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<br />. <br /> <br />22. Purchase of Securities.> Springsted Incorporated, the <br />City's public finance advisor for the Bonds, is hereby authorized <br />and directed to purchase or cause to be purchased for and on behalf <br />of the City and/or the Escrow Agent the appropriate securities <br />(including United States Treasury Securities) to be placed in the <br />Escrow Account and to execute all such documents (including the <br />appropriate subscription form, if applicable) required to effect <br />such purchase. <br /> <br />23. Records and Certificates. The officers of the City are <br />hereby authorized and directed to prepare and furnish to the <br />Purchaser, and to the attorneys approving the legality of the <br />issuance of the Bonds, certified copies of all proceedings and <br />records of the City relating to the Bonds and to the financial <br />condition and affairs of the City, and such other affidavits, <br />certif icates and information as are required to show the facts <br />relating to the Bonds as the same appear from the books and records <br />under their custody and control or as otherwise known to them, and <br />all such certified copies, certificates and affidavits, including <br />any heretofore furnished, shall be deemed representations of the <br />City as to the facts recited therein. <br /> <br />. <br /> <br />24. Neqative Covenant as to Use of Proceeds and Improvements. <br />The City hereby represents that it has not used, and hereby <br />covenants that it will not use, and that it has not permitted and <br />will not permit any such uses, the proceeds of the Bonds or the <br />improvements financed by the Prior Bonds in such a manner as to <br />cause the Bonds to be "private activity bonds" within the meaning <br />of Sections 103 and 141 through 150 of the Code or either issue of <br />the Prior Bonds to be "industrial development bonds" or "private <br />loan bonds" under Sections 103(b) (2) or 103(0) (2) (A), respectively, <br />of the Internal Revenue Code of 1954. <br /> <br />. <br /> <br />25. Tax-Exempt Status of the Bonds: Rebate. The City shall <br />comply with requirements necessary under the Code to establish and <br />maintain the exclusion from gross income under section 103 of the <br />Code of the interest on the Bonds, including without limitation (1) <br />requirements relating to temporary periods for investments, (2) <br />limitations on amounts invested at a yield greater than the yield <br />on the Bonds, and (3) the rebate of excess investment earnings to <br />the United States if the Bonds (together with other obligations <br />reasonably expected to be issued and outstanding at one time in <br />this calendar year) exceed the small-issuer exception amount of <br />$5,000,000, or do not otherwise qualify for available exceptions. <br />For purposes of qualifying for the small-issuer exception to the <br />federal arbitrage rebate requirements, the City hereby finds, <br />determines and declares that (1) the Bonds are issued by a <br />governmental unit with general taxing powers, (2) no Bond is a <br />private activity bond, (3) ninety-five percent (95%) or more of the <br />net proceeds of the Bonds are to be used for local governmental <br />activities of the City (or of a governmental unit the jurisdiction <br />of which is entirely within the jurisdiction of the City), and (4) <br /> <br />235883 <br /> <br />19 <br />