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CC Regular Session <br />Meeting Date: 04/24/2012 <br />By: Diana Lund, Finance <br />Information <br />Title: <br />Adopt Policy: Post -Issuance Compliance Policies and Procedures <br />4.6. <br />Background: <br />The following is a description from our bond council in regard to why the city needs to adopt a policy in regard to <br />Post -Bond Issuance Compliance: <br />Following issuance by the City of Ramsey, Minnesota (the "City') of tax-exempt governmental bonds, the City must <br />continue to take certain actions with respect to the bonds in order that they retain their tax-exempt status. In <br />particular, the City must be sure that the project financed with the bonds continues to be used for public purposes <br />and that the proceeds of the bonds are applied in a manner that complies with the arbitrage rules on the Internal <br />Revenue Code of 1986, as amended (the "Code'), and its related regulations. <br />Over the last couple of years, the IRS has increased its scrutiny of tax-exempt bonds and has strongly expressed an <br />expectation that issuers of tax-exempt bonds have written procedures in place to ensure compliance with these <br />rules. Most recently, in September, 2011, the IRS released a new Form 8038-G, which is the form that issuers file <br />upon the issuance of each tax-exempt bond issue. The new version of the form specifically asks the issuer to check a <br />box that it has established written procedures "to ensure that all nonqualified bonds of this issue are remediated <br />according to the requirements under the Code and Regulations." There is a second box asking ifthe issuer has <br />written procedures "to monitor the requirements of Section 148, " which is the Code section governing arbitrage. <br />There is no statutory or rule requirement that the City have such written procedures. By including these questions <br />on Form 8038-G (the same questions also appear on Form 8038), however, the IRS is strongly emphasizing its view <br />of the importance of having such procedures in place. Informally, the IRS has also indicated that having such <br />procedures in place may result in a lower penalty in the event of any audit or voluntary compliance agreement <br />related to an issuer's bonds. Therefore, we strongly recommend that the City adopt the proposed Post -Issuance <br />Compliance Policies and Procedures. <br />The proposed Policies and Procedures have been drafted to cover the concerns and expectations that have been <br />expressed by the IRS. Yet, at the same time, we recognize that the City, along with its bond counsel and financial <br />advisor, are already doing many of the tasks set forth in the document. It simply demonstrates that the City is, in <br />fact, taking the appropriate actions to ensure that its bonds remain tax-exempt. <br />Council Action: <br />Adopt Policy Entitled Post -Issuance Compliance Policies and Procedures. <br />Post -Issuance Compliance Policy <br />Attachments <br />Form Review <br />Inbox Reviewed By Date <br />Kurt Ulrich Kurt Ulrich 04/19/2012 01:42 PM <br />Form Started By: Diana Lund Started On: 04/16/2012 08:19 AM <br />Final Approval Date: 04/19/2012 <br />