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(c) Proceeds. The City understands that the term "proceeds" includes "disposition <br /> proceeds" as defined in the Treasury Regulations and, in the case of refunding obligations, <br /> transferred proceeds (if any) and proceeds of the refunded obligations expended prior to the date <br /> of issuance of the Certificates. It is the understanding of the City that the covenants contained <br /> herein are intended to assure compliance with the Code and any regulations or rulings promulgated <br /> by the U.S. Department of the Treasury pursuant thereto. In the event that regulations or rulings <br /> are hereafter promulgated which modify or expand provisions of the Code, as applicable to the <br /> Certificates, the City will not be required to comply with any covenant contained herein to the <br /> extent that such failure to comply, in the opinion of nationally recognized bond counsel, will not <br /> adversely affect the exemption from federal income taxation of interest on the Certificates under <br /> section 103 of the Code. In the event that regulations or rulings are hereafter promulgated which <br /> impose additional requirements which are applicable to the Certificates,the City agrees to comply <br /> with the additional requirements to the extent necessary, in the opinion of nationally recognized <br /> bond counsel, to preserve the exemption from federal income taxation of interest on the <br /> Certificates under section 103 of the Code. In furtherance of such intention, the City hereby <br /> authorizes and directs the City Manager to execute any documents, certificates or reports required <br /> by the Code and to make such elections, on behalf of the City, which may be permitted by the <br /> Code as are consistent with the purpose for the issuance of the Certificates. <br /> (d) Allocation Of, and Limitation On, Expenditures for the Project. The City covenants <br /> to account for the expenditure of sale proceeds and investment earnings to be used for the purposes <br /> described in Section 1 of this Order(the 'Project")on its books and records in accordance with the <br /> requirements of the Internal Revenue Code. The City recognizes that in order for the proceeds to <br /> be considered used for the reimbursement of costs,the proceeds must be allocated to expenditures <br /> within 18 months of the later of the date that (1) the expenditure is made, or (2) the Project is <br /> completed; but in no event later than three years after the date on which the original expenditure <br /> is paid. The foregoing notwithstanding, the City recognizes that in order for proceeds to be <br /> expended under the Internal Revenue Code, the sale proceeds or investment earnings must be <br /> expended no more than 60 days after the earlier of(1) the fifth anniversary of the delivery of the <br /> Bonds, or (2)the date the Bonds are retired. The City agrees to obtain the advice of nationally- <br /> recognized bond counsel if such expenditure fails to comply with the foregoing to assure that such <br /> expenditure will not adversely affect the tax-exempt status of the Bonds. For purposes hereof,the <br /> City shall not be obligated to comply with this covenant if it obtains an opinion that such failure <br /> to comply will not adversely affect the excludability for federal income tax purposes from gross <br /> income of the interest. <br /> (e) Disposition of Project. The City covenants that the property constituting the Project <br /> will not be sold or otherwise disposed in a transaction resulting in the receipt by the City of cash <br /> or other compensation, unless any action taken in connection with such disposition will not <br /> adversely affect the tax-exempt status of the Bonds. For purpose of the foregoing, the City may <br /> rely on an opinion of nationally-recognized bond counsel that the action taken in connection with <br /> such sale or other disposition will not adversely affect the tax-exempt status of the Bonds. For <br /> purposes of the foregoing, the portion of the property comprising personal property and disposed <br /> in the ordinary course shall not be treated as a transaction resulting in the receipt of cash or other <br /> compensation. For purposes hereof, the City shall not be obligated to comply with this covenant <br /> if it obtains an opinion that such failure to comply will not adversely affect the excludability for <br /> federal income tax purposes from gross income of the interest. <br /> 19 <br /> SAN MARCOS(TWDB)CTRCO 2023&2023A:Ordinance($1,120,000) <br />