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6/20/1995
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6/20/1995
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Meetings
Meeting Type
Regular Meeting
Document Type
Minutes
Meeting Date
06/20/1995
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MEW '9,5 :F ff 5, <br />RESOLUTION NO. 95-75 <br />system maintained by DTC through brokers and dealers who are, or act through, DTC Participants. <br />Purchasers will not receive delivery of the Bonds. S'o long as any purchaser is the Beneficial Owner (as <br />defined herein) of a Bond, he must maintain an account with a broker or dealer who is, or acts through, <br />a DTC Participant to receive payment of principal of and interest on such Bond. See "DESCRIPTION <br />OF THE BONDS - Book -Entry Only System" herein. <br />Paying Agent and Registrar. <br />serve as Paying Agent and Registrar for the Bonds. <br />Florida (the "Registrar"), will <br />Registration and Transfers. The Bonds will be issued in fully registered, book -entry -only form, <br />registered in the name of Cede & Co., as nominee for DTC. Transfers of book -entry interests will be <br />accomplished by DTC participants or others who act for the Beneficial Owners, in accordance with DTC <br />procedures and applicable state laws. _ <br />Payments. Payments of principal of and interest on the Bonds will be made by the Registrar <br />to Cede & Co., as nominee for DTC, which, in turn, will immediately credit the accounts of DTC <br />participants. The DTC participants will credit the payments to the Beneficial Owners in accordance with <br />standing instructions and customary practices between DTC and the DTC participants. <br />For a more complete description of the Bonds and the basic documentation pursuant to which <br />Bonds are issued, see the "DESCRIPTION OF THE BONDS" herein. <br />Municipal Bond Insurance <br />At the option of the bidder, as further described in the Official Notice of Sale, payment of <br />principal of and' interest on the Bonds will be insured by a municipal bond insurance policy to be <br />delivered simultaneously with the delivery of the Bonds. See "MUNICIPAL BOND INSURANCE" <br />herein. <br />Tax Exemption <br />The legal opinion of Bryant, Miller and Olive, P.A., Bond Counsel, will include an opinion to <br />the effect that assuming compliance with certain covenants, under existing laws, regulations, judicial <br />decisions and rulings, (i) interest on the Bonds is excluded from gross income for purposes of federal <br />income taxation and (ii) the Bonds are exempt from all present intangible personal property taxes imposed <br />pursuant to Chapter 199, Florida Statutes, but are subject to Florida estate taxes and taxes imposed by <br />Chapter 220, Florida Statutes, as applicable. Interest on the Bonds is not an item of tax preference for <br />purposes of the federal alternative minimum tax imposed on individuals or corporations; however, interest <br />on the Bonds may be subject to the alternative minimum tax when any Bond is held by a corporation. <br />For a more complete discussion of tax aspects, see "TAX EXEMPTION," herein. <br />Authority for Issuance <br />The Bonds are being issued, executed and delivered pursuant to Chapter 125, Florida Statutes, <br />and other applicable provisions of law (collectively, the "Act"), and pursuant to Resolution No. 95-63, <br />of the Board, adopted May 16, 1995, as supplemented (herein, collectively, the "Resolution"). <br />3247/1ND38002-9/POS-BODY-1 ii <br />77 <br />June 20, 1995 <br />
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