative Agent, or such other evidence of authority as acceptable to the Administrative Agent in its sole discretion, covering such matters relating to the Investor, its Investor Consent, the Equity Commitment Agreement and/or the Borrower’s Constituent Documents or the transactions contemplated by any of the foregoing, as the Administrative Agent shall reasonably request; provided that if (i) an opinion furnished by counsel to the Investor does not address the enforceability of its Investor Consent, the Equity Commitment Agreement and/or the Borrower’s Constituent Documents but is otherwise acceptable to the Administrative Agent, and (ii) counsel to the Borrower provides an opinion as to such enforceability in form and substance acceptable to the Administrative Agent, then the term “Investor Opinion” shall include such combined opinions of counsel to the Investor and counsel to the Borrower.

Examples of Investor Opinion in a sentence

  • According to Global Investor Opinion Survey (McKinsey, 2002), 15% of European institutional investors consider corporate governance to be more important than financial issues such as profit performance or growth potential.

  • The views of investors expressed through this dialogue, and through the Annual Audit of Investor Opinion (referred to in more detail on page 58), are communicated to the Board as a whole, so that all Directors can develop a balanced understanding of the issues and concerns of major shareholders.

  • Global Investor Opinion Survey on Corporate Governance: Key Findings.

  • The other route was that members of one society spurred trade with another society by guaranteeing the moral behavior of its members to the members of the other society (ORMROD, 2003).

  • The Investor Opinion Survey published in June 2000 by McKinsey & Co., working with Institutional Investors Inc., found that good governance could be quantified and was significant.

  • The information we need to approve a course is: course title, course provider, a copy of the course agenda, the course syllabus or curriculum, the number ofclassroom hours, when and where the course will be offered, and information on the instructor’s qualifications.

  • As was highlighted in the Global Investor Opinion Survey (MCKinsey and Company, 2002), corporate governance is a significant investment criterion.

  • As was highlighted in the Global Investor Opinion Survey (MCKinsey and Company, 2002), corporate governance performance is a significant investment criterion—investors have higher confidence in companies with good corporate governance (Clarke, 2007) and they will increase financing to these companies.

  • In the same vein the McKinsey ‘Global Investor Opinion Survey’ (2002) shows that 15 per cent of European institutional investors consider corporate governance to be more important than a firm’s financial issues, such as profit performance or growth potential in their investment decisions.

  • The Global Investor Opinion Survey on Corporate Governance found that 73-78% of investors would be willing to pay a higher share price and that 57% would change their holdings for a well governed company (McKinsey & Company, 2002).


More Definitions of Investor Opinion

Investor Opinion means a written opinion (addressed to the Administrative Agent) of counsel to an Investor, in the form of Exhibit L (or such other evidence of authority as acceptable to the Administrative Agent in its sole discretion) and otherwise acceptable to the Administrative Agent, covering such matters relating to the Investor, its Subscription Agreement, its Investor Consent, the applicable Constituent Documents, any Credit Link Documents or the transactions contemplated by any of the foregoing, as the Administrative Agent shall reasonably request; provided that if (i) an opinion furnished by counsel to an Investor does not address the enforceability 703041399 12410180 21 of such Investor’s Subscription Agreement, Investor Consent, any Credit Link Documents or any of the Constituent Documents of the applicable Credit Party but is otherwise acceptable to the Administrative Agent, and (ii) counsel to the Borrowers provides an opinion as to such enforceability in form and substance acceptable to the Administrative Agent, then the term “Investor Opinion” shall include such combined opinions of counsel to the Investor and counsel to the Borrowers.

Related to Investor Opinion

  • Second opinion means an opportunity or requirement to obtain a clinical evaluation by a provider other than the one originally making a recommendation for a proposed health service to assess the clinical necessity and appropriateness of the initial proposed health service.

  • Initial Certificate Transfer Opinion means an opinion rendered by nationally recognized tax counsel (i) upon the initial transfer by the Depositor of a Certificate that results in the Issuer being treated as a partnership for United States federal income tax purposes and (ii) while any Note retained by the Issuer or a Person that is considered the same Person as the Issuer for United States federal income tax purposes is outstanding that (x) such Note will be debt for United States federal income tax purposes or (y) the transfer by the Depositor of such Certificate will not cause the Issuer to be treated as an association or publicly traded partnership taxable as a corporation.

  • Favorable Opinion of Bond Counsel means an opinion or opinions of nationally recognized bond counsel to the effect that the action proposed to be taken is authorized or permitted by the Certificate and will not adversely affect the exclusion of interest on the Bonds from gross income for purposes of federal income taxation.

  • Fairness Opinion has the meaning set forth in Section 4.22.

  • Unqualified Opinion means an opinion on financial statements from an independent certified public accounting firm acceptable to the Required Purchasers in their reasonable discretion which opinion shall not include any qualifications or any going concern limitations other than customary qualifications related to negative profits and debt maturities within one year of applicable maturity date.

