Examples of BEI France in a sentence
The parties shall pay all liabilities in respect of the impôt sur les sociétés referred to in Article 205 of the French tax code (code général des impôts) and contributions additionnelles referred to in Articles 235 ter ZC and 235 ter ZAA of the French tax code (code général des impôts) (the “French Income Tax”) installments (acomptes) with respect to BEI France for the full calendar year in which the Closing occurs (the “Closing Year”) as required in the Tax Consolidation Exit Agreement.
Such Tax Returns shall be prepared in accordance with past practice except as required by applicable Tax Law and shall be prepared (w) in the case of Kavlico GmbH, by PwC, (x) in the case of Crydom SSR, by BDO, (y) in the case of BEI France, by Lexcase and (z) in the case of CST’s Mexican Subsidiaries, by Ernst & Young.
Without prejudice to the provisions of Section 4 (Tax Attributes) below, Parent will bear all Taxes and other financial consequences relating to any add-backs to the taxable income of the French Tax Group resulting from the leaving by BEI France of the French Tax Group, which encompass any add-backs provided for by Articles 223 F, 223 R and 223 S of the French Tax Code and, as the case may be, any penalties and interest for late payment incurred in connection with such add-backs.
The main raw material for the process is the biodegradable waste.
Consumption in pigments, des Mines (Gécamines) of Zaire and Zambia decolorizers, and driers increased, while Consolidated Copper Mines Ltd.
Grading (includes clearing and grubbing, excavation, and embarkment)12.
BEI France will pay in advance to Parent the amount of all such installments at least five (5) Business Days before their due date to the French public Treasury.
For the avoidance of doubt, the amount of installments payments made by BEI France to Custom Sensors & Technologies S.A.S. during the period running from January 1, 2015 to the Closing Date shall be reflected as a current Tax asset in the Closing Working Capital on the Closing Statement.
Tax matters relating to the tax periods of the French Tax Group during which BEI France was member of the French Tax Group and which are not addressed in this Agreement will be governed by the relevant provisions of the Purchase Agreement.
The rights and obligations of Parent and BEI France hereunder may not be assigned, pledged or otherwise transferred without the prior written consent of, respectively, BEI France or Parent, except that French Buyer shall have the right to assign its rights and obligations under this Agreement, in whole or in part, to one or more of its Affiliates, provided that such Affiliates are, direct or indirect, wholly owned Subsidiaries of “Buyer” as defined in the Purchase Agreement.