0000911708-02-000002 Sample Contracts

Ex-10.53
Purchase and Sale Agreement • March 29th, 2002 • Prime Retail Inc/Bd/ • Real estate investment trusts • Maryland
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Ex-10.46
Loan Agreement • March 29th, 2002 • Prime Retail Inc/Bd/ • Real estate investment trusts • New York
Ex-10.48
Employment Agreement • March 29th, 2002 • Prime Retail Inc/Bd/ • Real estate investment trusts • Maryland
Ex-10.47
Loan Agreement • March 29th, 2002 • Prime Retail Inc/Bd/ • Real estate investment trusts • New York
Ex-10.51
Employment Agreement • March 29th, 2002 • Prime Retail Inc/Bd/ • Real estate investment trusts • Maryland
Ex-10.49
Employment Agreement • March 29th, 2002 • Prime Retail Inc/Bd/ • Real estate investment trusts • Maryland
Ex-10.50
Employment Agreement • March 29th, 2002 • Prime Retail Inc/Bd/ • Real estate investment trusts
Ex-10.54 Prime Retail, Inc. Prime Retail, L.P. 100 East Pratt Street 19th Floor Baltimore, MD 21202 April 24, 2001
Prime Retail Inc/Bd/ • March 29th, 2002 • Real estate investment trusts

This letter will confirm our understanding that, in consideration for your capital contribution of $200,000 in immediately available funds to the Operating Partnership, receipt of which is hereby acknowledged, the Operating Partnership will specially allocate to you, as a limited partner of the Operating Partnership for each taxable year of the Operating Partnership for federal income tax purposes in which the Operating Partnership reports (as is required by Section 2(c) of the Agreement, superceding any provisions in the Operating Partnership's Partnership Agreement to the contrary) the payments made to you under Section 2(a) and (c) of the Agreement as "guaranteed payments" within the meaning of Section 707(c) of the Internal Revenue Code of 1986, as amended (the "Code"), the corresponding deductions (if any) resulting from such guaranteed payments (the "Annual Corresponding Deductions").

Ex-10.55 Prime Retail, Inc. Prime Retail, L.P. 100 East Pratt Street 19th Floor Baltimore, MD 21202 April 24, 2001
Prime Retail Inc/Bd/ • March 29th, 2002 • Real estate investment trusts

This letter will confirm our understanding that, in consideration for your capital contribution of $200,000 in immediately available funds to the Operating Partnership, receipt of which is hereby acknowledged, the Operating Partnership will specially allocate to you, as a limited partner of the Operating Partnership for each taxable year of the Operating Partnership for federal income tax purposes in which the Operating Partnership reports (as is required by Section 2(c) of the Agreement, superceding any provisions in the Operating Partnership's Partnership Agreement to the contrary) the payments made to you under Section 2(a) of the Agreement as "guaranteed payments" within the meaning of Section 707(c) of the Internal Revenue Code of 1986, as amended (the "Code"), the corresponding deductions (if any) resulting from such guaranteed payments (the "Annual Corresponding Deductions").

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