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1992-216
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1992-216
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Last modified
2/25/2021 2:20:53 PM
Creation date
10/20/2020 3:39:29 PM
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Resolutions
Resolution Number
1992-216
Approved Date
11/24/1992
Subject
Authorizing th Issuance of not exceeding $7,530,000 Refunding Revenue Bonds, Series 1992
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therefrom are exempt from taxation under the laws of the State of Florida, except as to estate taxes and <br />taxes imposed by Chapter 200, Florida Statutes, on interest, income or profits on debt obligations owned by <br />corporations, banks and savings associations. <br />Other Federal Income Tax Matters <br />Interest Expense Deductions for Financial Institutions <br />Under the Code, financial institutions are disallowed 100 percent of their interest expense deductions <br />that are allocable, by a formula, to tax-exempt obligations acquired after August 7, 1986. An exception, <br />which reduces the amount of the disallowance, is provided for tax-exempt obligations issued by a qualified <br />issuer that specifically designates such obligations as "qualified tax-exempt obligations" under Section 265 of <br />the Code. <br />The County is Doi such a "qualified issuer" and has net designated the Series 1992 Bonds as <br />"qualified lax -exempt obligations". Financial institutions intending to purchase Series 1992 Bonds should <br />consult with their professional tax advisors to determine the effect of the interest expense disallowance on <br />their federal income tax liability. <br />Original Issue Discount <br />In the opinion of Bond Counsel, under existing statutes, regulations and judicial decisions, the original <br />issue discount in the selling price of those maturities of the Series 1992 Bonds being sold in the initial public <br />offering with original issue discount is, to the extent properly allocable to each Holder of such Series 1992 <br />Bonds, excludable from gross income for federal income tax purposes of such Holder, but may not be <br />excludable from the calculation of "adjusted current earnings" for purposes of the alternative minimum tax <br />imposed on corporations (as defined for federal income tax purposes). The original issue discount with <br />respect to any maturity of the Series 1992 Bonds is the excess of the stated redemption price at maturity of <br />such Series 1992 Bonds over the initial offering price at which a substantial amount of the Series 1992 <br />Bonds of such maturity were sold to the public, excluding underwriters and other intermediaries, in the initial <br />public offering. Accrued original issue discount will increase a Holder's tax basis in the Series 1992 Bond <br />and affect the determination of taxable gain from any sale or exchange of such Series 1992 Bond. <br />Prospective purchasers of the Series 1992 Bonds being sold in the initial public offering with original <br />issue discount should consult their tax advisors for further information concerning the manner in which the <br />original issue discount is apportioned among successive holders and the tax consequences of purchasing, <br />holding and selling such bonds. <br />VERIFICATION OF MATHEMATICAL COMPUTATIONS <br />The accuracy of (a) the mathematical computations of the adequacy of the maturing principal <br />amounts and interest earnings thereon of the United States Treasury obligations to pay, when due, the <br />principal of, interest on and redemption premium, if any, on the Refunded Bonds and (b) the mathematical <br />computations supporting the conclusions that the Series 1992 Bonds are not "arbitrage bonds" within the <br />meaning of Section 103(c) of the Code will be verified by <br />independent certified public accountants. <br />UNDERWRITING <br />The Underwriter has agreed to purchase all but not less than all of the Series 1992 Bonds at an <br />aggregated discount of from the initial public offering prices set forth on the cover <br />page of this Official Statement. This discount includes an original issue discount of . The <br />13 <br />
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