  • Nondisqualification Opinion An Opinion of Counsel, prepared at the Trust’s expense and payable from the Collection Account, that a contemplated action will not cause (i) either the Lower-Tier REMIC or the Upper-Tier REMIC to fail to qualify as a REMIC or (ii) a “prohibited transaction” or “prohibited contributions” tax to be imposed on either the Lower-Tier REMIC or the Upper-Tier REMIC at any time that any Certificates are outstanding.

  • Withdrawal Opinion of Counsel has the meaning assigned to such term in Section 11.1(b).

  • REMIC Opinion An Independent Opinion of Counsel, to the effect that the proposed action described therein would not, under the REMIC Provisions, (i) cause any REMIC created hereunder to fail to qualify as a REMIC while any regular interest in such REMIC is outstanding, (ii) result in a tax on prohibited transactions with respect to any REMIC created hereunder or (iii) constitute a taxable contribution to any REMIC created hereunder after the Startup Day.

  • Investment Representation Letter As defined in Section 5.02(b).

  • Opinion of Bond Counsel means a written opinion of Bond Counsel.

  • Benefit Plan Opinion With respect to any Certificate presented for registration in the name of any Person, an Opinion of Counsel acceptable to and in form and substance satisfactory to the Trustee and the Company to the effect that the purchase or holding of such Certificate is permissible under applicable law, will not constitute or result in a non-exempt prohibited transaction under Section 406 of ERISA or Section 4975 of the Code, and will not subject the Trust, the Trustee, the Delaware Trustee, the Master Servicer or the Company to any obligation or liability (including obligations or liabilities under Section 406 of ERISA or Section 4975 of the Code) in addition to those undertaken in this Agreement, which Opinion of Counsel shall not be an expense of the Trust, the Trustee, the Delaware Trustee, the Master Servicer or the Company.

  • Opinion means a written, nonbinding, and advisory statement issued by the commission concerning an interpretation of the meaning of the codes or the application of the codes in a specific circumstance issued in response to a specific request by a party to the issue.

  • Legal Opinion means any legal opinion delivered to the Agent under Clause 4.1 (Initial conditions precedent) or Clause 29 (Changes to the Obligors).

  • Investor Letter means that certain Investor Letter, substantially in the form attached hereto as Exhibit B.

  • Tax Opinion means, with respect to any action, an Opinion of Counsel to the effect that, for federal income tax purposes, (a) such action will not cause the Notes of any outstanding class of Notes that were characterized as debt at the time of their issuance to be characterized as other than debt, (b) such action will not cause the Trust to be deemed to be an association (or publicly traded partnership) taxable as a corporation and (c) such action will not cause or constitute an event in which gain or loss would be recognized by any Holder.

  • Representation Letter Letters to, or agreements with, the Depository to effectuate a book entry system with respect to the Class A Certificates registered in the Register under the nominee name of the Depository.

  • Additional Purchasers means purchasers of Additional Notes.

  • Representation Letters means the representation letters and any other materials (including, without limitation, a Ruling Request and any related supplemental submissions to the IRS) delivered or deliverable by, or on behalf of, Parent, SpinCo and others in connection with the rendering by Tax Advisors and/or the issuance by the IRS of the Tax Opinions/Rulings.

  • NRSRO Certification A certification executed by a NRSRO in favor of the Issuer and the Information Agent that states that such NRSRO has provided the Issuer with the appropriate certifications under Exchange Act Rule 17g-5(a)(3)(iii)(B) and that such NRSRO has access to the 17g-5 Website.

  • Fairness Opinions means the opinions of the Financial Advisors to the effect that, as of the date of such opinion and based upon and subject to the assumptions, procedures, factors, limitations and qualifications set forth therein, the Consideration to be received by the Company Shareholders under the Arrangement is fair, from a financial point of view, to such Company Shareholders.

  • Back-Up Certification As defined in Section 13.06.

  • Debt-For-Tax Opinion means an Opinion of Counsel, of nationally recognized tax counsel, delivered to the Depositor and the Indenture Trustee stating that the Notes specified therein will be debt for United States federal income tax purposes.

  • Issuer Tax Opinion means with respect to any action, an Opinion of Counsel to the effect that, for federal income tax purposes and subject to customary assumptions and qualifications for opinions of this type, (a) such action will not adversely affect the tax characterization as debt of any Notes that were characterized as debt at the time of their issuance, and (b) following such action neither the Issuer nor the Titling Trust will be treated as an association (or publicly traded partnership) taxable as a corporation.

  • Non-Consolidation Opinion means that certain substantive non-consolidation opinion delivered to Lender in connection with the closing of the Loan.

  • Additional Insolvency Opinion shall have the meaning set forth in Section 4.1.30(c) hereof.

  • Bond Counsel means an attorney or firm of attorneys of nationally recognized standing on the subject of municipal bonds satisfactory to the Director.