Underlying Equities definition
Examples of Underlying Equities in a sentence
The Reference Items to which Autocall Notes may be linked are Index, Underlying Equity (which may be an ETF Share) or Basket of Underlying Equities (which may be or include an ETF Share) and Currency exchange rates.
U.S. Treasury regulations issued under Section 871(m) of the U.S. Internal Revenue Code of 1986 (the "Section 871(m) Regulations") generally impose a 30% withholding tax on dividend equivalents paid or deemed paid to a non-United States holder as defined pursuant to Section 871(m) Regulations (a "Non-U.S. Holder"), with respect to certain financial instruments linked to U.S. equities or indices that include U.S. equities ("U.S. Underlying Equities").
RI U.S. Treasury regulations issued under Section 871(m) of the U.S. Internal Revenue Code of 1986 (the "Section 871(m) Regulations") generally impose a 30% withholding tax on dividend equivalents paid or deemed paid to a non-United States holder, as defined pursuant to Section 871(m) Regulations (a "Non-U.S. Holder"), with respect to certain financial instruments linked to U.S. equities or indices that include U.S. equities ("U.S. Underlying Equities").
The Parties hereby unanimously agree that according to the terms and conditions agreed in this Agreement, the Seller shall transfer the Underlying Equities to the Buyer, and the price of the Equity Transfer shall be RMB 313.6 million (the “Equity Transfer Price”).
The Seller has the ownership of the Underlying Equities which are clear and free of any joint ownership, mortgage, pledge or any other security interest.
If the Closing is ruled as invalid, illegal or unenforceable in any aspect under applicable laws or regulations or is restored to its original state in whole or in part for any reason, the Parties shall take all alternative measures and other measures to ensure that the transaction purpose of the Equity Transfer can be fully realized, that is, the Underlying Equities of the Seller cannot be recovered in whole or in part, and the Equity Transfer Price of the Buyer cannot be recovered in whole or in part.
In particular, the Parties acknowledge that the Closing should not be restored to its original state in whole or in part for any reason, that is, the Underlying Equities of the Seller cannot be recovered in whole or in part, and the Equity Transfer Price of the Buyer cannot recovered in whole or in part.
U.S. Treasury regulations issued under Section 871(m) of the U.S. Internal Revenue Code of 1986 (the "Section 871(m) Regulations") generally impose a 30% withholding tax on dividend equivalents paid or deemed paid to a non-United States holder, as defined pursuant to Section 871(m) Regulations (a "Non-U.S. Holder"), with respect to certain financial instruments linked to U.S. equities or indices that include U.S. equities ("U.S. Underlying Equities").