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POST ISSUANCE The issuance of the Bonds will result in post -issuance compliance responsibilities. The <br />COMPLIANCE: responsibilities are in two primary areas: i) compliance with federal arbitrage requirements <br />and ii) compliance with secondary disclosure requirements. <br />Federal arbitrage requirements include a wide range of implications that have been taken <br />into account as this issue has been structured. Post -issuance compliance responsibilities <br />for this tax-exempt issue include both rebate and yield restriction provisions of the IRS <br />Code. In general terms the arbitrage requirements control the earnings on unexpended <br />bond proceeds, including investment earnings, moneys held for debt service payments <br />(which are considered to be proceeds under the IRS regulations), and/or reserves. Under <br />certain circumstances any "excess earnings" will need to be paid to the IRS to maintain the <br />tax-exempt status of the Bonds. Any interest earnings on gross bond proceeds or debt <br />service funds should not be spent until it has been determined based on actual facts that <br />they are not "excess earnings" as defined by the IRS Code. <br />The arbitrage rules provide for spend -down exceptions for proceeds that are spent within <br />either a 6-month, 18-month or, for certain construction issues, a 24-month period each in <br />accordance with certain spending criteria. Proceeds that qualify for an exception will be <br />exempt from rebate. These exceptions are based on actual expenditures and not based <br />on reasonable expectations, and expenditures, including any investment proceeds will <br />have to meet the spending criteria to qualify for the exclusion. The City expects to meet <br />the 18-month spending exception. <br />Regardless of whether the issue qualifies for an exemption from the rebate provisions, <br />yield restriction provisions will apply to Bond proceeds (including interest earnings) unspent <br />after three years and the debt service fund throughout the term of the Bonds. These <br />moneys should be monitored until the Bonds are retired. <br />Secondary disclosure requirements result from an SEC requirement that underwriters <br />provide ongoing disclosure information to investors. To meet this requirement, any <br />prospective underwriter will require the City to commit to providing the information needed <br />to comply under a continuing disclosure agreement. <br />Springsted currently provides both arbitrage and continuing disclosure services to the City. <br />Springsted will work with City staff to include the Bonds under the existing Agreement for <br />Municipal Advisor Services. <br />SUPPLEMENTAL <br />INFORMATION AND <br />BOND RECORD: <br />Supplementary information will be available to staff including detailed terms and conditions <br />of sale, comprehensive structuring schedules and information to assist in meeting post - <br />issuance compliance responsibilities. <br />Upon completion of the financing, a bond record will be provided that contains pertinent <br />documents and final debt service calculations for the transaction. <br />PURPOSE: Proceeds of the Bonds will be used to finance the following: <br />Street Reconstruction Portion — Costs associated with the City's 2018 street projects as <br />identified in the City's 2017-2021 Five Year Street Reconstruction Plan, including West <br />Shadow Lake Drive, Shadow Court, Sandpiper Drive, LaMotte Drive, and LaMotte Circle. <br />prin <br />West Shadow Utility Portion — Water and sewer utility improvements associated with the <br />West Shadow Lake Drive project. <br />e d Page 2 <br />