Common use of Qualified Income Offset Clause in Contracts

Qualified Income Offset. In the event any Partner unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership income and gain shall be specially allocated to such Partner in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i) or (ii). This Section 6.1(d)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 23 contracts

Samples: Agreement and Plan of Merger (Och-Ziff Capital Management Group LLC), Letter Agreement (Och-Ziff Capital Management Group LLC), Letter Agreement (Och-Ziff Capital Management Group LLC)

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Qualified Income Offset. In the event any Partner Member unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Regulations Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible possible, unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i5.1(b)(i) or (ii). This Section 6.1(d)(iii5.1(b)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Regulations Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 20 contracts

Samples: Limited Liability Company Agreement (PBF Energy Inc.), Limited Liability Company Agreement (FXCM Inc.), Operating Agreement (Truett-Hurst, Inc.)

Qualified Income Offset. In the event any Partner Member unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(iSections 4.1(d)(i) or (ii). This Section 6.1(d)(iii4.1(d)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 10 contracts

Samples: Limited Liability Company Agreement (Fortress Investment Group LLC), Limited Liability Company Agreement (Fortress Transportation & Infrastructure Investors LLC), Limited Liability Company Agreement (Fortress Transportation & Infrastructure Investors LLC)

Qualified Income Offset. In the event any Partner Member unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Regulations Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible possible, unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i5.1(b)(i) or (iiSection 5.1(b)(ii). This Section 6.1(d)(iii5.1(b)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Regulations Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 7 contracts

Samples: Limited Liability Company Agreement (Terraform Global, Inc.), Limited Liability Company Agreement (Terraform Global, Inc.), Limited Liability Company Agreement (TerraForm Power, Inc.)

Qualified Income Offset. In the event any Partner unexpectedly receives any adjustments, allocations or distributions described in U.S. Treasury Regulation Regulations Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership income and gain shall be specially allocated to such Partner in an amount and manner sufficient to eliminate, to the extent required by the U.S. Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(iSections 5.2(b)(i) or (ii). This Section 6.1(d)(iii5.2(b)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of U.S. Treasury Regulation Regulations Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 7 contracts

Samples: Agreement and Plan of Merger (Avago Technologies LTD), Agreement (Broadcom Cayman L.P.), Limited Partnership Agreement (Restaurant Brands International Inc.)

Qualified Income Offset. In the event any Partner unexpectedly receives any adjustments, allocations or distributions described in U.S. Treasury Regulation Regulations Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership income and gain shall be specially allocated to such Partner in an amount and manner sufficient to eliminate, to the extent required by the U.S. Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(iSections 5.1(b)(i) or (ii). This Section 6.1(d)(iii5.1(b)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of U.S. Treasury Regulation Regulations Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 6 contracts

Samples: Limited Partnership Agreement (Loral Space & Communications Inc.), Limited Partnership Agreement (Telesat Corp), Limited Partnership Agreement (Telesat Partnership LP)

Qualified Income Offset. In the event any Partner unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership income and gain shall be specially allocated to such Partner in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i6.1(e)(i) or (ii). This Section 6.1(d)(iii6.1(e)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 4 contracts

Samples: Och-Ziff Capital Management Group LLC, Och-Ziff Capital Management Group LLC, Och-Ziff Capital Management Group LLC

Qualified Income Offset. In Except as provided in Sections 9.2(c) and 9.2(d) above, in the event any Partner Member unexpectedly receives any adjustmentsan adjustment, allocations allocation or distributions distribution described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), ) or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the such Treasury Regulations promulgated under Section 704(b) of the CodeRegulation, the deficit balance, if any, in its Adjusted Capital Account created by such adjustmentsadjustment, allocations allocation or distributions distribution as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(iSections 9.2(c), 9.2(d) or (ii9.2(f). This Section 6.1(d)(iii9.2(e) is intended to qualify and be construed as constitute a qualified income offset” within the meaning of offset described in Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 4 contracts

Samples: Limited Liability Company Agreement (Markwest Energy Partners L P), Limited Liability Company Agreement (Markwest Energy Partners L P), Limited Liability Company Agreement (Markwest Energy Partners L P)

Qualified Income Offset. In Except as provided in Sections 9.2(c) and 9.2(d) above, in the event any Partner Member unexpectedly receives any adjustmentsan adjustment, allocations allocation or distributions distribution described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), ) or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the such Treasury Regulations promulgated under Section 704(b) of the CodeRegulation, the deficit balance, if any, in its Adjusted Capital Account created by such adjustmentsadjustment, allocations allocation or distributions distribution as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(iSections 9.2(c) or (ii9.2(d). This Section 6.1(d)(iii9.2(e) is intended to qualify and be construed as constitute a qualified income offset” within the meaning of offset described in Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 3 contracts

Samples: Limited Liability Company Agreement (MPLX Lp), Limited Liability Company Agreement (Markwest Energy Partners L P), Limited Liability Company Agreement (Markwest Energy Partners L P)

Qualified Income Offset. In the event any Partner unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership income and gain shall be specially allocated to such Partner in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i6.1(c)(i) or (ii). This Section 6.1(d)(iii6.1(c)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 3 contracts

Samples: Och-Ziff Capital Management Group LLC, Och-Ziff Capital Management Group LLC, Och-Ziff Capital Management Group LLC

Qualified Income Offset. In the event any Partner Member unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Regulations Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible possible, unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i5.1(b)(i) or (iiSection 5.1(b)(ii). This Section 6.1(d)(iii5.1(b)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Regulations Section 1.704-1.704- 1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 3 contracts

Samples: Merger and Sponsorship Transaction Agreement (TerraForm Power, Inc.), Limited Liability Company Agreement (TerraForm Power, Inc.), Limited Liability Company Agreement (TerraForm Power, Inc.)

