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RDA Reso 2004-005
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RDA Reso 2004-005
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1/26/2009 1:15:52 PM
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CM City Clerk-City Council
CM City Clerk-City Council - Document Type
Resolution
Document Date (6)
5/3/2004
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NO RATING <br />The Agency has not applied to a rating agency for the assignment of a rating to the <br />Bonds and does not contemplate applying for a rating. <br />TAX MATTERS <br />Federal Tax Status. In the opinion of Jones Hall, A Professional Law Corporation, San <br />Francisco, California, Bond Counsel, subject, however to the qualifications set forth below, <br />under existing law, the interest on the Bonds is excluded from gross income for federal income <br />tax purposes, such interest is not an item of tax preference for purposes of the federal <br />alternative minimum tax imposed on individuals and corporations, provided, however, that, for <br />the purpose of computing the alternative minimum tax imposed on corporations (as defined for <br />federal income tax purposes), such interest is taken into account in determining certain income <br />and earnings [and the Bonds are "qualified tax-exempt obligations" within the meaning of <br />section 265(b)(3) of the Internal Revenue Code of 1986 (the "Code") such that, in the case of <br />certain financial institutions (within the meaning of section 265(b)(5) of the Code), a deduction <br />for federal income tax purposes is allowed for 80 percent of that portion of such financial <br />institution's interest expense allocable to interest payable on the Bonds]. <br />The opinions set forth in the preceding paragraph are subject to the condition that the <br />District comply with all requirements of the Code that must be satisfied subsequent to the <br />issuance of the Bonds in order that such interest be, or continue to be, excluded from gross <br />income for federal income tax purposes. The District has covenanted to comply with each such <br />requirement. Failure to comply with certain of such requirements may cause the inclusion of such <br />interest in gross income for federal income tax purposes to be retroactive to the date of issuance <br />of the Bonds. <br />Tax Treatment of Original Issue Discount and Premium. If the initial offering price to <br />the public (excluding bond houses and brokers) at which a Bond is sold is less than the amount <br />payable at maturity thereof, then such difference constitutes "original issue discount" for <br />purposes of federal income taxes and State of California personal income taxes. If the initial <br />offering price to the public (excluding bond houses and brokers) at which each Bond is sold is <br />greater than the amount payable at maturity thereof, then such difference constitutes "original <br />issue premium" for purposes of federal income taxes and State of California personal income <br />taxes. De minimis original issue discount is disregarded. <br />Under the Code, original issue discount is treated as interest excluded from federal gross <br />income and exempt from State of California personal income taxes to the extent properly <br />allocable to each owner thereof subject to the limitations described in the first paragraph of this <br />section. The original issue discount accrues over the term to maturity of the Bond on the basis of <br />a constant interest rate compounded on each interest or principal payment date (with <br />straightline interpolations between compounding dates). The amount of original issue discount <br />accruing during each period is added to the adjusted basis of such Bonds to determine taxable <br />gain upon disposition (including sale, redemption, or payment on maturity) of such Bond. The <br />Code contains certain provisions relating to the accrual of original issue discount in the case of <br />purchasers of the Bonds who purchase the Bonds after the initial offering of a substantial <br />amount of such maturity. Owners of such Bonds should consult their own tax advisors with <br />respect to the tax consequences of ownership of Bonds with original issue discount, including <br />the treatment of purchasers who do not purchase in the original offering, the allowance of a <br />deduction for any loss on a sale or other disposition, and the treatment of accrued original issue <br />discount on such Bonds under federal individual and corporate alternative minimum taxes. <br />-34- <br />
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