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1993-146
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1993-146
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Last modified
7/29/2020 3:14:11 PM
Creation date
7/29/2020 2:55:18 PM
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Resolutions
Resolution Number
93-146
Approved Date
08/17/1993
Resolution Type
SPECIFYING
Subject
Specifying terms and provisions for the $9,875,000 Recreational Revenue Refunding Bonds
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All of the evidence, opinions, letters, certificates, <br />instruments and other documents mentioned above or elsewhere in <br />this Purchase Contract shall be deemed to be in compliance with the <br />provisions hereof if, but only if, they are in form and substance <br />satisfactory to the Underwriter and the County. <br />If the conditions to the obligations of the Underwriter to <br />purchase, to accept delivery of and to pay for the Bonds contained <br />in this Purchase Contract are not satisfied, or if the obligations <br />of the Underwriter to purchase, to accept delivery of and to pay <br />for the Bonds shall be terminated for any reason permitted by this <br />Purchase Contract, this Purchase Contract shall terminate and <br />neither the Underwriter nor the County shall be under any further <br />obligation hereunder, except that the respective obligations of the <br />County and the Underwriter set forth in Paragraph 10 hereof shall <br />continue in full force and effect and the security deposit <br />specified in Paragraph 5 hereof shall be returned to the <br />Underwriter. <br />9. Termination. The Underwriter may terminate this Purchase <br />Contract, without liability therefor, by notification to the <br />County, if at any time subsequent to the date of this Purchase <br />Contract at or prior to Closing: <br />(a) Legislation shall be enacted by the Congress of the <br />United States, or a bill introduced (by amendment or <br />otherwise) or favorably reported or passed by either the House <br />of Representatives or the Senate of the Congress of the United <br />States or any committee of the House or Senate, or a <br />conference committee of such House and Senate makes a report <br />(or takes any other action), or a decision by a court of the <br />United States or the Tax Court of the United States shall be <br />rendered, or a ruling, regulation or fiscal action shall be <br />issued or proposed by or on behalf of the Treasury Department <br />of the United States, the Internal Revenue Service or other <br />governmental agency with respect to or having the purpose or <br />effect of changing directly or indirectly the federal income <br />tax consequences of interest on the Bonds in the hands of the <br />holders thereof (including imposition of a minimum federal tax <br />which includes tax-exempt interest in the calculation of such <br />tax), which materially adversely affects the market price or <br />the marketability of the Bonds. <br />(b) Any legislation, rule or regulation shall be <br />introduced in, or be enacted by any department or agency in <br />the State of Florida, or a decision by any court of competent <br />jurisdiction within the State of Florida shall be rendered <br />which materially affects the market for the Bonds or the sale, <br />at the contemplated offering prices, by the Underwriter of the <br />Bonds to be purchased by them. <br />-15- <br />
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