Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration shall be interpreted to further this intention of the parties.
Appears in 37 contracts
Sources: Securities Purchase and Exchange Agreement, Issuer Tender Offer Statement, Declaration of Trust (Coast Bancorp/Ca)
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration Trust Agreement shall be interpreted to further this intention of the partiesin a manner consistent with such classification.
Appears in 35 contracts
Sources: Trust Agreement (Asbc Capital Ii), Trust Agreement (Us Bancorp \De\), Trust Agreement (USB Capital XII)
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration Trust Agreement shall be interpreted to further this intention of the parties.
Appears in 28 contracts
Sources: Trust Agreement (ServisFirst Bancshares, Inc.), Trust Agreement (Nexity Financial Corp), Trust Agreement (Waccamaw Bankshares Inc)
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration Agreement shall be interpreted to further this intention of the parties.
Appears in 13 contracts
Sources: Trust Agreement, Trust Agreement (Allstate Financing X), Trust Agreement (Dte Energy Co)
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States federal Federal income tax purposes as a grantor trust. The provisions of this Declaration Agreement shall be interpreted to further this intention of the parties.
Appears in 10 contracts
Sources: Trust Agreement (Hercules Inc), Trust Agreement (Hercules Inc), Trust Agreement (Hercules Inc)
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States U.S. federal income tax purposes as a grantor trust. The provisions of this Declaration Agreement shall be interpreted to further this intention of the parties.
Appears in 8 contracts
Sources: Trust Agreement (Deutsche Bank Contingent Capital LLC V), Trust Agreement (Deutsche Bank Capital Funding Trust VIII), Trust Agreement (Deutsche Bank Aktiengesellschaft)
Intention of the Parties. It is the intention of the parties ------------------------ hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration Trust Agreement shall be interpreted to further this intention of the partiesin a manner consistent with such classification.
Appears in 5 contracts
Sources: Trust Agreement (CSX Capital Trust 1), Trust Agreement (Dominion Resources Inc /Va/), Trust Agreement (Markel Corp)
Intention of the Parties. It is the intention of the ------------------------- parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration shall be interpreted to further this intention of the parties.
Appears in 4 contracts
Sources: Declaration of Trust (First Banks, Inc), Declaration of Trust (First Banks, Inc), Declaration of Trust (First Banks, Inc)
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration shall be interpreted to further this intention of the partiesin a manner consistent with such classification.
Appears in 3 contracts
Sources: Indenture (Comerica Capital Trust Ii), Indenture (Provident Capital Trust Iii), Declaration of Trust (Provident Capital Trust Iv)
Intention of the Parties. It is the intention of the ------------------------ parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration Trust Agreement shall be interpreted to further this intention of the parties.
Appears in 2 contracts
Sources: Trust Agreement (Hei Preferred Funding L P), Trust Agreement (Hawaiian Electric Industries Inc)
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified as a grantor trust for United States federal income tax purposes as a grantor trustpurposes. The provisions of this Declaration Trust Agreement shall be interpreted to further this intention of the parties.
Appears in 2 contracts
Sources: Trust Agreement (Indymac Bancorp Inc), Trust Agreement (Indymac Bancorp Inc)
Intention of the Parties. It is the intention of the ------------------------ parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration Trust Agreement shall be interpreted to further this intention of the partiesin a manner consistent with such classification.
Appears in 2 contracts
Sources: Trust Agreement (Consolidated Natural Gas Co/Va), Trust Agreement (Dominion Resources Inc /Va/)
Intention of the Parties. It is the intention of the ------------------------ parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration shall be interpreted to further this intention of the parties.
Appears in 1 contract
Intention of the Parties. It is the intention of the parties hereto that the Trust not be classified for United States Federal income tax purposes as an association taxable as a corporation or partnership but that the Trust be treated as a grantor trust for United States federal income tax purposes as a grantor trustpurposes. The provisions of this Declaration shall be interpreted to further this intention of the parties.
Appears in 1 contract
Sources: Declaration of Trust (Pogo Trust Ii)
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration shall be interpreted to further this intention of the parties.in a manner consistent with such classification. 162
Appears in 1 contract
Sources: Indenture (First Security Capital V)
Intention of the Parties. It is the intention of the parties hereto that the Trust not be classified characterized for United States federal income tax purposes as an association taxable as a corporation or a partnership but rather that the Trust be characterized as a grantor trusttrust or otherwise in a manner such that each Holder of Trust Securities will be treated as owning an undivided beneficial interest in the Notes. The provisions of this Declaration shall be interpreted to further this intention of the parties.
Appears in 1 contract
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States federal Federal income tax purposes as a grantor trust. The provisions of this Declaration shall be interpreted to further this intention of the partiesin a manner consistent with such classification.
Appears in 1 contract
Intention of the Parties. It is the intention of the parties hereto that the Trust not be classified characterized for United States federal income tax purposes as an association taxable as a corporation or a partnership but rather that the Trust be characterized as a grantor trusttrust or otherwise in a manner such that each Holder of Trust Securities will be treated as owning an undivided beneficial interest in the Debentures. The provisions of this Declaration shall be interpreted to further this intention of the parties.
Appears in 1 contract
Sources: Indenture (Land O Lakes Inc)
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States federal U.S. Federal income tax purposes as a grantor trust. The provisions of this Declaration Agreement shall be interpreted to further this intention of the parties.
Appears in 1 contract
Sources: Trust Agreement (Apache Corp)
Intention of the Parties. It is the intention of the --------------------------- parties hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration shall be interpreted to further this intention of the parties.
Appears in 1 contract
Sources: Declaration of Trust (Community Capital Bancshares Inc)
Intention of the Parties. It is the intention of the parties ------------------------ hereto that the Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration shall be interpreted to further this intention of the parties.grantor
Appears in 1 contract
Sources: Declaration of Trust (American Equity Investment Life Holding Co)
Intention of the Parties. It is the intention of the parties hereto that the Trust be classified for United States U.S. federal income tax purposes as a domestic grantor trust. The provisions of this Declaration Trust Agreement shall be interpreted to further this intention of the partiesin a manner consistent with that classification.
Appears in 1 contract
Sources: Trust Agreement (GE Capital Trust I)
Intention of the Parties. It is the intention of the parties hereto that the Issuer Trust be classified for United States federal income tax purposes as a grantor trust. The provisions of this Declaration Trust Agreement shall be interpreted to further this intention of the parties.
Appears in 1 contract