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Certain FATCA Matters. For purposes of determining withholding Taxes imposed under FATCA, the Loan Parties and shall treat (and hereby authorize to treat) this Agreement and the Loans as not qualifying as “grandfathered obligations” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).

Certain FATCA Matters.FATCA. For purposes of determining withholding Taxes imposed under FATCA, from and after the Loan Partieseffective date of this Agreement, the and the shall treat (and _Organization A:the hereby authorize the to treat) this Agreement and the Loans as not qualifying as a “grandfathered obligations”obligation” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).

Certain FATCA Matters. ForSolely for purposes of determining withholding Taxes imposed under FATCA, from and after the Loan PartiesEffective Date, the Borrower and the Administrative Agent shall treat (and the hereby authorize the Administrative Agent to treat) this Agreement and the Loans as not qualifying as a “grandfathered obligations”obligation” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).

Certain FATCA Matters.FATCA. For purposes of determining withholding Taxes imposed under FATCA, from and after the Loan Partieseffective date of this Agreement, the Company and the Administrative Agent shall treat (and the Lenders hereby authorize the Administrative Agent to treat) this Agreement and the Loans as not qualifying as “grandfathered obligations”a “grandfathered obligation” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).

Certain FATCA Matters. For purposes of determining withholding Taxestaxes imposed under FATCA, from and after the Loan Partieseffective date of this Agreement, and the Agent shall treat (and _Organization A: hereby authorize the Agent to treat) this Agreement and the Loansany Loan as not qualifying as a “grandfathered obligations”obligation” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).

Certain FATCA Matters.FATCA. For purposes of determining withholding Taxes imposed under FATCA, from and after the Loan Partieseffective date of this Amendment, the Borrower and the Administrative Agent shall treat (and the Lenders hereby authorize the Administrative Agent to treat) this Agreement and the Loans as not qualifying as “grandfathered obligations”a “grandfathered obligation” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).

Certain FATCA Matters.FATCA. For purposes of determining withholding Taxes imposed under FATCA, from and after the Loan Partieseffective date of this Amendment, the Company and the Administrative Agent shall treat (and the Lenders hereby authorize the Administrative Agent to treat) this Agreement and the Loans as not qualifying as “grandfathered obligations”a “grandfathered obligation” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).

Certain FATCA Matters.FATCA. For purposes of determining withholding Taxes imposed under FATCA, from and after , the Loan PartiesBorrower and the Administrative Agent shall treat (and the Banks hereby authorize the Administrative Agent to treat) this Agreement and the Loans as not qualifying as “grandfathered obligations”a "grandfathered obligation" within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).

Certain FATCA Matters. For purposes of determining withholding Taxes imposed under FATCA, the Loan PartiesBorrower and the Administrative Agent shall treat (and _Organization A:the hereby authorize the Administrative Agent to treat) this Agreement and the Loansany Loan or Letter of Credit issued under or pursuant to this Agreement as not qualifying as a “grandfathered obligations”obligation” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i) or Treasury Regulation Section 1.1471-2T(b)(2)(i).

Certain FATCA Matters.FATCA. For purposes of determining withholding Taxes imposed under FATCA, from and after the Loan PartiesFifth Amendment Effective Date, the Obligors and the Agent shall treat (and the Lenders hereby authorize the Agent to treat) thisthe Loan Agreement and the Loans as not qualifying as “grandfathered obligations”a “grandfathered obligation” within the meaning of Treasury Regulation Section 1.1471-2(b)(2)(i).

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