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506242089.1 <br /> <br /> -48- <br /> <br /> (B) derived from payments (whether or not made to the City) in <br />respect of property, or borrowed money, used or to be used for any Private Person Use, then, <br />(i) any Private Person Use of the projects financed or refinanced with the proceeds of the Bonds <br />or Private Person Use payments described in subsection (4) hereof that is in excess of the five <br />percent limitations described in such subsections (3) or (4) will be for a Private Person Use that <br />is related to the state or local governmental use of the projects financed or refinanced with the <br />proceeds of the Bonds, and (ii) any Private Person Use will not exceed the amount of Net <br />Proceeds of the Bonds used for the state or local governmental use portion of the projects <br />financed or refinanced with the proceeds of the Bonds to which the Private Person Use of such <br />portion of the projects financed or refinanced with the proceeds of the Bonds relates. The City <br />further covenants that it will comply with any limitations on the use of the projects by other than <br />state and local governmental users that are necessary, in the opinion of its bond counsel, to <br />preserve the tax exemption of the interest on the Bonds. The covenants of this section are <br />specified solely to assure the continued exemption from regular income taxation of the interest <br />on the Bonds. <br /> (c) No Designation under Section 265(b) of the Code. The Bonds are not “qualified <br />tax-exempt obligations” for investment by financial institutions under Section 265(b) of the <br />Code. <br /> (d) Modification of Tax Covenants. The covenants of this section are specified solely <br />to assure the continued exemption from regular income taxation of the interest on the Bonds. To <br />that end, the provisions of this section may be modified or eliminated without any requirement <br />for formal amendment thereof upon receipt of an opinion of the City’s bond counsel that such <br />modification or elimination will not adversely affect the tax exemption of interest on any Bonds.