Tax Jurisdiction Sample Clauses

Tax Jurisdiction. The Canadian Borrower is a resident of Canada for purposes of the Income Tax Act (Canada) and each U.S. Borrower is a “U.S. person” as defined in Section 7701(a)(30) of the Code.
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Tax Jurisdiction at all times maintain its residence in the United Kingdom for the purposes of United Kingdom taxation;
Tax Jurisdiction maintain its residence in the United Kingdom for the purposes of United Kingdom taxation;
Tax Jurisdiction. Schedule 3.21(c) contains a list of those jurisdictions in which Seller has paid Tax to a Governmental Body with respect to its 2006 and 2007 taxable years.
Tax Jurisdiction. 4Voice will determine End Users Tax jurisdiction in a manner specified by local and state authorities. This maybe the primary service address, billing address or other addresses, as determined by 4Voice.
Tax Jurisdiction. None of the Company or any of its Subsidiaries is subject to Tax in any jurisdiction other than its country of incorporation or formation by virtue of having a permanent establishment, place of business or source of income in that country.
Tax Jurisdiction. The Bahamas, Bermuda, the British Virgin Islands, the Cayman Islands, the Channel Islands, Jersey, Aruba/Curacao or the U.S. Virgin Islands.
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Tax Jurisdiction. Irrespective of the nationality or domicile of individuals and of the place of execution of contracts, income, earnings, or profits of any kind that are received shall be taxable only in the Contracting State in which the generating source of such income, earnings, or profits, barring the cases of exception provided for in this Convention, is situated.
Tax Jurisdiction. Each Investor is a United States Person for U.S federal income tax purposes and will provide a Form W-9 at the Series A Repurchase Closing, except Centerbridge Credit Partners Master, L.P., a Cayman exempted limited partnership which owns no more than 8.1% of the total Series A Preferred Stock outstanding. Centerbridge Credit Partners Master, L.P. will provide a Form W-8IMY or other appropriate Form W-8 at the Series A Repurchase Closing.
Tax Jurisdiction. Each Investor is a United States Person for U.S federal income tax purposes and will provide a Form W-9 at the Series A Repurchase Closing, except Oaktree Phoenix Investment Fund LP, a Cayman limited partnership (“OPIF”), which owns no more than 0.78% of the total Series A Preferred Stock outstanding. OPIF will provide a Form W-8IMY or other appropriate Form W-8 at the Series A Repurchase Closing.
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