Non-Foreign Entity. Seller is not a “foreign person” or “foreign corporation” as those terms are defined in the Internal Revenue Code of 1986, as amended, and the regulations promulgated thereunder.
Non-Foreign Entity. Seller is not a "foreign person" within the meaning of Section 1445(f)(3) of the Internal Revenue Code.
Non-Foreign Entity. Seller is not a non-resident alien, foreign corporation, foreign partnership, foreign trust, or foreign estate for purposes of U.S. income taxation.
Non-Foreign Entity. Contributor is not a “foreign person” or pursuant to Section 1445 of the Code and the regulations promulgated thereunder.
Non-Foreign Entity. Seller shall execute and deliver to Buyer at Closing an affidavit as required by Internal Revenue Code Section 1445(b)(2) setting forth Seller's taxpayer identification number, Seller's address and stating that it is not a foreign person for purposes of that Section ("Non-Foreign Status Certification").
Non-Foreign Entity. Seller is not a "foreign person" or "foreign corporation" as those terms are defined in the Code and the regulations promulgated thereunder.
Non-Foreign Entity. Property Seller is a “United States person” (as defined in Section 7701(a)(30)(B) or (C) of the Code) for the purposes of the provisions of Section 1445(a) of the Code.
Non-Foreign Entity. EAGL is a “United States person” (as defined in Section 7701(a)(30)(B) or (C) of the Code) for the purposes of the provisions of Section 1445(a) of the Code.
Non-Foreign Entity. Harsimus is not a “foreign person” (within the meaning of Section 1445(f)(3) of the Code).
Non-Foreign Entity. Columbia is not a “foreign person” (within the meaning of Section 1445(f)(3) of the Code).