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excess of such corporation's adjusted current earnings over its alternative minimum taxable income (before <br />this adjustment and the alternative tax net operating loss deduction). "Adjusted Current Earnings" will <br />include interest on the Bonds. <br />Except as described above, Bond Counsel will express no opinion regarding the federal income <br />tax consequences resulting from the ownership of, receipt or accrual of interest on, or disposition ofBonds. <br />Prospective purchasers of Bonds should be aware that the ownership of Bonds may result in collateral <br />federal income tax consequences, including (i) the denial of a deduction for interest on indebtedness <br />incurred or continued to purchase or carry Bonds, (ii) the reduction of the loss reserve deduction for <br />property and casualty insurance companies by 15% of certain items, including interest on the Bonds, (iii) <br />the inclusionof interest on the Bonds in earnings of certain foreign corporations doing business in the United <br />States for purposes ofa branchprofits tax, (iv) the inclusion of interest on Bonds inpassive income subject <br />to federal income taxation of certain S corporations with Subchapter C earnings and profits at the close <br />of the taxable year, and (v) the inclusion of interest on the Bonds in "modified adjusted gross income" by <br />recipients of certain Social Security and Railroad Retirement benefits for purposes of determining whether <br />such benefits are included in gross income for federal income tax purposes. <br />PURCHASE, OWNERSHIP, SALE OR DISPOSITION OF THE BONDS AND THE <br />RECEIPTORACCRUAL OF THE INTEREST THEREON MAY HAVE ADVERSE FEDERAL TAX <br />CONSEQUENCES FORCERTAIN INDIVIDUAL AND CORPORATE REGISTERED OWNERS. <br />PROSPECTIVE REGISTERED OWNERS SHOULD CONSULT WITH THEIRTAX SPECIALISTS <br />FOR INFORMATION IN THAT REGARD. <br />During recent years legislative proposals have been introduced in Congress, and in some cases <br />enacted that altered certain federal tax consequences resulting from the ownership of obligations that are <br />similar to the Bonds. In some cases these proposals have contained provisions that altered these <br />consequences on a retroactive basis. Such alteration of federal tax consequences may have affected the <br />market value ofobligations similar to the Bonds. From time to time, legislative proposals are pending which <br />could have an effect on both the federal tax consequences resulting from ownership of Bonds and their <br />market value. No assurance can be given that legislative proposals will not be introduced or enacted that <br />would or might apply to, or have an adverse effect upon, the Bonds. <br />Florida Tax Matters <br />On the date of delivery of the Bonds, Bond Counsel will issue an opinion to the effect that under <br />existing statutes, regulations and judicial decisions, the Bonds and the income therefrom are exempt from <br />taxation under the laws of the State of Florida, except as to Florida estate taxes imposed by Chapter 198, <br />Florida Statutes, as amended, and net income and franchise taxes imposed by Chapter 220, Florida <br />Statutes, as amended. <br />25 <br />