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2016-147 Council Resolution
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2016-147 Council Resolution
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City Council
Council Document Type
Resolutions
Meeting Date
10/24/2016
Council Meeting Type
Regular
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meaning of Section 141 of the Code, other than "qualified 501(c)(3) bonds" within the meaning of <br />Section 145 of the Code. The YMCA will not take any action or authorize any action to be taken in <br />connection with the application or investment of the proceeds of the Bonds or any related activity which <br />would cause the Bonds to be deemed to be "arbitrage bonds," within the meaning of Section 148 of the <br />Code. Furthermore, the YMCA will take all such actions as may be required under the Code to ensure <br />that interest on the Bonds is not and does not become includable in gross income for federal income tax <br />purposes. <br />7.03. Costs of Issuance. No more than two percent (2%) of the proceeds of the Bonds will be <br />used for the costs of issuing the Bonds. <br />7.04. Rebate. The City, and the YMCA pursuant to the YMCA Tax Certificate, will comply with <br />requirements necessary under the Code to establish and maintain the exclusion from gross income of the <br />interest on the Bonds under Section 103 of the Code, including without limitation requirements relating to <br />temporary periods for investments, limitations on amounts invested at a yield greater than the yield on the <br />Bonds, and the rebate of excess investment earnings to the United States. <br />7.05. Qualified Tax -Exempt Obligations. In order to qualify the Bonds as "qualified <br />tax-exempt obligations" within the meaning of Section 265(b)(3) of the Code, the City makes the <br />following factual statements and representations: <br />(a) the Bonds are qualified 501(c)(3) bonds as defined in Section 145 of the Code; <br />(b) the City hereby designates the Bonds as "qualified tax-exempt obligations" for <br />purposes of Section 265(b)(3) of the Code; <br />(c) the reasonably anticipated amount of tax-exempt obligations (other than any <br />private activity bonds that are not qualified 501(c)(3) bonds) which will be issued by the City <br />(and all subordinate entities of the City) during calendar year 2016 will not exceed $10,000,000; <br />and <br />(d) not more than $10,000,000 of obligations issued by the City during calendar year <br />2016 have been designated for purposes of Section 265(b)(3) of the Code. <br />7.06. Procedural Requirements. The City will use its best efforts to comply with any federal <br />procedural requirements which may apply in order to effectuate the designations made by this section. <br />Section 8. Book -Entry System; Limited Obligation of City. <br />8.01. The Depository Trust Company. The Bonds will be initially issued in the form of a <br />separate single typewritten or printed fully registered Bond for each of the maturities set forth in <br />Section 1.04 hereof. Upon initial issuance, the ownership of each Bond will be registered in the <br />registration books kept by the Registrar in the name of Cede & Co., as nominee for The Depository Trust <br />Company, New York, New York, and its successors and assigns ("DTC"). Except as provided in this <br />section, all of the outstanding Bonds will be registered in the registration books kept by the Registrar in <br />the name of Cede & Co., as nominee of DTC. <br />8.02. Participants. With respect to Bonds registered in the registration books kept by the <br />Registrar in the name of Cede & Co., as nominee of DTC, the City, the Registrar and the Paying Agent <br />will have no responsibility or obligation to any broker dealers, banks and other financial institutions from <br />time to time for which DTC holds Bonds as securities depository (the "Participants") or to any other <br />486866v2 JAE LN140-117 <br />8 <br />
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