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S. Tax Compliance Certificate substantially in the form of Exhibit M-22] or Exhibit M-33], IRS Form W-9, or other certification documents from each beneficial owner, as applicable; provided that if the Foreign Recipient is a partnership and one (1) or more direct or indirect partners of such Foreign Recipient are claiming the portfolio interest exemption, such Foreign Recipient may provide a U.S. Tax Compliance Certificate substantially in the form of [Exhibit M-4]4] on behalf of each such direct and indirect partner;

S. Tax Compliance Certificate substantially in the form of Exhibit M-22] or Exhibit M-33], IRS Form W-9, or other certification documents from each beneficial owner, as applicable; provided that if the Foreign Recipient is a partnership and one (1) or more direct or indirect partners of such Foreign Recipient are claiming the portfolio interest exemption, such Foreign Recipient may provide a U.S. Tax Compliance Certificate substantially in the form of [Exhibit M-4]4] on behalf of each such direct and indirect partner;

to the extent a Foreign Lender is not the beneficial owner, executed originals of IRS Form W-8IMY, accompanied by IRS Form W-8ECI, IRS Form W-8BEN or W-8BEN-E, as applicable, a U.S. Tax Compliance Certificate substantially in the form of Exhibit M-22] or Exhibit M-33], IRS Form W-9, and/or other certification documents from each beneficial owner, as applicable; provided that if the Foreign RecipientLender is a partnership and one (1) or more direct or indirect partners of such Foreign RecipientLender are claiming the portfolio interest exemption, such Foreign RecipientLender may provide a U.S. Tax Compliance Certificate substantially in the form of [ExhibitExhibit M-4]4]44] on behalf of each such direct and indirect partner;

to the extent a Foreign [[Organization A:Organization]] is not the beneficial owner, executed copies of IRS Form W‑8IMY, accompanied by IRS Form W‑8ECI, IRS Form W‑8BEN-E (or W-8BEN, as applicable), a U.S. Tax Compliance Certificate substantially in the form of Exhibit M-22] or Exhibit M-33], IRS Form W-W‑9, and/or other certification documents from each beneficial owner, as applicable; provided that if the Foreign Recipient[[Organization A:Organization]] is a partnership and one (1) or more direct or indirect partners of such Foreign Recipient[[Organization A:Organization]] are claiming the portfolio interest exemption, such Foreign Recipient[[Organization A:Organization]] may provide a U.S. Tax Compliance Certificate substantially in the form of [ExhibitExhibit M-4]4]44] on behalf of each such direct and indirect partner;

to the extent a Foreign [[Organization C:Organization]] is not the beneficial owner, executed copies of IRS Form W-8IMY, accompanied by IRS Form W-8ECI, IRS Form [[Unknown Identifier]] or IRS Form W-8BEN, as applicable, a U.S. Tax Compliance Certificate substantially in the form of Exhibit M-G-22] or Exhibit M-G-33], IRS Form W-9, and/or other certification documents from each beneficial owner, as applicable; provided that if the Foreign Recipient[[Organization C:Organization]] is a partnership and one (1) or more direct or indirect partners of such Foreign Recipient[[Organization C:Organization]] are claiming the portfolio interest exemption, such Foreign Recipient[[Organization C:Organization]] may provide a U.S. Tax Compliance Certificate substantially in the form of [Exhibit M-4]4]Exhibit G-44] on behalf of each such direct andor indirect partner;

to the extent a Foreign Lender is not the beneficial owner, an executed IRS Form W-8IMY, accompanied by IRS Form W-8ECI, IRS Form W-8BEN or IRS Form W-8BEN-E, a U.S. Tax Compliance Certificate substantially in the form of Exhibit M-F-22] or Exhibit M-F-33], IRS Form W-9, and/or other certification documents from each beneficial owner, as applicable; provided that if the Foreign RecipientLender is a partnership and one (1) or more direct or indirect partners of such Foreign RecipientLender are claiming the portfolio interest exemption, such Foreign RecipientLender may provide a U.S. Tax Compliance Certificate substantially in the form of [Exhibit M-4]4]Exhibit F-44] on behalf of each such direct and indirect partner;

to the extent a Foreign Lender is not the beneficial owner, executed originals of IRS Form W-8IMY, accompanied by IRS Form W-8ECI, W-8BEN or W-8BEN-E, as applicable, a U.S. Tax Compliance Certificate substantially in the form of Exhibit M-E-22] or Exhibit M-E-33], IRS Form W-9, and/or other certification documents from each beneficial owner, as applicable; providedprovided, that if the Foreign RecipientLender is a partnership and one (1) or more direct or indirect partners of such Foreign RecipientLender are claiming the portfolio interest exemption, such Foreign RecipientLender may provide a U.S. Tax Compliance Certificate substantially in the form of [Exhibit M-4]4]Exhibit E-44] on behalf of each such direct and indirect partner;

to the extent a Foreign Lender is not the beneficial owner, executed originals of IRS Form W-8IMY, accompanied by IRS Form W-8ECI, IRS Form W-8BEN or IRS Form W-8BEN-E, as applicable, a U.S. Tax Compliance Certificate substantially in the form of Exhibit M-C-22] or Exhibit M-C-33], IRS Form W-9, and/or other certification documents from each beneficial owner, as applicable; provided that if the Foreign RecipientLender is a partnership and one (1) or more direct or indirect partners of such Foreign RecipientLender are claiming the portfolio interest exemption, such Foreign RecipientLender may provide a U.S. Tax Compliance Certificate substantially in the form of [Exhibit M-4]4]Exhibit C-44] on behalf of each such direct and indirect partner;

to the extent a Foreign Lender is not the beneficial owner, executed originals of IRS Form W-8IMY, accompanied by IRS Form W-8ECI, IRS Form W-8BEN or IRS Form W-8BEN-E, as applicable, a U.S. Tax Compliance Certificate substantially in the form of Exhibit M-E-22] or Exhibit M-E-33], IRS Form W-9, and/or other certification documents from each beneficial owner, as applicable; provided that if the Foreign RecipientLender is a partnership and one (1) or more direct or indirect partners of such Foreign RecipientLender are claiming the portfolio interest exemption, such Foreign RecipientLender may provide a U.S. Tax Compliance Certificate substantially in the form of [Exhibit M-4]4]Exhibit E-44] on behalf of each such direct and indirect partner;

to the extent a Foreign Lender is not the beneficial owner, executed originals of IRS Form W-8IMY, accompanied by IRS Form W-8ECI, IRS Form W-8BEN or IRS Form W-8BEN-E, as applicable, a U.S. Tax Compliance Certificate substantially in the form of Exhibit M-D-22] or Exhibit M-D-33], IRS Form W-9, and/or other certification documents from each beneficial owner, as applicable; provided that if the Foreign RecipientLender is a partnership and one (1) or more direct or indirect partners of such Foreign RecipientLender are claiming the portfolio interest exemption, such Foreign RecipientLender may provide a U.S. Tax Compliance Certificate substantially in the form of [Exhibit M-4]4]Exhibit D-44] on behalf of each such direct and indirect partner;

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