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CC PACKET 08251992
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CC PACKET 08251992
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Last modified
12/30/2015 8:18:26 PM
Creation date
12/30/2015 8:18:03 PM
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SP Box #
30
SP Folder Name
CC PACKETS 1990-1994
SP Name
CC PACKET 08251992
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i <br /> i <br /> nor attempted to examine or verify, any of the financial or statistical statements, or data <br /> contained in this.Official Statement, and will express no opinion with respect thereto. A legal <br /> opinion substantially in the form as set out in Appendix I herein will be delivered at closing. <br /> Tax Exemption <br /> In the opinion of Dorsey.& Whitney, as Bond Counsel, under federal and Minnesota laws, <br /> regulations, rulings and decisions in effect on the date of issuance of the Bonds, interest on the <br /> Bonds is not includable in gross income for federal income tax purposes or in taxable net <br /> income of individuals, estates and trusts for Minnesota income tax purposes. Interest on the <br /> Bonds is includable in taxable income of corporations and financial institutions for purposes of <br /> the Minnesota franchise tax. Certain provisions of the Internal Revenue Code of 1986, as <br /> amended (the "Code"), however, impose continuing requirements that must be met after the <br /> issuance of the Bonds in order for interest thereon to be and remain not includable in federal <br /> gross income and in Minnesota taxable net income. Noncompliance with such requirements <br /> by the City may cause the interest on the Bonds to be includable in gross income for purposes <br /> of federal income taxation and in taxable net income for purposes of Minnesota income <br /> taxation, retroactive to the date of issuance of the Bonds, irrespective in some cases of the <br /> date on which such noncompliance is ascertained. No provision has been made for <br /> redemption of or for an increase in the interest rate on the Bonds in the event that interest on <br /> the Bonds becomes includable in federal gross income or Minnesota taxable income. <br /> Interest on the Bonds is not an item of tax preference includable in alternative minimum taxable <br /> income for purposes of the federal alternative minimum tax applicable to all taxpayers or the <br /> Minnesota alternative minimum tax applicable to individuals, estates and trusts, but is <br /> includable in adjusted current earnings in determining the alternative minimum taxable income <br /> of corporations for purposes of the alternative minimum tax and the environmental tax imposed <br /> by Section 59A of the Code. Interest on the Bonds may be includable in the income of a <br /> foreign corporation for purposes of the branch profits tax imposed by Section 884 of the Code <br /> and is includable in the net investment income of foreign insurance companies for purposes of <br /> Section 842(b) of the Code. In the case of an insurance company subject to the tax imposed <br /> by Section 831 of the Code, the amount which otherwise would be taken into account as <br /> losses incurred under Section 832(b)(5) of the Code must be reduced by an amount equal to <br /> fifteen percent of the interest on the Bonds that is received or accrued during the taxable year. <br /> Section 86 of the Code requires recipients of certain Social Security and railroad retirement <br /> benefits to take into account, in determining the taxability of such benefits, receipts or accruals <br /> of interest on the Bonds. Passive investment income, including interest on the Bonds, may be <br /> subject to federal income taxation under Section 1375 of the Code for a Subchapter S <br /> corporation that has Subchapter C earnings and profits at the close of the taxable year if <br /> greater than twenty-five percent of the gross receipts of such Subchapter S corporation is <br /> passive investment income. Section 265 of the Code denies a deduction for interest on <br /> indebtedness incurred or continued to purchase or carry the Bonds or, in the case of a <br /> financial institution, that portion of the holder's interest expense allocated to interest on the <br /> Bonds, except with respect to certain financial institutions (within the meaning of Section 265(b) <br /> of the Code). <br /> The foregoing is not intended to be an exhaustive discussion of collateral tax consequences <br /> arising from receipt of interest on the Bonds. Prospective purchasers or holders of the Bonds <br /> should consult their tax advisors with respect to collateral tax consequences, including without <br /> limitation the calculations of alternative minimum tax, environmental tax or foreign branch <br /> profits tax liability or the inclusion of Social Security or other retirement payments in taxable <br /> income. <br /> - 4 - <br />
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