71 definition
71. Standard Cost of Goods".................................................................. 9 1.72 "Taxes"................................................................................... 10 1.73 "Territory"............................................................................... 10 1.74 "Therapy"................................................................................. 10 1.75 "Third Party"............................................................................. 10 1.76 "Third Party Royalties"................................................................... 10 1.77 "Tositumomab"............................................................................. 11
71. Deduction of amounts due to the Company.............................. 37 72. Unclaimed dividends.................................................. 37 73. Interest on dividends................................................ 37 74. Issue of bonus shares................................................ 37 75. Records of account................................................... 38 76. Financial year end................................................... 38 77. Financial statements................................................. 38 78. Appointment of Auditor............................................... 38 79. Remuneration of Auditor.............................................. 38 80. Vacation of office of Auditor........................................ 39 81. Access to books of the Company....................................... 39 82. Report of the Auditor................................................ 39 83. Notices to Members of the Company.................................... 39 84. Notices to joint Members............................................. 39 85. Service and delivery of notice....................................... 40 86. The seal............................................................. 40 BYE-LAW PAGE ------- ---- 87. Manner in which seal is to be affixed................................ 40 88. Winding-up/distribution by liquidator................................ 40 89. Alteration of Bye-laws............................................... 41 90. Directors of Bermuda Insurance Subsidiary............................ 41 91. Directors of certain Non-U.S. Subsidiaries........................... 41 92. Bye-laws or articles of association of certain subsidiaries.......... 42 93. Directors of subsidiaries of Bermuda Insurance Subsidiary............ 42 Schedule - Form A (Bye-law 59) Schedule - Form B (Bye-law 63) Schedule - Form C (Bye-law 67) INTERPRETATION
71. Note: This table of contents shall not, for any purpose, be deemed to be a part of this Indenture. --------------------------------------------------------------------------------------------- Indenture, dated as of , 2003 among COMPANHIA VALE DO RIO DOCE, a company ------ organized under the laws of the Federative Republic of Brazil (herein called the "Company"), having its principal office at Avenida Graca Aranha, No. 26, 17 Andar, 20030-900 Rio de Janeiro, RJ, ▇▇▇▇▇▇, ▇▇▇ ▇▇▇▇▇▇▇▇ ▇▇▇▇▇ BANK, a bank ▇▇▇▇ ▇▇▇▇▇▇▇▇▇ ▇▇▇ ▇▇▇▇▇▇▇▇ ▇▇▇▇▇ ▇▇e laws of New York, as Trustee (herein called the "Trustee").
More Definitions of 71
71 interest earnings requirement" ............................ 74 ARTICLE II. DESCRIPTION, FORM, EXECUTION, REGISTRATION AND EXCHANGE OF BONDS
71. Financial Indebtedness" means any indebtedness for or in respect of: (a) moneys borrowed; (b) any amount raised by acceptance under any acceptance credit facility; (c) any amount raised pursuant to any note purchase facility or the issue of bonds, notes, debentures, loan stock or any similar instrument; (d) the amount of any liability in respect of any lease, lease purchase, installment sale, conditional sale, hire purchase or credit sale or other similar arrangement (whether in respect of aircraft, machinery, equipment, land or otherwise) entered into primarily as a method of raising finance or for financing the acquisition of the relevant asset; (e) payments under any lease with a term, including optional extension periods, if any, capable of exceeding two years (whether in respect of aircraft, machinery, equipment, land or otherwise) characterized or interpreted as an operating lease in accordance with the relevant accounting standards but either entered into primarily as a method of financing the acquisition of the asset leased or having a termination sum payable upon any termination of such lease; (f) any amount raised by receivables sold or discounted (other than any receivables to the extent they are sold on a non-recourse basis) including any bill discounting, factoring or documentary credit facilities; (g) any amount raised under any other transaction (including any forward sale or purchase agreement) having the commercial effect of a borrowing; (h) any derivative transaction entered into in connection with protection against or benefit from fluctuation in any rate or price (and, when calculating the value of any derivative transaction, only the marked to market value shall be taken into account); (i) obligations (whether or not conditional) arising from a commitment to purchase or repurchase shares or securities where such commitment is or was in respect of raising finance; (j) any counter-indemnity obligation in respect of a guarantee, indemnity, bond, standby or documentary letter of credit or any other instrument issued by a bank or financial institution; and the amount of any liability in respect of any guarantee or indemnity for any of the items referred to in paragraphs (a) through (j) above. "Floor" means a rate of interest equal to 0%. "Frontier Airlines" means Frontier Airlines, Inc. "Frontier Holdings" means Frontier Airlines Holdings, Inc. "Frontier Group Holdings" means Frontier Group Holdings, Inc. "Guarantee" means each guarantee, a...
71. “Tax”: Any tax, levy, impost, duty, charge, assessment, deduction, withholding or fee of any nature (including interest, penalties and additions thereto) imposed by any governmental taxing authority. “Tax Event”: (i)(x) Any Obligor under any Collateral Obligation being required to deduct or withhold from any payment under such Collateral Obligation to the Issuer for or on account of any Tax for whatever reason and such Obligor is not required to pay to the Issuer such additional amount as is necessary to ensure that the net amount actually received by the Issuer (free and clear of Taxes, whether assessed against such Obligor or the Issuer) will equal the full amount that the Issuer would have received had no such deduction or withholding occurred and (y) the total amount of such deductions or withholdings on the Assets results in a payment by, or charge or tax burden to, the Issuer that results or will result in the withholding of 5% or more of Scheduled Distributions for any Collection Period, or (ii) any jurisdiction imposing net income, profits or similar Tax on the Issuer (including, for this purpose, any Tax required to be withheld under Section 1446 of the Code) in an aggregate amount in any Collection Period in excess of U.S.$1,000,000. “Tax Jurisdiction”: The Bahamas, Bermuda, the British Virgin Islands, the Cayman Islands or the Channel Islands so long as each such tax advantaged jurisdiction is rated at least “A-1” by S&P and any other tax advantaged jurisdiction as may be notified by the Collateral Manager to S&P from time to time so long as each such other tax advantaged jurisdiction is rated at least “A-1” by S&P. “Tax Redemption”: The meaning specified in Section 9.3(a) hereof. “Term SOFR Administrator”: CME Group Benchmark Administration Limited, or a successor administrator of the Term SOFR Reference Rate selected by the Collateral Manager with notice to the Trustee and the Collateral Administrator. “Term SOFR Rate”: For any Interest Accrual Period, the greater of (a) zero and (y) the Term SOFR Reference Rate for the Corresponding Tenor, as such rate is published by the Term SOFR Administrator on the related Interest Determination Date; provided that the Term SOFR Rate for the first Interest Accrual Period shall be determined as follows: (i) with respect to the period from the Closing Date to but excluding the First Interest Determination End Date, the Term SOFR Rate shall equal the rate determined by interpolating between the rate publishe...
71 means the Emergency Measures Agreement entered into by the Parties on or around 1 April 2020 to deal with the impacts of COVID 19;
71 means the amounts payable by the Supplier to the Customer in respect of a delay in respect of a Milestone as specified in the Implementation Plan;
71. Offeree Member's Acceptance Notice" 7.1 "Offeree Member Response Date" 7.1 "Pilot Facility Costs" 2.11 "R&D Funding Disagreement" 2.7 "R&D Phase" 2.6