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Public Transaction Summary

TMX/Maple -- summary under Shares

Dissenters will be considered to have disposed of their shares to Maple, so that they generally will receive capital gain or loss treatment (with the exception of any interest award). ...
Public Transaction Summary

Entrec -- summary under Convertible Debentures

However, the Risk Factors contain a detailed discussion of the possibility that the debentures may not be excluded obligations and that the possibility of conversion may cause all interest to be considered to be participating interest. ...
Public Transaction Summary

Celtic/Kelt/Exxonmobil -- summary under Taxable spin-offs

MI 61-101 In light of the absence of collateral benefits, the Arrangment is not considered a business combination under MI 61-101 and the minority approval requirements of MI 61-101 do not apply. ...
Public Transaction Summary

Hecla/US Silver -- summary under Unsolicited Bids (corporate)

Silver are considered "regularly traded" on an established securities market within the meaning of s. 897 of the Code) unless such shareholder has directly or indirectly or constructively owned more than 5% of the interests in U.S. ...
Public Transaction Summary

Dixie Energy -- summary under Trust liquidations

Upon the disposition of Trust units in the course of the winding-up, the unitholder generally will be considered to have received proceeds of disposition equal to the amount distributed in excess of the amount which is distributed out of income or net capital gains of the Trust for that year. ...
Public Transaction Summary

Agnico Eagle/Cayden -- summary under Shares for Shares and Nominal Cash

Those who do not make and timely-file a valid election will be considered to have disposed of their shares on a non-rollover basis. ...
Public Transaction Summary

Cortland/Pure Multi-Family -- summary under Corporation Acquisitions of LPs

Convention…the proceeds receivable on a disposition of Class A Units may not qualify as U.S. source income for purposes of the Tax Act (including for Canadian foreign tax credit purposes), and, where such Resident Unitholders are trusts, their beneficiaries may not be considered to have paid such tax for purposes of the Tax Act and, accordingly, may not be entitled to a foreign tax credit in respect of such U.S. tax for Canadian tax purposes. ... However, a purchaser of Class A Units is not required to withhold such tax if the Class A Units are considered “regularly traded on an established securities market,” regardless of whether the selling non-U.S. ... If the Class A Units are not considered “regularly traded on an established securities market” for withholding purposes, a purchaser of Class A Units will be required to withhold tax at the rate of 15 percent of the amount realized from the sale and to report and remit such tax to the IRS. ...
Public Transaction Summary

NexPoint -- summary under Cross-Border REITs

Eligible independent contractor rule A TRS will not be considered to operate or manage a qualified lodging facility solely because the TRS directly or indirectly possesses a licence, permit, or similar instrument enabling it to do so. ... UPREIT The REIT is considered an umbrella partnership real estate investment trust (an “UPREIT”) for U.S. federal income tax purposes. ... Publicly traded partnership rules The Operating Agreement contains provisions intended to ensure that the OP is not considered a “publicly traded partnership”. ...
Public Transaction Summary

Nordgold/High River -- summary under Direct Target Acquisition

High River shareholders who elect for the GDRs will be deemed to have elected to receive Nordgold's Regulation S GDRs rather than its Rule 144A GDRs, except where it is considered reasonably necessary by Nordgold or the GDR depositary (including in response to a High River shareholder request) to issue Rule 144A GDRs in order to comply with applicable laws. ...
Public Transaction Summary

IMIC/Afferro -- summary under Canadian Buyco

Discussion of consequences if the Convertible Notes are considered to be issued at a discount. ...

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