Curative Allocations. The allocations set forth in Sections 10.2(c), 10.3(a), 10.3(b), 10.3(c), 10.3(d), 10.3(e), 10.3(f), and 10.3(g) hereof (the "Regulatory Allocations") are intended to comply with certain requirements of the Treasury Regulations. It is the intent of the Partners that, to the extent possible, all Regulatory Allocations shall be offset either with other Regulatory Allocations or with special allocations of other items of Partnership income, gain, loss, or deduction pursuant to this Section 10.4.
Appears in 52 contracts
Sources: Limited Partnership Agreement (WNC Housing Tax Credit Fund v Lp Series 4), Limited Partnership Agreement (WNC Housing Tax Credit Fund Vi Lp Series 6), Limited Partnership Agreement (WNC Housing Tax Credit Fund Vi Lp Series 8)
Curative Allocations. The allocations set forth in Sections Section 10.2(c), Section 10.3(a), Section 10.3(b), Section 10.3(c), Section 10.3(d), Section 10.3(e), Section 10.3(f), and Section 10.3(g) hereof (the "Regulatory Allocations") are intended to comply with certain requirements of the Treasury Regulations. It is the intent of the Partners that, to the extent possible, all Regulatory Allocations shall be offset either with other Regulatory Allocations or with special allocations of other items of Partnership income, gain, loss, or deduction pursuant to this Section 10.4.
Appears in 13 contracts
Sources: Limited Partnership Agreement (WNC Housing Tax Credit Fund Vi Lp Series 12), Limited Partnership Agreement (WNC Housing Tax Credit Fund Vi Lp Series 10), Limited Partnership Agreement (WNC Housing Tax Credit Fund Vi Lp Series 12)
Curative Allocations. The allocations set forth in Sections 10.2(c), 10.3(a), 10.3(b), 10.3(c), 10.3(d), 10.3(e), 10.3(f), and 10.3(g) hereof (the "Regulatory Allocations") are intended to comply with certain requirements of the Treasury Regulations. It is the intent of the Partners that, to the extent possible, all Regulatory Allocations shall be offset either with other Regulatory Allocations or with special allocations of other items of Partnership income, gain, loss, or deduction pursuant to this Section 10.4.this
Appears in 3 contracts
Sources: Limited Partnership Agreement (WNC Housing Tax Credit Fund Vi Lp Series 6), Agreement of Limited Partnership (WNC Housing Tax Credit Fund Vi Lp Series 5), Limited Partnership Agreement (WNC Housing Tax Credit Fund v Lp Series 4)
Curative Allocations. The allocations set forth in Sections 10.2(c11.5(a), 10.3(a11.5(b), 10.3(b11.5(c), 10.3(c11.5(d), 10.3(d11.5(e), 10.3(e), 10.3(f11.5(f), and 10.3(g11.5(g) hereof (the "Regulatory Allocations") are intended to comply with certain requirements of the Treasury Regulations. It is the intent of the Partners that, to the extent possible, all Regulatory Allocations shall be offset either with other Regulatory Allocations or with special allocations of other items of Partnership income, gain, loss, loss or deduction pursuant to this Section 10.411.6.
Appears in 2 contracts
Sources: Limited Partnership Agreement (Sithe Independence Funding Corp), Limited Partnership Agreement (Sithe Independence Power Partners Lp)
Curative Allocations. The allocations set forth in Sections 10.2(c10.6(a), 10.3(a10.6(b), 10.3(b10.6(c), 10.3(c10.6(d). 10.6(e), 10.3(d10.6(f), 10.3(e10.6(g), 10.3(f), . and 10.3(g10.6(h) hereof (the "“Regulatory Allocations"”) are intended to comply with certain requirements of the Treasury Regulations. It is the intent of the Partners Members that, to the extent possible, all Regulatory Allocations shall be offset either with other Regulatory Allocations or with special allocations of other items of Partnership Company income, gain, loss, or deduction pursuant to this Section 10.410.7.
Appears in 1 contract
Sources: Limited Liability Company Agreement (Legion Capital Corp)
Curative Allocations. The allocations set forth in Sections 10.2(c10.6(a), 10.3(a10.6(b), 10.3(b10.6(c), 10.3(c10.6(d), 10.3(d10.6(e), 10.3(e10.6(f), 10.3(f10.6(g), and 10.3(g10.6(h) hereof (the "“Regulatory Allocations"”) are intended to comply with certain requirements of the Treasury Regulations. It is the intent of the Partners Holders that, to the extent possible, all Regulatory Allocations shall be offset either with other Regulatory Allocations or with special allocations of other items of Partnership Company income, gain, loss, or deduction pursuant to this Section 10.410.7.
Appears in 1 contract
Sources: Limited Liability Company Agreement
Curative Allocations. The allocations set forth in Sections Section 10.2(c), Section 10.3(a), Section 10.3(b), Section 10.3(c), Section 10.3(d), Section 10.3(e), Section 10.3(f), and Section 10.3(g) hereof (the "“Regulatory Allocations"”) are intended to comply with certain requirements of the Treasury Regulations. It is the intent of the Partners that, to the extent possible, all Regulatory Allocations shall be offset either with other Regulatory Allocations or with special allocations of other items of Partnership income, gain, loss, or deduction pursuant to this Section 10.4.
Appears in 1 contract
Sources: Limited Partnership Agreement
Curative Allocations. The allocations set forth in Sections 10.2(c), 10.3(a), 10.3(b), 10.3(c), 10.3(d), 10.3(e), 10.3(f), and 10.3(g) hereof (the "Regulatory Allocations") are intended to comply with certain requirements of the Treasury Regulations. It is the intent of the Partners Members that, to the extent possible, all Regulatory Allocations shall be offset either with other Regulatory Allocations or with special allocations of other items of Partnership incomeCompany Income, gain, lossLoss, or deduction pursuant to this Section 10.4.
Appears in 1 contract
Sources: Operating Agreement (WNC Housing Tax Credit Fund Vi Lp Series 5)