Laserfiche WebLink
in the Loan Agreement, regardless of whether the Bonds are issued or the Project proceeds to <br /> completion. <br /> 11. Headings; Terms. Paragraph headings in this Resolution are for convenience of <br /> reference only and are not a part hereof, and shall not limit or define the meaning of any provision <br /> hereof. Capitalized terms used but not defined herein shall have the meanings given them in the <br /> Indenture and Loan Agreement. <br /> 12. Qualified Tax Exempt Obligation. In order to qualify the Bonds as "qualified tax- <br /> exempt obligations"within the meaning of Section 265(b)(3)of the Internal Revenue Code of 1986, <br /> as amended (the"Code"), the City hereby designates the Bonds as qualified tax-exempt obligations <br /> for purposes of Section 265(b)(3) of the Code and in connection therewith makes the following <br /> factual findings; <br /> (a) the Bonds will be issued after August 7, 1986; <br /> (b) the Bonds are not treated as "private activity bonds" under Section 265(b)(3) of the <br /> Code; <br /> (c) the reasonably anticipated amount of tax-exempt obligations (other than obligations <br /> described in clause (ii)of Section 265(b)(3)(C) of the Code)which will be issued by the City(and all <br /> entities whose obligations will be aggregated with those of the City) during the calendar year 2013 <br /> will not exceed $10,000,000; and <br /> (d) not more than $10,000,000 of obligations issued by the City during the calendar year <br /> 2013 have been designated for purposes of Section 265(b)(3) of the Code. <br /> 13. Rescission. Resolution 8118 is hereby rescinded. <br /> Adopted this 26th day of August, 2013. <br /> IA <br /> .e Flaherty, - , • <br /> ATTEST: <br /> James Ericson, City Administrator <br /> (seal) <br />