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thereunder, in effect at the time of such actions, and that it will take or cause its officers, <br />employees or agents to take, all affirmative action within its power that may be necessary to <br />ensure that such interest will not become subject to taxation under the Code and applicable <br />Treasury Regulations, as presently existing or as hereafter amended and made applicable to the <br />Bonds. <br />7.02. (a) The City will comply with requirements necessary under the Code to <br />establish and maintain the exclusion from gross income of the interest on the Bonds under <br />Section 103 of the Code, including without limitation requirements relating to temporary periods <br />for investments and limitations on amounts invested at a yield greater than the yield on the <br />Bonds. <br />(b) For purposes of qualifying for the small issuer exception to the federal arbitrage <br />rebate requirements, the City finds, determines and declares that: <br />(i) each of the Refunded Bonds was issued as part of an issue which was <br />treated as meeting the rebate requirements by reason of the exception for <br />governmental units issuing $5,000,000 or less of bonds; <br />(ii) the average maturity of the Bonds does not exceed the remaining average <br />maturity of the Refunded Bonds; and <br />• (iii) no maturity of the Bonds has a maturity date which is later than the date <br />which is 30 years after the date the Refunded Bonds were issued. <br />7.03. The City further covenants not to use the proceeds of the Bonds or to cause or <br />permit them or any of them to be used, in such a manner as to cause the Bonds to be "private <br />activity bonds" within the meaning of Sections 103 and 141 through 150 of the Code. <br />• <br />7.04. In order to qualify the Bonds as "qualified tax- exempt obligations" within the <br />meaning of Section 265(b)(3) of the Code, the City makes the following factual statements and <br />representations: <br />(a) the Bonds are not "private activity bonds" as defined in Section 141 of the <br />Code; <br />(b) the City hereby designates the Bonds as "qualified tax - exempt <br />obligations" for purposes of Section 265(b)(3) of the Code; <br />(c) the reasonably anticipated amount of tax- exempt obligations (other than <br />any private activity bonds that are not qualified 501(c)(3) bonds) which will be issued by <br />the City (and all subordinate entities of the City) during calendar year 2010 will not <br />exceed $30,000,000; and <br />367721v 1 SJB LN 140 -106 <br />