Laserfiche WebLink
City of Santa Ana <br /> Proposal for Financial Advisory and Dissemination Agent Services August 8, 2025 <br /> Regulatory Disclosure <br /> Disclosure of Conflicts of Interest and Legal or Disciplinary Events. Pursuant to Municipal Securities Rulemaking <br /> Board("MSRB") Rule G-42, on Duties of Non-Solicitor Municipal Advisors, Municipal Advisors are required to make <br /> certain written disclosures to clients and potential clients which include,amongst other things,Conflicts of Interest <br /> and any Legal or Disciplinary events of Urban Futures,Inc.("UFI")and its associated persons. <br /> Conflicts of Interest. Compensation. UFI represents that in connection with the issuance of municipal securities, <br /> UFI may receive compensation from an Issuer or Obligated Person for services rendered, which compensation is <br /> contingent upon the successful closing of a transaction and/or is based on the size of a transaction. Consistent with <br /> the requirements of MSRB Rule G-42, UFI hereby discloses that such contingent and/or transactional compensation <br /> may present a potential conflict of interest regarding UFI's ability to provide unbiased advice to enter into such <br /> transaction.This conflict of interest will not impair UFI's ability to render unbiased and competent advice or to fulfill <br /> its fiduciary duty to the Issuer. <br /> It should be noted that other forms of compensation (i.e., hourly or fixed fee based) may also present a potential <br /> conflict of interest regarding UFI's ability to provide advice regarding a municipal security transaction.These other <br /> potential conflicts of interest will not impair UFI's ability to render unbiased and competent advice or to fulfill its <br /> fiduciary duty to the Issuer. <br /> Other Municipal Advisor Relationships. UFI serves a wide variety of other clients that may from time to time have <br /> interests that could have a direct or indirect impact on the interests of another UFI client.These other clients may, <br /> from time to time and depending on the specific circumstances, have competing interests. In acting in the interests <br /> of its various clients, UFI could potentially face a conflict of interest arising from these competing client interests. <br /> UFi fulfills its regulatory duty and mitigates such conflicts through dealing honestly and with the utmost good faith <br /> with its clients. <br /> If UFl becomes aware of any additional potential or actual conflict of interest after this disclosure, UFI will disclose <br /> the detailed information in writing to the issuer or obligated person in a timely manner. <br /> Legal or Disciplinary Events. UFI does not have any legal events or disciplinary history on UFI's Form MA and Form <br /> MA-1, which includes information about any criminal actions, regulatory actions, investigations, terminations, <br /> judgments, liens, civil judicial actions, customer complaints, arbitrations and civil litigation. The Issuer may <br /> electronically access UFI's most recent Form MA and each most recent Form MA-1 filed with the Commission at the <br /> following website:www.sec.gov/edgar/searchedgar/companysearch.html. <br /> There have been no material changes to a legal or disciplinary event disclosure on any Form MA or Form MA-1 filed <br /> with the SEC.If any material legal or regulatory action is brought against UFI, UFI will provide complete disclosure to <br /> the Issuer in detail allowing the Issuer to evaluate UFI,its management and personnel <br /> 9UF1 23 <br />