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#09 - 2024A Bond Sale
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#09 - 2024A Bond Sale
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8/4/2025 4:36:30 PM
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8/16/2024 2:28:55 PM
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LA515-142-950087.v1 <br />the Internal Revenue Code of 1986, as amended (the “Code”), and the Treasury Regulations promulgated thereunder, in effect at the time of such actions, and that it will take or cause its <br />officers, employees or agents to take, all affirmative action within its power that may be necessary <br />to ensure that such interest will not become subject to taxation under the Code and applicable Treasury Regulations, as presently existing or as hereafter amended and made applicable to the Bonds. To that end, the City will comply with all requirements necessary under the Code to establish and maintain the exclusion from gross income of the interest on the Bonds under Section <br />103 of the Code, including without limitation requirements relating to temporary periods for <br />investments, and limitations on amounts invested at a yield greater than the yield on the Bonds. 6.02. Rebate. The City will comply with requirements necessary under the Code to establish and maintain the exclusion from gross income of the interest on the Bonds under Section <br />103 of the Code, including without limitation requirements relating to temporary periods for <br />investments, limitations on amounts invested at a yield greater than the yield on the Bonds, and the rebate of excess investment earnings to the United States (unless the City qualifies for any exception from the rebate requirements based on timely expenditure of proceeds of the Bonds, in accordance with the Code and applicable Treasury Regulations). <br /> <br />6.03. Not Private Activity Bonds. The City further covenants not to use the proceeds of the Bonds or the facilities financed thereby or to cause or permit them or any of them to be used, in such a manner as to cause the Bonds to be “private activity bonds” within the meaning of Sections 103 and 141 through 150 of the Code. <br />6.04. Qualified Tax Exempt Obligations. In order to qualify the Bonds as “qualified tax- <br />exempt obligations” within the meaning of Section 265(b)(3) of the Code, the City makes the following factual statements and representations: (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 obligations” for purposes of Section 265(b)(3) of the Code; <br />(c) the reasonably anticipated amount of tax-exempt obligations (other than <br />private activity bonds that are not qualified 501(c)(3) bonds) which will be issued by the City (and all subordinate entities of the City) during calendar year 2024 will not exceed $10,000,000; and <br />(d) not more than $10,000,000 of obligations issued by the City during calendar <br />year 2024 have been designated for purposes of Section 265(b)(3) of the Code. 6.05. Procedural Requirements. The City will use its best efforts to comply with any federal procedural requirements which may apply in order to effectuate the designations made by <br />this section. <br />
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