Payee Tax Representation Sample Clauses

Payee Tax Representation. For the purpose of Section 3(f), Xxxxxx and Counterparty each represent, respectively, that it is a United States Person for U.S. federal income tax purposes and either (a) is a financial institution or (b) is not acting as an agent for a person that is not a United States Person for U.S. federal income tax purposes Part 3
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Payee Tax Representation. For the purpose of Section 3(f) of the Agreement, Dealer and Counterparty make the representation below:
Payee Tax Representation. For the purpose of Section 3(f) of this Agreement, Party A and Party B will make the representation: It is an Australian resident and does not derive the payments under this Agreement in part or whole carrying on business in a country outside Australia at or through a permanent establishment of itself in that country.
Payee Tax Representation. Each representation specified in the Schedule as being made by it for the purpose of this Section 3(f) is accurate and true.
Payee Tax Representation. For the purpose of Section 3(f), Xxxxxx represents that it is a United States Person.
Payee Tax Representation. Party A makes the following Payee Tax Representation: Each payment received or to be received by Party A in connection with this Agreement will be effectively connected with its conduct of a trade or business in the United States. Party B makes no Payee Tax Representations.
Payee Tax Representation. For the purposes of Section 3(f) of this Agreement, Party A and Party B make the representations specified below:
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Payee Tax Representation. For the purpose of Section 3(f), Party A makes the representation specified below: None.
Payee Tax Representation. For the purpose of Section 3(f) of the ------------------------ Agreement, Assignee represents that it is a __________________________.
Payee Tax Representation. For the purpose of Section 3(f), Party A and Party B make the representation specified below:- "It is an Australian resident and does not derive the payments under this Agreement in part or whole in carrying on business in a country outside Australia at or through a permanent establishment of itself in that country".
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