Investment Structure definition
Examples of Investment Structure in a sentence
The following events qualify as evaluation events: capital calls, distributions or redemptions effected by the relevant vehicle Alternative Investment Vehicle or Investment Structure or one or more of its underlying investments as well as any material events or developments affecting either the underlying investments or the relevant vehicle, Alternative Investment Vehicle or Investment Structures themselves.
Current Investment Structure MassMutual Investment Structure And Designation Investment at the Plan Level.
The Investors shall have complied in all material respects with their obligations under the applicable Operating Agreement (including those described under Investment Structure above).
When structuring Investments of the Partnership or any Alternative Investment Structure (and when forming Alternative Investment Structures), the General Partner shall consider the tax consequences to the Partners and shall use reasonable efforts to structure such Investments and entities in a tax-efficient manner, taking into account .
Investment Agreement We are pleased to advise that Digital Video Systems, Inc.'s ("DVS") Board of Directors has approved the following Investment Structure, which is based upon your prior conversations and correspondence with us.
Investment Structure Drive Shack will notify Symphony approximately 30 days prior to the receipt of the certificate of occupancy for each Puttery venue.
The CN undertakes to provide at least the investment volume specified in Annex 6 (Investment Structure and List of Products), to comply with the investment structure specified and to use the products of the respective manufacturers specified therein and offered by the CN.
Neftgarant Non-State Pension Fund, a Russian institutional, autonomous and independent investor which pursues long-term investment strategies, is the sole investor of the closed-end long-term direct investment fund “ RFR Long-Term Investments” (the whole chain described in this paragraph, the “ Investment Structure ”).
To the extent the General Partner reasonably determines that withholding tax under Sections 1471-1472 of the Code (“FATCA Withholding”) is imposed on payments to the Partnership or an Alternative Investment Structure solely as a result of a “recalcitrant account holder” within the meaning of Section 1471(d)(6) of the Code, then the General Partner shall of their respective successors and permitted assigns.