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07/24/2006 Council Packet
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07/24/2006 Council Packet
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City Council
Council Document Type
Council Packet
Meeting Date
07/24/2006
Council Meeting Type
Regular
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Kennedy <br />Graven <br />CHARTERED <br />470 Pillsbury Center <br />200 South Sixth Street <br />Minneapolis MN 55402 <br />(612) 337 -9300 telephone <br />(612) 337 -9310 fax <br />http://www.kennedy-graven.com <br />$570,000 <br />General Obligation Utility Revenue Bonds, Series 2006D <br />City of Lino Lakes <br />Anoka County, Minnesota <br />We have acted as bond counsel to the City (the "Issuer ") in connection with the issuance by the <br />Issuer of its General Obligation Utility Revenue Bonds, Series 2006D, (the "Bonds "), originally dated as of <br />August 15, 2006, and issued in the original aggregate principal amount of $570,000. In such capacity and for the <br />purpose of rendering this opinion we have examined certified copies of certain proceedings, certifications and <br />other documents, and applicable laws as we have deemed necessary. Regarding questions of fact material <br />to this opinion, we have relied on certified proceedings and other certifications of public officials and <br />other documents furnished to us without undertaking to verify the same by independent investigation. <br />Under existing laws, regulations, rulings and decisions in effect on the date hereof, and based on the foregoing we <br />are of the opinion that: <br />1.The Bonds have been duly authorized and executed, and are valid and binding general obligations of the <br />Issuer, enforceable in accordance with their terms. <br />2. The principal of and interest on the Bonds are payable from net revenues of the sewer and water system <br />of the Issuer, but if necessary for the payment thereof, ad valorem taxes are required by law to be levied on all <br />taxable property in the Issuer, which taxes are not subject to any limitation as to rate or amount. <br />3.Interest on the Bonds is excludable from gross income of the recipient for federal income tax purposes <br />and, to the same extent, is excludable from taxable net income of individuals, trusts, and estates for Minnesota <br />income tax purposes, and is not a preference item for purposes of the computation of the federal alternative <br />minimum tax, or the computation of the Minnesota alternative minimum tax imposed on individuals, trusts and <br />estates. However, such interest is taken into account in determining adjusted current earnings for the purpose <br />of computing the federal alternative tax imposed on certain corporations and is subject to Minnesota <br />franchise taxes on corporations (including financial institutions) measured by income and the alternative minimum <br />tax base. The opinion set forth in this paragraph is subject to the condition that the Issuer comply with all <br />requirements of the Internal Revenue Code of 1986, as amended, that must be satisfied subsequent to the issuance <br />of the Bonds in order that interest thereon be, or continue to be, excludable from gross income for federal and <br />Minnesota income tax purposes. The Issuer has covenanted to comply with all such requirements. Failure to <br />comply with certain of such requirements may cause interest on the Bonds to be included in gross income for <br />federal and Minnesota income tax purposes retroactively to the date of issuance of the Bonds. We express no <br />opinion regarding tax consequences arising with respect to the Bonds other than as expressly set forth herein. <br />4.The rights of the owners of the Bonds and the enforceability of the Bonds may be limited by <br />bankruptcy, insolvency, reorganization, moratorium, and other similar laws affecting creditor's rights generally <br />and by equitable principles, whether considered at law or in equity. <br />We have not been asked and have not undertaken to review the accuracy, completeness or sufficiency of <br />the Official Statement or other offering material relating to the Bonds, and accordingly we express no opinion <br />with respect thereto. <br />
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