Common use of Tax Matters Partner Clause in Contracts

Tax Matters Partner. (a) (i) The General Partner shall be the “tax matters partner” of the Partnership for federal income tax purposes.

Appears in 73 contracts

Samples: Advisory Agreement, Registration Rights Agreement (American Realty Capital Hospitality Trust, Inc.), Advisory Agreement (American Realty Capital - Retail Centers of America, Inc.)

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Tax Matters Partner. (a) (i) The General Partner shall be the “tax matters partner” of the Partnership for U.S. federal income tax purposes.

Appears in 23 contracts

Samples: Form of Agreement (NY Residential REIT, LLC), Agreement (Inland Residential Properties Trust, Inc.), Agreement (American Realty Capital Healthcare Trust III, Inc.)

Tax Matters Partner. (a) (i) The General Partner shall be the "tax matters partner" of the Partnership for federal income tax purposes.

Appears in 5 contracts

Samples: Exchange Rights Agreement (American Spectrum Realty Inc), Exchange Rights Agreement (Orion Multifamily Investment Fund Inc), Contribution Agreement (Tower Realty Trust Inc)

Tax Matters Partner. (a) (i) The General Partner shall be the “tax matters partner” of represent the Partnership for in all administrative and judicial proceedings involving federal income tax purposesmatters as the "Tax Matters Partner."

Appears in 4 contracts

Samples: VHS of Anaheim Inc, VHS of Anaheim Inc, VHS of Anaheim Inc

Tax Matters Partner. (a) (i) The General Partner shall be is the “tax matters partner” of the Partnership for federal income tax purposesPartnership.

Appears in 3 contracts

Samples: Limited Partnership Agreement (Ml Trend-Following Futures Fund L.P.), Limited Partnership Agreement (Ml Trend-Following Futures Fund L.P.), Limited Partnership Agreement (Ml Trend-Following Futures Fund L.P,)

Tax Matters Partner. (a) (im) The General Partner shall be the “tax matters partner” of the Partnership for federal income tax purposes.

Appears in 3 contracts

Samples: Agreement (Phillips Edison Grocery Center Reit Ii, Inc.), Phillips Edison Grocery Center Reit I, Inc., Preferred Apartment Communities Inc

Tax Matters Partner. (a) (ia)(i) The General Partner shall be the “tax matters partner” of the Partnership for federal income tax purposes.

Appears in 3 contracts

Samples: Management Agreement (Preferred Apartment Communities Inc), Exchange Rights Agreement (Independence Realty Trust, Inc), Preferred Apartment Communities Inc

Tax Matters Partner. (am) (i%4) The General Partner shall be the “tax matters partner” of the Partnership for U.S. federal income tax purposes.

Appears in 2 contracts

Samples: Agreement (American Realty Capital New York City REIT II, Inc.), American Realty Capital Global Trust II, Inc.

Tax Matters Partner. (a) (i) The General Partner shall be the “tax matters partner” of the Partnership for federal income tax purposes.

Appears in 1 contract

Samples: Exchange Rights Agreement (Empire American Realty Trust Inc)

Tax Matters Partner. (a) (i) The General Partner shall be the “tax matters partner” of the Partnership for federal income tax purposespurposes as and when required pursuant to Section 6231(a)(7) of the Code to the extent applicable for taxable years beginning before January 1, 2018.

Appears in 1 contract

Samples: Phillips Edison Grocery Center REIT III, Inc.

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Tax Matters Partner. (a) (i) The General Partner shall be the tax matters partner” partner of the Partnership for all federal income tax purposespurposes set forth in the Code.

Appears in 1 contract

Samples: Criimi Mae Inc

Tax Matters Partner. (a) The tax matters partner, as defined in Section 6231 of the Code, of the Partnership (ithe “Tax Matters Partner”) The General Partner shall be the “tax matters partner” of the Partnership for federal income tax purposesGeneral Partner.

Appears in 1 contract

Samples: Limited Partnership Agreement (Plymouth Opportunity REIT Inc.)

Tax Matters Partner. (a) The tax matters partner, as defined in Section 6231 of the Code, of the Partnership (ithe “Tax Matters Partner”) The General Partner shall be the “tax matters partner” of the Partnership for federal income tax purposes.General Partner,

Appears in 1 contract

Samples: Limited Partnership Agreement (Plymouth Opportunity REIT Inc.)

Tax Matters Partner. (a) (i) The General Partner shall be the “tax matters partner” Tax Matters Partner of the Partnership for federal income tax purposesPartnership.

Appears in 1 contract

Samples: Limited Partnership Agreement (Mobile Storage Group Inc)

Tax Matters Partner. (a) (i) A. The General Partner shall be the "tax matters partner" of the Partnership for federal income tax purposes.

Appears in 1 contract

Samples: Merry Land & Investment Co Inc

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