Taxing Jurisdictions. Section 3.11(d) of the Company Disclosure Schedule contains a list of all jurisdictions (whether foreign or domestic) in which any of the Acquired Companies files a Tax Return. No claim has been made by any Taxing Authority in a jurisdiction where an Acquired Company does not file Tax Returns that such Acquired Company is or may be subject to taxation by, or required to file any Tax Return in, that jurisdiction.
Appears in 2 contracts
Samples: Agreement and Plan of Merger (Communications Sales & Leasing, Inc.), Agreement and Plan of Merger (Globalstar, Inc.)
Taxing Jurisdictions. Section 3.11(d4.11(d) of the Company Disclosure Schedule contains a list of all jurisdictions (whether foreign or domestic) in which any of the Acquired Companies files a Tax Return. No claim has been made by any Taxing Authority in a jurisdiction where an Acquired Company does not file Tax Returns that such Acquired Company is or may be subject to taxation by, or required to file any Tax Return in, that jurisdiction.
Appears in 1 contract
Samples: Agreement and Plan of Merger (Communications Sales & Leasing, Inc.)
Taxing Jurisdictions. Section 3.11(d4.10(c) of the Company Disclosure Schedule contains a list of all jurisdictions (whether foreign U.S. or domesticnon-U.S.) in to which any Tax is properly payable by any of the Acquired Companies files a Tax ReturnCompanies. No written claim has been made by any Taxing Authority in a jurisdiction where an Acquired Company does not file a particular type of Tax Returns Return (or pay a particular type of Tax) that such Acquired Company is or may be subject to taxation by, or required to file any such type of Tax Return in, in that jurisdictionjurisdiction (or pay such particular type of Taxes).
Appears in 1 contract