FATCA Matters. For purposes of determining withholding Taxes imposed under FATCA, from and after the Effective Date, the Borrower and the Administrative Agent shall treat (and the Lenders hereby authorize the Administrative Agent to treat) this Agreement and the Loans as not qualifying as “grandfathered obligations” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).
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Sources: 364 Day Credit Agreement (National Fuel Gas Co), Credit Agreement (National Fuel Gas Co), Credit Agreement (National Fuel Gas Co)
FATCA Matters. For purposes of determining withholding Taxes taxes imposed under the FATCA, from and after the Effective Date, the Borrower and the Administrative Agent shall treat (and the Lenders hereby authorize the Administrative Agent to treat) this the Agreement and the Loans as not qualifying as a “grandfathered obligationsobligation” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).
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FATCA Matters. For purposes of determining withholding Taxes imposed under FATCA, from and after the Effective DateDecember 11, 2014, the Borrower and the Successor Administrative Agent shall not treat (and the Lenders hereby authorize the Successor Administrative Agent to not treat) this Agreement and the Loans as not qualifying as a “grandfathered obligationsobligation” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).
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