United States Federal definition

United States Federal. Income Tax Considerations For Non-United States Holders" does not purport to discuss all possible United States federal income tax consequences of the purchase, ownership and disposition of the Securities to non-United States holders of the Securities, such discussion constitutes, in all material respects, a fair and accurate summary of the United States federal income tax consequences of the purchase, ownership and disposition of the Securities to non-United States holders of the Securities. John R. Dye, Esq., Associate General Counsel of the Company, is counxxx xx xxx Company. Skadden, Arps, Slate, Meagher & Flom LLP is special U.S. tax counsel to the Company. Dewey Xxxxxxtinx XXP is counsel to the Underwriters. Pleasx xxxxxx xxxx xxfer no later than 9:00 o'clock p.m. Eastern Standard Time on August 19, 2002 by signing a copy of this Terms Agreement in the space set forth below and returning the signed copy to us, or by sending us a written acceptance in the following form: "We hereby accept your offer, set forth in the Terms Agreement, dated August 19, 2002, to purchase the Securities on the terms set forth therein." Very truly yours, SALOMON SMITH BARNEY INC. BANC ONX XXXXXXX XXXKXXX, XNC. LEHMAN BROTHERS INC. MERRILL LYNCX, XXXRCE, FENNER & SMITH INCORPORATED BANC OF AMERICA SECURITIES LLC BARCLAYS CAPITAL INC. BEAR, STEARNS & CO. INC. HSBC SECURITIEX (XXX) INC. J.P. MORGAN SECURITIES INC. MCDONXXX XXXXXXXENTS INC., A KEYCORP COMPANY MELVIN SECURITIES, LLC By: SALOXXX XXITH BARNEY INC. By: /x/ Xxxxxxy A. Drake Name: Jefxxxx X. Xxxxx Title: Vicx Xxxxxxxxx XXXEPTED: CITIGROUP INC. By: /s/ Charles E. Wainhouse Name: Charles E. Wainhouse Title: Xxxxxxxxx Xxxxxxxxx ANNEX A NAME OF UNDERWRITER PRINCIPAL AMOUNT OF 2012 NOTES ------------------- ------------------------------ Salomon Smith Barney Inc. $ 855,000,000 Xxxx Xxx Xxxxxxl Markets, Inc. $ 25,000,000 Lehman Brothers Inc. $ 25,000,000 Xerrill Lynch, Pierce, Fenner & Smith Incorporated $ 25,000,000 Xxnc of America Sexxxxxxes XXX $ 10,000,000 Barclays Capital Inc. $ 10,000,000 Bear, Stearns & Co. Inc. $ 10,000,000 HXXX Xxxurities (USA) Inc. $ 10,000,000 J.P. Morgan Securities Inc. $ 10,000,000 XxXxxxld Investments Inc., a KeyCorp Company $ 10,000,000 Melvin Securities, LLC $ 10,000,000 -------------- TOTAL $1,000,000,000 ==============
United States Federal. Income Tax Considerations For Non-United States Holders" does not purport to discuss all possible United States federal income tax consequences of the purchase, ownership and disposition of the Securities to non-United States holders of the Securities, such discussion constitutes, in all material respects, a fair and accurate summary of the United States federal income tax consequences of the purchase, ownership and disposition of the Securities to non-United States holders of the Securities. John X. Xxx, Xxq., Associate General Counsel of the Company, is counsel to the Company. Skadden, Arps, Slate, Meagxxx & Xlom XXX is special tax counsel to the Company. Dewex Xxxxxxxxxx XXX is counsel to the Underwriters. Please accept this offer no later than 9:00 o'clock p.m. Eastern Standard Time on May 3, 2001 by signing a copy of this Terms Agreement in the space set forth below and returning the signed copy to us, or by sending us a written acceptance in the following form:
United States Federal. Income Tax Considerations For Non-United States Holders" does not purport to discuss all possible United States federal income tax consequences of the purchase, ownership and disposition of the Securities to non-United States holders of the Securities, such discussion constitutes, in all material respects, a fair and accurate summary of the United States federal income tax consequences of the purchase, ownership and disposition of the Securities to non-United States holders of the Securities. Xxxx X. Xxx, Esq., Associate General Counsel of the Company, is counsel to the Company. Skadden, Arps, Slate, Xxxxxxx & Xxxx LLP is special U.S. tax counsel to the Company. Cleary, Gottlieb, Xxxxx & Xxxxxxxx is counsel to the Underwriters. Please accept this offer no later than 9:00 p.m. Eastern Time on May 12, 2003 by signing a copy of this Terms Agreement in the space set forth below and returning the signed copy to us, or by sending us a written acceptance in the following form: "We hereby accept your offer, set forth in the Terms Agreement, dated May 12, 2003, to purchase the Securities on the terms set forth therein." Very truly yours, CITIGROUP GLOBAL MARKETS INC., on behalf of the Underwriters named herein

