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FrIVETFIVOURM <br />In the opinion of Bond Counsel, based upon an analysis of existing laws, regulations, rulings and court <br />decisions, and assuming, among other matters, compliance with certain covenants, interest on the Bonds is <br />excluded from gross income for federal income tax purposes under Section 103 of the Code and is exempt from <br />State of California personal income taxes. Bond Counsel is of the further opinion that interest on the Bonds is not <br />a specific preference item for purposes of federal alternative minimum taxes. <br />The Code imposes various restrictions, conditions and requirements relating to the exclusion from gross <br />income for federal income tax purposes of interest on obligations such as the Bonds. The City has covenanted to <br />comply with certain restrictions designed to insure that interest on the Bonds will not be included in federal gross <br />income. Failure to comply with these covenants may result in interest on the Bonds being included in federal <br />gross income, possibly from the date of original issuance of the Bonds. The opinion of Bond Counsel assumes <br />compliance with these covenants. Bond Counsel has not undertaken to determine (or to inform any person) <br />whether any actions taken (or not taken) or events occurring (or not occurring) after the date of issuance of the <br />Bonds may adversely affect the value of, or the tax status of interest on, the Bonds. <br />Current and future legislative proposals, if enacted into law, clarification of the Code or court decisions <br />may cause interest on the Bonds to be subject, directly or indirectly, to federal income taxation or to be subject to <br />or exempted from state income taxation, or otherwise prevent Owners from realizing the full current benefit of <br />the tax status of such interest. For example, legislative proposals are announced from time to time which generally <br />would limit the exclusion from gross income of interest on obligations like the Bonds to some extent for taxpayers <br />who are individuals and whose income is subject to higher marginal income tax rates. Other proposals have been <br />made that could significantly reduce the benefit of, or otherwise affect, the exclusion from gross income of interest <br />on obligations like the Bonds. The introduction or enactment of any such legislative proposals, clarification of <br />the Code or court decisions may also affect, perhaps significantly, the market price for, or marketability of, the <br />Bonds. Prospective purchasers of the Bonds should consult their own tax advisors regarding any pending or <br />proposed federal or state tax legislation, regulations or litigation, and regarding the impact of future legislation, <br />regulations or litigation, as to which Bond Counsel expresses no opinion. <br />Certain requirements and procedures contained or referred to in the Indenture, the tax certificate, and other <br />relevant documents may be changed and certain actions (including, without limitation, defeasance of the Bonds) <br />may be taken or omitted under the circumstances and subject to the terms and conditions set forth in such <br />documents. Bond Counsel expresses no opinion as to the exclusion from gross income of interest on any Bond if <br />any such change occurs or action is taken or omitted upon the advice or approval of counsel other than Best Best <br />& Krieger LLP. <br />The IRS has initiated an expanded program for the auditing of tax-exempt bond issues, including both <br />random and targeted audits. It is possible that the Bonds will be selected for audit by the IRS. It is also possible <br />that the market value of the Bonds might be affected as a result of such an audit of the Bonds (or by an audit of <br />other similar bonds). <br />Although Bond Counsel is of the opinion that interest on the Bonds is excluded from gross income for <br />federal income tax purposes and is exempt from State of California personal income taxes, the ownership or <br />disposition of, or the accrual or receipt of interest on, the Bonds may otherwise affect an Owner's federal or state <br />tax liability. The nature and extent of these other tax consequences will depend upon the particular tax status of <br />the Bond Owner or the Owner's other items of income or deduction, and Bond Counsel expresses no opinion <br />regarding any such other tax consequences. <br />A copy of the proposed form of opinion of Bond Counsel is attached hereto as Appendix D. <br />255A0107 <br />