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<br />~. <br /> <br />e <br /> <br />permit the Improvements to be used, or to enter into any deferred <br />payment arrangements for the cost of the Improvements, in such a <br />manner as to cause the Bonds to be "private activity bonds" <br />within the meaning of sections 103 and 141 through 150 of the <br />Code. <br /> <br />e <br /> <br />24. Tax-Exemot Status of the Bonds: Rebate. The City <br />shall comply with requirements necessary under the Code to <br />establish and maintain the exclusion from gross income under <br />Section 103 of the Code of the interest on the Bonds, including <br />without limitation (1) requirements relating to temporary periods <br />for investments, (2) limitations on amounts invested at a yield <br />greater than the yield on the Bonds, and (3) the rebate of excess <br />investment earnings to the United States if the Bonds (together <br />with other obligations reasonably expected to be issued and <br />outstanding at one time in this calendar year) exceed the <br />small-issuer exception amount of $5,000,000. For purposes of <br />qualifying for the small issuer exception to the federal <br />arbitrage rebate requirements, the City hereby finds, determines <br />and declares that (1) the Bonds are issued by a governmental unit <br />with general taxing powers, (2) no Bond is a private activity <br />bond, (3) ninety-five percent (95%) or more of the net proceeds <br />of the Bonds are to be used for local governmental activities of <br />the City (or of a governmental unit the jurisdiction of which is <br />entirely within the jurisdiction of the City), and (4) the <br />aggregate face amount of all tax-exempt obligations (other than <br />private activity bonds) issued by the City (and all entities <br />subordinate to, or treated as one issuer with, the City) during <br />the 1994 calendar year is not reasonably expected to exceed <br />$5,000,000, all within the meaning of Section 148(f) (4) (D) of the <br />Code. <br /> <br />25. Oesianation of Oualified Tax-Exempt Obliaations. <br />In order to qualify the Bonds as "qualified tax-exempt <br />Obligations" within the meaning of Section 265(b) (3) of the Code, <br />the City hereby makes the following factual statements and <br />representations: <br /> <br />(a) the Bonds are issued after August 7, 1986; <br /> <br />(b) the Bonds are not "private activity bonds" as <br />defined in Section 141 of the Code; <br /> <br />(e) the City hereby designates the Bonds as "qualified <br />tax-exempt obligations" for purposes of Section 265(b) (3) of <br />the Code; <br /> <br />(d) the reasonably anticipated amount of tax-exempt <br />obligations (other than private activity bonds, treating <br /> <br />e <br /> <br />244882 <br /> <br />28 <br />