Examples of United States Federal in a sentence

  • We are of the opinion that, under existing United States Federal income tax law, the Trust is not an association taxable as a corporation for Federal income tax purposes but will be classified as a grantor trust and will be governed by the provisions of subchapter J (relating to trusts) of chapter 1, of the Internal Revenue Code of 1986 (the "Code").

  • This opinion, as qualified herein, covers only the opinions expressly contained herein, and we express no opinion with respect to any other considerations which may arise relating to the transaction, any other taxes or any other matters arising under United States Federal, state, local or foreign law.

  • In our opinion, the discussions under the headings “Material United States Federal Income Tax Considerations” in the Product Supplement and “Material U.S. Federal Income Tax Considerations” in the Pricing Supplement, subject to the conditions and limitations described therein, set forth the material U.S. federal income tax considerations applicable generally to holders of the securities offered pursuant to the Pricing Supplement as a result of the ownership and disposition of such securities.

  • We hereby consent to the filing of this opinion as an exhibit to the Registration Statement and to the references to us under the headings “Material United States Federal Income Tax Considerations” in the Product Supplement and “Material U.S. Federal Income Tax Considerations” in the Pricing Supplement.

  • We are of the opinion that, under existing United States Federal income tax law, the Trust is not an association taxable as a corporation for Federal income tax purposes but will be classified as a grantor trust and will be governed by the provisions of subpart E of Part I of subchapter J (relating to trusts) of chapter 1, of the Internal Revenue Code of 1986 (the "Code").

  • Although the discussion in the Prospectus under the heading "Taxes" does not purport to discuss all possible United States Federal income tax consequences of the purchase, ownership and disposition of Units, in our opinion, under existing United States Federal income tax law, such discussion, taken as a whole, is an accurate summary in all material respects, to the extent that the discussion constitutes statements of law or legal conclusions with respect to United States Federal income tax matters.

  • Although the discussion in the Prospectus under the heading "Taxes" does not purport to discuss all possible United States federal income tax consequences of the purchase, ownership and disposition of Units, in our opinion, under existing United States Federal income tax law, such discussion, taken as a whole, is an accurate summary in all material respects, to the extent that the discussion constitutes statements of law or legal conclusions with respect to United States federal income tax matters.

  • We are of the opinion that, under existing United States Federal income tax law, the Trust is not an association taxable as a corporation for Federal income tax purposes but will be classified as a grantor trust and will be governed by the provisions of subpart E of Part I of subchapter J (relating to trusts) of chapter 1, of the Internal Revenue Code of 1986 (the “Code”).

  • Based on the foregoing, and subject to the limitations, qualifications and assumptions set forth herein, the discussion set forth in the CoreNotes Prospectus Supplement under the heading “Material United States Federal Income Tax Considerations,” to the extent describing matters of United States federal income tax law or legal conclusions with respect thereto, is my opinion.

  • Although the discussion in the Prospectus under the heading “Taxes” does not purport to discuss all possible United States Federal income tax consequences of the purchase, ownership and disposition of Units, in our opinion, under existing United States Federal income tax law, such discussion, taken as a whole, is an accurate summary in all material respects, to the extent that the discussion constitutes statements of law or legal conclusions with respect to United States Federal income tax matters.


More Definitions of United States Federal

United States Federal. Income Tax Considerations for Non-U.S. Holders," "Description of Security for the Secured Notes," "Plan of Distribution," "Notice to Investors in the New Senior Notes" and "Notice to Investors in the Secured Notes," in the Offering Memorandum, insofar as such statements constitute a summary of the legal matters, fairly present in all material respects such legal matters;

Related to United States Federal

  • United States Forces Korea (USFK) means the subordinate unified command through which US forces would be sent to the Combined Forces Command fighting components.

  • United States and “U.S.” mean the United States of America.

  • Citizen of the United States has the meaning specified for such term in Section 40102(a)(15) of Title 49 of the United States Code or any similar legislation of the United States enacted in substitution or replacement therefor.

