For U. S. federal income tax purposes (i) Borrower is a disregarded entity and Borrower Parent is its sole owner, and (ii) Borrower Parent is a U.S. Person.
Appears in 4 contracts
Samples: Credit Agreement (American Capital, LTD), Credit Agreement (American Capital Senior Floating, Ltd.), Credit Agreement (American Capital, LTD)
For U. S. federal income tax purposes purposes, (i) Borrower is a disregarded entity and Borrower Parent is its sole owner, owner and (ii) Borrower Parent is a U.S. Person.
Appears in 3 contracts
Samples: Credit Agreement (Blackstone Secured Lending Fund), Credit Agreement (Blackstone Secured Lending Fund), Credit Agreement (Blackstone / GSO Secured Lending Fund)
For U. S. federal income tax purposes (i) Borrower is a disregarded entity and Borrower Parent is its sole owner, and (ii) Borrower Parent is a non-U.S. corporation that is not a U.S. Person.
Appears in 2 contracts
Samples: Credit Agreement (Watford Holdings Ltd.), Credit Agreement (Watford Holdings Ltd.)
For U. S. federal income tax purposes purposes, (i) the Borrower is a disregarded entity and Borrower Parent is its sole owner, owner and (ii) the Borrower Parent is a U.S. Person.
Appears in 2 contracts
Samples: Credit Agreement (Palmer Square Capital BDC Inc.), Credit Agreement (Palmer Square Capital BDC Inc.)
For U. S. federal income tax purposes purposes, (i) Borrower is a disregarded entity and the Borrower Parent is its sole owner, owner and (ii) Borrower Parent is a U.S. Person.
Appears in 2 contracts
Samples: Credit Agreement (Nuveen Churchill Private Capital Income Fund), Credit Agreement (Nuveen Churchill Private Capital Income Fund)
For U. S. federal income tax purposes purposes, (i) Borrower is a disregarded entity and Borrower Parent is its sole owner, owner and (ii) Borrower Parent is a U.S. Personcorporation that intends to qualify for treatment as a “regulated investment company” under Subchapter M of the Code.
Appears in 1 contract