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RES 86130
City of Pleasanton
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RES 86130
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7/11/2012 3:15:51 PM
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12/14/1999 12:39:28 AM
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CITY CLERK
CITY CLERK - TYPE
RESOLUTIONS
DOCUMENT DATE
4/1/1986
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the State of California, by~ any ruling or regulation (final, <br />temporary or proposed) issued by or on behalf of the <br />Department of the Treasury of the United States, the <br />Internal Revenue Service, or other governmental agency of <br />the United States, or any governmental agency of the State <br />of California, or by a tentative decision with respect to <br />legislation reached by a committee of the House of <br />Representatives or the Senate of the Congress of the United <br />States, or by legislation enacted by, pending in, or <br />favorably reported to either the House of Representatives or <br />the Senate of the Congress of the United States, or either <br />house of the Legislature of the State of California, or <br />formally proposed to the Congress of the United States by <br />the President of the United States or to the Legislature of <br />the State of California by the Governor of the State of <br />California in an executive communication, affecting the tax <br />status of the City, its property or income, its bonds <br />(including the bonds) or the interest thereon, or any tax <br />exemption granted or authorized by the bond Law; (ii) the <br />United States shall have become engaged in hostilities which <br />have resulted in a declaration of war or a national <br />emergency, or there shall have occurred ~any calamity or <br />crisis, financial or otherwise, the effect of such outbreak, <br />calamity being such as, in the reasonable opinion of the <br />Underwriter to market the Bonds (it being agreed by the <br />Underwriter that there is not outbreak, calamity or crisis <br />of such a character as of the date hereof); (iii) there <br />shall have occurred a withdrawal or downgrading of any <br />rating assigned to any securities of the City by a national <br />municipal bond rating agency; (v) any of the proposed <br />developments described in the Offering Memorandum; (vi) any <br />Federal or California court, authority or regulatory body <br />shall take action materially and adversely affecting the <br />ability of a developer to proceed with the development as <br />contemplated by the Offering Memorandum; (vii) an event <br />described in paragraph 8 hereof occurs which in the opinion <br />of the Underwriter requires a supplement or amendment to the <br />Offering Memorandum, and such supplement or amendment is not <br />agreed to be the City; and <br /> <br /> (e) At or prior to the Closing, the Underwriter shall <br />have received each of the following documents: <br /> <br /> (1) Opinions, in form and substance satisfactory <br />to the City and the Underwriter, dated as of the Closing <br />Date, of (a) Sturgis, Ness, Brunsell & Sperry, Bond Counsel, <br />approving, without qualification, the validity of the bonds <br />and the exemption of the interest thereon from federal and <br />state personal income taxation, as described in the Offering <br />Memorandum; <br /> <br /> <br />
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