  • United States Citizen shall have the meaning set forth in Section 3.02.

  • United States shareholder means, with respect to any foreign corporation, a United States person who owns, or is considered as owning, 10 percent or more of the total combined voting power of all classes of stock entitled to vote of such foreign corporation.

  • Outside the United States means a location outside the geographic boundaries of the United States, Puerto Rico, the United States Virgin Islands, and any territory, insular possession, or other location subject to the jurisdiction of the United States.

  • United States Alien means any Person who, for United States Federal income tax purposes, is a foreign corporation, a non-resident alien individual, a non-resident alien fiduciary of a foreign estate or trust, or a foreign partnership one or more of the members of which is, for United States Federal income tax purposes, a foreign corporation, a non-resident alien individual or a non-resident alien fiduciary of a foreign estate or trust.

  • United means United Airlines, Inc., a Delaware corporation, and its successors and assigns.

  • Qualified United States financial institution means an institution that:

  • United States Bankruptcy Code means the Bankruptcy Reform Act of 1978, as amended and as codified in Title 11 of the United States Code, as amended from time to time hereafter, or any successor federal bankruptcy law.

  • United States Tax Person A citizen or resident of the United States, a corporation, partnership or other entity created or organized in, or under the laws of, the United States, any State thereof or the District of Columbia, an estate whose income from sources without the United States is includible in gross income for United States federal income tax purposes regardless of its source or a trust if a court within the United States is able to exercise primary supervision over the administration of the trust and one or more United States Tax Persons have the authority to control all substantial decisions of the trust, all within the meaning of Section 7701(a)(30) of the Code (or, to the extent provided in the applicable Treasury Regulations, certain trusts in existence on August 20, 1996 that have elected to be treated as United States Tax Persons).

  • United States of America means the United States of America.

  • Armed forces of the United States means the United States

  • Federal Government means the Federal Government of Islamic Republic of Pakistan.

  • Non-United States Tax Person Any Person other than a United States Tax Person.

  • States “An individual shall not be held criminally or civilly liable under any federal or state trade secret law for the disclosure of a trade secret that (A) is made (i) in confidence to a federal, state, or local government official, either directly or indirectly, or to an attorney; and (ii) solely for the purpose of reporting or investigating a suspected violation of law; or (B) is made in a complaint or other document filed in a lawsuit or other proceeding, if such filing is made under seal.” Accordingly, Grantee shall have the right to disclose in confidence trade secrets to federal, state, and local government officials, or to an attorney, for the sole purpose of reporting or investigating a suspected violation of law. Grantee shall also have the right to disclose trade secrets in a document filed in a lawsuit or other proceeding, but only if the filing is made under seal and protected from public disclosure. Nothing in this Agreement is intended to conflict with 18 U.S.C. § 1833(b) or create liability for disclosures of trade secrets that are expressly allowed by 18 U.S.C. § 1833(b).

  • New York Federal Reserve s Website" means the website of the Federal Reserve Bank of New York currently at http://www.newyorkfed.org, or any successor website;

  • Appropriate Federal Banking Agency means the “appropriate Federal banking agency” with respect to the Corporation as defined in Section 3(q) of the Federal Deposit Insurance Act (12 U.S.C. Section 1813(q)), or any successor provision.

  • Produced in the United States means, for iron and steel products, that all manufacturing processes, from the initial melting stage through the application of coatings, occurred in the United States.

  • Federally Qualified Health Center means a non-administrative medical facility with a fixed permanent location that is identified on the following search engines and offers health services on a sliding scale payment system: http://findahealthcenter.hrsa.gov or http://www.ihs.gov/ or http://www.aachc.org/.

  • United States Securities Person Any “U.S. person” as defined in Rule 902(k) of Regulation S.

  • NY Federal Reserve means the Federal Reserve Bank of New York.

  • Federal Aid Contract” is any contract between the Texas Department of Transportation and a Provider which is paid for in whole or in part with U. S. Department of Transportation (DOT) financial assistance.

  • County Government means the county government provided for under Article 176 of the Constitution;

  • United States Trustee means the Office of the United States Trustee for the District of Delaware.

  • Commonwealth Citizen means any person who has the status of a Commonwealth citizen under the British Nationality Act 1981, not covered by the ‘UK Nationality’ definition above. This includes British Dependent Territories citizens (other than Gibraltarians), British Overseas citizens, and from 1986 those persons in the category British National (Overseas).