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AU~ 1Z <br /> <br />1E:Ci HOLMEE, g GRAVEN <br /> <br />the expenditures actually paid by the issuer for which official <br />intent was deel~ed during the three yea~ period prior to the <br />bond issue, the issuer wlll meet the ~fe harbor. An exception <br />is made for ex'tr~o~dlnar1~ circumstances beyond the control of <br />the issuer and not reasonably expected to oeour. Tt~e issue <br />may exclude from the 75% calculation expenditures subject to <br />official intent which the issuer expects to reimburse within <br />the one-year ~eimbursement period. <br /> <br /> 4, ,Ec, oqomie Lif.e. The expenditure must be incurred with <br />respect to property having a reasonably expected economic life of at least <br />one year. If a project which would have had a life of at least one year is <br />abandoned, expenditures are deemed to have a life of one year. <br /> <br /> B. Anti-abuse Rule. Notwithstanding the reimbursement rules, an issuer <br />cannot treat proceeds as spent If the proceeds are used directly or indirectly to <br />refund another issue, to create a sinking fund or reserve or replacement fund, or to <br />reimburse an expenditure originally paid with proceeds of a tax-exempt obligation <br />of an issuer (e.g. an interfund borrowing). <br /> <br /> ]&xceptions are made for bona fide debt service funds and where the <br />proceeds of the original financing were not reasonably expected to be used as of <br />the date of the original financing to finance the expenditures. <br /> <br />C. Effective Date and Transition Rule <br /> <br /> 1. Effective Date. The new reimbursement rules apply to bonds <br />issued after September 7, 1991. <br /> <br /> 2. Transition Rule. If bonds are issued after September ?, 1991 <br />to reimburse expenditures made after September 8, 1989 and before <br />September 8, 1991, the official intent requiz'ement and the official intent <br />period requirement do not apply if there is objective evidence that at the <br />time the expenditure was paid, the issuer reasonably expected to reimburse <br />the expenditure with proceeds of a taxable or tax-exempt borrowing. <br /> <br />IV. Private Activity Bonds. <br /> <br /> A, Anti-abuse rules. Proposed Tres. Reg. $1.103-18 provides that, in <br />addition to existing official action requirements, exempt facility bonds and small <br />issue bonds are subject to the anti-abuse rules described above relating to sinking <br />funds and reserve or replacement 'funds. <br /> <br /> B. Governmentally owned exempt .facilities, Governmentally owned <br />exempt facilities are, however, subject to all of the reimbursement rules applicable <br />to governmental bonds. <br /> <br /> C. Effective Date. The private activity bond rules are effective for <br />bonds issued after September ?, 1991. <br /> <br /> D. Transition Rule. For governmentally owned exempt facilities, the <br /> official intent and official intent period requirements do not apply to expenditures <br />'paid after ~eptember 8, 1989 and before September 8, 1991, if there is objective <br /> <br />4 <br /> <br /> <br />