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2025-061
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Last modified
10/13/2025 12:21:41 PM
Creation date
10/13/2025 12:18:40 PM
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Resolutions
Resolution Number
2025-061
Approved Date
10/07/2025
Agenda Item Number
14.C
Resolution Type
Authorizing the Sale of Recenue Bonds
Entity Name
Sandridge Golf Club
Subject
Authorizing Capital Revenue Bonds for the Sandridge Golf Club new clubhouse.
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Collateral Tax Consequences <br />Except as described above, Bond Counsel will express no opinion regarding the <br />federal income tax consequences resulting from the ownership of, receipt or accrual of <br />interest on, or disposition of, the Series 2025 Bonds. Prospective purchasers of Series 2025 <br />Bonds should be aware that the ownership of Series 2025 Bonds may result in other <br />collateral federal tax consequences. For example, ownership of the Series 2025 Bonds may <br />result in collateral tax consequences to various types of corporations relating to (1) denial <br />of interest deduction to purchase or carry such Series 2025 Bonds, (2) the branch profits <br />tax, and (3) the inclusion of interest on the Series 2025 Bonds in passive income for certain <br />Subchapter S corporations. In addition, the interest on the Series 2025 Bonds may be <br />included in gross income by recipients of certain Social Security and Railroad Retirement <br />benefits. <br />PURCHASE, OWNERSHIP, SALE OR DISPOSITION OF THE SERIES 2025 <br />BONDS AND THE RECEIPT OR ACCRUAL OF THE INTEREST THEREON MAY <br />HAVE ADVERSE FEDERAL TAX CONSEQUENCES FOR CERTAIN INDIVIDUAL <br />AND CORPORATE BONDHOLDERS, INCLUDING, BUT NOT LIMITED TO, THE <br />CONSEQUENCES REFERRED TO ABOVE. PROSPECTIVE SERIES 2025 <br />BONDHOLDERS SHOULD CONSULT WITH THEIR TAX ADVISORS FOR <br />INFORMATION IN THAT REGARD. <br />Other Tax Matters <br />Interest on the Series 2025 Bonds may be subject to state or local income taxation <br />under applicable state or local laws in other jurisdictions. Purchasers of the Series 2025 <br />Bonds should consult their own tax advisors as to the income tax status of interest on the <br />Series 2025 Bonds in their particular state or local jurisdictions. <br />The Inflation Reduction Act, H.R. 5376 (the "IRA"), was passed by both houses of <br />the U.S. Congress and was signed by the President on August 16, 2022. As enacted, the <br />IRA includes a 15 percent alternative minimum tax to be imposed on the "adjusted financial <br />statement income," as defined in the IRA, of certain corporations for tax years beginning <br />after December 31, 2022. Interest on the Series 2025 Bonds will be included in the <br />"adjusted financial statement income" of such corporations for purposes of computing the <br />corporate alternative minimum tax. Prospective purchasers that could be subject to this <br />minimum tax should consult with their own tax advisors regarding the potential tax <br />consequences of owning the Series 2025 Bonds. <br />During recent years, legislative proposals have been introduced in Congress, and in <br />some cases enacted, that altered certain federal tax consequences resulting from the <br />ownership of obligations that are similar to the Series 2025 Bonds. In some cases, such <br />proposals have contained provisions that altered these federal tax consequences on a <br />retroactive basis. Such alterations of federal tax consequences may have affected the <br />
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