Example ContractsClausesResidence
Residence
Residence contract clause examples

Tax Residence Certificate. A Party receiving a payment pursuant to this Agreement shall provide the remitting Party appropriate certification from relevant governmental authorities that such Party is a tax resident of that jurisdiction, if such receiving Party wishes to claim the benefits of an income tax treaty to which that jurisdiction is a Party. Upon the receipt thereof, any deduction and withholding of taxes shall be made at the appropriate treaty tax rate.

Residence. The Purchaser’s principal place of business is the office or offices located at the address of the Purchaser set forth on the signature page hereof.

Residence. The Investor is not a resident or subject to the securities laws of a Province or Territory of Canada and has complied with the applicable securities legislation in the jurisdiction of its residence, in each case as they relate to the purchase of the Purchased Shares hereunder.

Reimbursement of Expenses; Time Off; Residence. The Executive shall be provided with full and prompt reimbursement of expenses related to his employment by the Company (including mobile telephone usage) on a basis no less favorable than that which may be authorized from time to time by the Board, in its sole discretion, for senior level executives as a group. The Executive will be entitled to discretionary time off in accordance with the policies established by the Company for its employees, as may be amended from time to time; provided, that in the event that the Executive is entitled to receive accrued vacation time in accordance with such policies the Executive will be entitled to receive no less than six (6) weeks per year of accrued vacation time. The Executive will also be entitled to the paid holidays as set forth in the Company’s policies. The Executive currently resides in the Westside Los Angeles, California

Residence. The Investor is not a resident or subject to the securities laws of a Province or Territory of Canada and has complied with the applicable securities legislation in the jurisdiction of its residence, in each case as they relate to the purchase of the Purchased Shares hereunder.

Residence. The principal place of business of the Purchaser is the office located at the address of the Purchaser set forth on the signature page hereof.

Residence. The office or offices of Investor in which its principal place of business is identified in the address or addresses of Investor set forth on Exhibit A.

Place of Business, Charter State and Residence. (a) Borrower’s chief executive office and principal place of business is located at 20400 Stevens Creek Boulevard, Suite 700, Cupertino, California 95014, and its state of organization is Delaware; and # Guarantor’s place of business is 20400 Stevens Creek Boulevard, Suite 700, Cupertino, California 95014, and its state of organization is Delaware.

Tax Residence Certificate. A Party (including any entity to which this Agreement may be assigned, as permitted under [Section 16.4]) receiving a payment pursuant to this ARTICLE IX shall provide the remitting Party appropriate certification from relevant revenue authorities that such Party is a tax resident of that jurisdiction (a “Tax Residence Certificate”), if such receiving Party wishes to claim the benefits of an income tax treaty to which that jurisdiction is a party. Upon the receipt thereof, any deduction and withholding of taxes shall be made at the appropriate treaty tax rate. For clarity, [[Forty Seven:Organization]] shall provide to Ono any taxation documents ([[Address B:Address]] Form 3 and Form 17, which Ono shall provide to [[Forty Seven:Organization]]), the Tax Residence Certificate (Form 6166) of [[Forty Seven:Organization]] issued by the US Internal Revenue Service (which Tax Residence Certificate is effective for three (3) years after its issuance to a public company) and other documents that may be reasonably necessary in order for Ono not to withhold tax or to withhold tax at a reduced rate under an appropriate income tax treaty.

Residence. The Investor is not a resident or subject to the securities laws of a Province or Territory of Canada and has complied with the applicable securities legislation in the jurisdiction of its residence, in each case as they relate to the purchase of the Purchased Shares hereunder.

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