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Foreign Insurance Companies <br /> Foreign companies carrying on an insurance business in the United States are subject to a tax <br /> on income which is effectively connected with their conduct of any trade or business in the <br /> United States, including "net investment income." Net investment income includes tax-exempt <br /> interest such as interest on the Bonds. <br /> Branch Profits Tax <br /> A foreign corporation is subject to a branch profits tax equal to 30% of the "dividend equivalent <br /> amount" for the taxable year. The "dividend equivalent amount" is the foreign corporation's <br /> "effectively connected earnings and profits" adjusted for increase or decrease in "U.S. net <br /> equity." A branch's earnings and profits may include tax-exempt municipal bond interest, such <br /> as interest on the Bonds. <br /> Passive Investment Income of S Corporations <br /> Passive investment income, including interest on the Bonds, may be subject to federal income <br /> taxation under Section 1375 of the Code for an S corporation that has Subchapter C earnings <br /> and profits at the close of the taxable year if more than 25% of the gross receipts of such <br /> S corporation is passive investment income. <br /> Financial Institutions <br /> Financial institutions are generally not entitled to a deduction for interest expenses allocable to <br /> the owners of tax-exempt obligations purchased after August 7, 1986. The City will designate <br /> the Bonds as qualified tax-exempt obligations pursuant to Section 265(b)(3) of the Code. <br /> General <br /> The preceding is not a comprehensive list of all federal or State tax consequences which may <br /> arise from the receipt or accrual of interest on the Bonds. The receipt or accrual of interest on <br /> the Bonds may otherwise affect the federal income tax (or Minnesota income tax or franchise <br /> tax) liability of the recipient based on the particular taxes to which the recipient is subject and <br /> the particular tax status of other items of income or deductions. All prospective purchasers of <br /> the Bonds are advised to consult their own tax advisors as to the tax consequences of, or tax <br /> considerations for, purchasing or holding the Bonds. <br /> BANK-QUALIFIED TAX-EXEMPT OBLIGATIONS <br /> The Bonds will be deemed designated as "qualified tax-exempt obligations" for purposes of <br /> Section 265(b)(3) of the Internal Revenue Code of 1986, as amended, relating to the ability of <br /> financial institutions to deduct from income for federal income tax purposes, interest expense <br /> that is allocable to carrying and acquiring tax-exempt obligations. <br /> - 23 - <br /> 104 <br />