Qualified Income Offset. In the event any Partner unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership income and gain shall be specially allocated to such Partner in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i) or (ii). This Section 6.1(d)(iii) is intended to qualify and be construed as a "qualified income offset" within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 2 contracts

Samples: Och Daniel, Och Daniel

Qualified Income Offset. In the event any Partner Member unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Regulations Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible possible, unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i5.1(e)(i) or (ii). This Section 6.1(d)(iii5.1(e)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Regulations Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 2 contracts

Samples: Limited Liability Company Agreement (Duff & Phelps Corp), Limited Liability Company Agreement (Duff & Phelps Corp)

Qualified Income Offset. In the event any Partner Member unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Regulations Sections 1.704-1(b)(2)(ii)(d)(4l(b)(2)(ii)(d)(4), (5), or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible possible, unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i5.l(b)(i) or (iiSection 5.1(b)(ii). This Section 6.1(d)(iii5.1(b)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Regulations Section 1.704-1(b)(2)(ii)(d1 (b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 2 contracts

Samples: Equity Purchase Agreement (Hicks Acquisition CO II, Inc.), Equity Purchase Agreement (Paperweight Development Corp)

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Qualified Income Offset. In the event any Partner Member unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(iSections 4.1(c)(i) or (ii). This Section 6.1(d)(iii4.1(c)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 1 contract

Samples: Limited Liability Company Agreement (Och-Ziff Capital Management Group LLC)

Qualified Income Offset. In the event any Partner Member unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(iSections 4.1(c)(i) or (ii). This Section 6.1(d)(iii4.1(c)(iii) is intended to qualify and be construed as a "qualified income offset" within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 1 contract

Samples: Limited Liability Company Agreement (Och Daniel)

Qualified Income Offset. In the event any Partner unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership income and gain shall be specially allocated to such Partner in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i) or (ii). This Section 6.1(d)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(dl(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 1 contract

Samples: Och-Ziff Capital Management Group LLC

Qualified Income Offset. In the event any Partner Member unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or Table of Contents (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(iSections 4.1(c)(i) or (ii). This Section 6.1(d)(iii4.1(c)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 1 contract

Samples: Limited Liability Company Agreement (Och-Ziff Capital Management Group LLC)

Qualified Income Offset. In the event any Partner unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership income and gain shall be specially allocated to such Partner in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i6.1(c)(i) or (ii). This Section 6.1(d)(iii6.1(c)(iii) is intended to qualify and be construed as a "qualified income offset" within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 1 contract

Samples: Och Daniel

Qualified Income Offset. In Except as provided in Section 8.2(c) and Section 8.2(d) above, in the event any Partner Member unexpectedly receives any adjustmentsan adjustment, allocations allocation or distributions distribution described in Treasury Regulation Regulations Sections 1.704-1(b)(2)(ii)(d)(4), (5), ) or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the such Treasury Regulations promulgated under Section 704(b) of the CodeRegulation, the deficit balance, if any, in its Adjusted Capital Account created by such adjustmentsadjustment, allocations allocation or distributions distribution as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i8.2(c) or (iiSection 8.2(d). This Section 6.1(d)(iii8.2(e) is intended to qualify and be construed as constitute a qualified income offset” within the meaning of offset described in Treasury Regulation Regulations Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 1 contract

Samples: Limited Liability Company Agreement (Third Coast Midstream, LLC)

Qualified Income Offset. In the event any Partner Member unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership Company income and gain shall be specially allocated to such Partner Member in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(iSections 4.1(d)(i) or (ii). This Section 6.1(d)(iii4.1(d)(iii) is Table of Contents intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 1 contract

Samples: Limited Liability Company Agreement (Gyrodyne Co of America Inc)

Qualified Income Offset. In the event any Partner unexpectedly receives any adjustments, allocations or distributions described in Treasury Regulation Sections 1.704-1(b)(2)(ii)(d)(4), (5), or (6), items of Partnership income and gain shall be specially allocated to such Partner in an amount and manner sufficient to eliminate, to the extent required by the Treasury Regulations promulgated under Section 704(b) of the Code, the deficit balance, if any, in its Adjusted Capital Account created by such adjustments, allocations or distributions as quickly as possible unless such deficit balance is otherwise eliminated pursuant to Section 6.1(d)(i6.l(c)(i) or (ii). This Section 6.1(d)(iii6.1(c)(iii) is intended to qualify and be construed as a “qualified income offset” within the meaning of Treasury Regulation Section 1.704-1(b)(2)(ii)(d) and shall be interpreted consistently therewith.

Appears in 1 contract

Samples: Och-Ziff Capital Management Group LLC

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